HomeMy WebLinkAbout058JEFFERSON COUNTY
DEPARTMENT OF COMMUNITY DEVELOPMENT
621 Sheridan Street
Port Townsend, WA 98368
At Scalf , Director
Pleasant Harbor Marina and Golf Club Resort FEIS issued November 27,2007
FEIS Addendum WAC 197-11-625
This addendum to the Pleasant Harbor Marina and Golf Resort Master Plan FEIS,
issued November 27,2OOl considers the cumulative effect of the Comprehensive Plan
amendment request to add a Master Planned Resort at Brinnon, and the other 9 proposed
Comprehensive Plan changes documented in the 2007 Comprehensive Plan Amendment
Docket Staff Report and SEPA addendum dated September 5,2007.
The only proposal other than the Master Planned Resort in south County is MLA07-79
(Gillanders) which is a rezone from RR1-20 to RR1-5 in Quilcene, which is north of the
proposed MPR site. Upon evaluation of the potential cumulative effects, no additional
information is required and the cumulative effect of the proposals do not create any additional
material adverse environmental consequences not already addressed, or mitigated in
conditions listed in the FEIS.
The remainder of the proposed Comprehensive PIan changes are located in north
County and upon review, provide no additional significant cumulative impacts beyond those
addressed in the existing environmental documents. Upon evaluation of the potential
cumulative effects, no additional information is required and the cumulative effect of the
proposals do not create any additional material adverse environmental consequences not
already addressed, or mitigated in conditions listed in the FEIS.
of November,2007.
Stacie
Planning Manager
SEPA Responsible Official
Build ing Perm itsi lnspections
(360) 379-4450
Development Review Drvision
ascalf@co. iefferson.wa. us
Long Range Planning
FAX:(360) 379-4451
Final Environmental Impact Statement
for the proposed
Brinnon Master Planned Resort
November 27 ,2001
JEFFERSON COUNTY
DEPARTMENT OF COMMUNITY DEVELOPMENT
621 Sheridan Street
Porl Townsend, WA 98368
www.co.jeff e rson.wa. us
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!NTRODUCTION-FEIS
The Final Environmental lmpact Statement issued in conjunction with the consideration by the County
of a Master Planned Resort proposal for the Brinnon Subarea known as the Pleasant Harbor Marina
and Golf Resort consists of the following documents:
The Final EIS issued November 27,2007;a
a FEIS lntroduction
DEIS sections with new responses to comments
a Summary of conditions and supplemental reports
a
The DEIS appendices issued September 5,2007; and
. FEIS public comments (124-413)
Public Process
The Draft EIS was issued September 5,2007 with a 45-day comment period through October 24,2007.
Public meetings were held by a Planning Commission committee on September 11, 18, and 25,2007 in
Brinnon at which members of the public were introduced to the project and the DEIS (September 1 1);
representatives of the Jefferson County EDC and WSU extension office discussed economic, job, and
community benefits and impacts (September 1B); and September 25,2007 when consultants
responsible for the DEIS provided more detailed overviews of the proposal.
Public comment was accepted at all stages and recorded by the DCD Long-Range Planner, Karen
Barrows. ln addition, written comments were received between September 5 and October 24 trom
citizens, agencies, and Tribes. Comments are recorded in the FEIS appendices and responses to
comments are provided in the FEIS under each of the scoped topics addressed.
Project Context and Regulatory Controls
The Pleasant Harbor Marina and Golf Resort ("the Resort") is located in the southerly area of Jefferson
County in an area designated in the Comprehensive Plan/Brinnon Subarea Plan as appropriate for a
Master Planned Resort as provided in RCW 36.70A.360 and Jefferson County Code Chapter 18.15.
The first step in that process is a decision on the 2007 Comprehensive Plan amendment for the Master
Planned Resort designation and land use map. That decision, together with the Planning Commission
recommendation, will be before the Jefferson County Board of County Commissioners December 3,
2007 'for a public hearing and is proposed to be acted upon by December 10,2007 .
lf approved, the ordinance amending the Comprehensive Plan Map would identify the conditions of
approval at this planning stage and direct the formulation of specific zoning sections and a development
agreement, which would provide the basis for project-specific review and the enforcement of the
conditions of approval set forth by the Board of County Commissioners and this FEIS.
How to Read fhis FEIS
The DEIS was used as a basis for the FEIS, with additions as follows: The new FEIS introduction
describes the overview. Responses to comments were added within Chapter 3 at the end of each topic.
Pleasant Harbor Marina and Golf Resort
FINAL EIS - (Site Specific Amendment MLA 06-87)
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a
A new Chapter 5 includes a summary of FEIS mitigation requirements, technical comments, and the log
of comments. The original text from the DEIS is incorporated except as modified by the materials
described above.
Summary of Concerns and Responses
The EIS was the product of a scoping process identifying nine topic areas of concern: shellfish; water
quality, quantity and use; transportation; public services; shorelines; fish and wildlife; rural character;
archeology and cultural resources; and critical areas.
The County has been examining all public responses to the program (FEIS Appendix 1), with the DEIS
comments as noted. All of the comments received have been sorted by topic or topics of concern and
responses have been consolidated in Chapter 3 under each of the topics addressed in Sections 3.2-
3.11 by the addition of a final section addressing comments and response to comments. Comments
are published in the County public comment log, which is part of this FEIS.
As there was a great deal of overlap in the comments, the responses are by topic and concern, and
each letter or comment considered is identified in the section. All comments made were noted, even
those which did not warrant or merit specific responses under SEPA. This was usually because the
concern addressed project-specific design topics that are premature for specific response at this stage
and are covered by project-related review conditions or cumulative concerns addressed in the collective
responses to each topic.
A final chapter (Chapter 5) is added in this FEIS, which is a summary of the environmental mitigation
imposed on the project, to be implemented at the project-review level through, first, the development of
specific zoning and development agreement guidelines incorporating the specific requirements, and
then project-specific review for each phase of the development to be identified in the development
agreement. Chapter 5 also includes the comment log in which comments are identified and the
location of answers are addressed.
General Concerns
'1. How much detail is appropriate at the Comprehensive Plan level, and when should detailed
conditions be imposed?
The FEIS is to address the non-project probable adverse impacts of a proposal and provide means for
avoiding, minimizing, and/or mitigating identified consequences. The EIS process has resulted in
modification of the proposal from the original 1BB0 units (MLA 06-87 3-1-06 application) to the present
890 residential units. The FEIS identifies a substantial number of permit checks to assure that the
project envisioned by the Board of County Commissioners through the Brinnon Subarea Plan in an
approved Master Planned Resort are achieved in practice.
The FEIS process does not require or expect the community to speculate. lt is appropriate for the
County to set goals and objectives at this legislative stage, and define the processes to achieve those
goals and objectives in regulatory tools, including development regulations and development
agreements addressing how the project is to be reviewed at the project stage. The County can then
process project-specific applications with the detailed engineering proposals and review that will allow
the County and other review agencies to determine whether the goals and objectives for the project
have in fact been met.
The project was processed with a "phased review" of this proposal. "'Phased review' means the
coverage of general matters in broader environmental documents, with subsequent narrower
documents concentrating solely on the issues specific to the later analysis (WAC 197-1 1-060(5).' WAC
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197-11-776. The phased review at this step is the consideration of a Comprehensive Plan enabling the
development of a Master Planned Resort at this site and the mitigating conditions necessary to avoid,
minimize, or mitigate the potential impacts of such project. A subsequent and narrower phase of SEPA
review occurs at the project-level phase when specific construction projects and specific mitigations are
detailed to achieve the objectives of the project and the conditions imposed through SEPA and project
review.
The first step of phased review, the Comprehensive PIan amendment, undertaken at this stage, has
satisfied the question of what mitigations are necessary to avoid, minimize, or mitigate the potential
environmental impacts of the proposed Master Planned Resort. Mitigating conditions and specific
topics to be addressed at the permitting phase have been identified to make sure the community goals
and objectives are achieved. Detailed engineering responses as to how to achieve certain goals and
requirements are reserved for the project phase when the specifics of each phase can be addressed
and analyzed in context. For this reason, specific response to many of the questions or comments
addressing a need for additional detail as to how certain objectives are to be achieved are deferred to
the project level, when detailed engineering reports and further project-specific studies are complete
and available for evaluation of a specific proposal. This approach is particularly appropriate for a
project that has a number of phases and may be constructed over a projected 5-10 year period.
All mitigation requirements, including the more detailed "how is an objective to be achieved" comments
are noted in this FEIS and will be carried over to the project-level review through the FEIS and
subsequent environmental review to make sure the concerns are addressed at the project level. SEPA
review is required at each development permit stage. At permit review, the County is able to assure
compliance with development regulations, County standards, and the requirements of this FEIS. ln this
way, achieving the public interest identified in the Comprehensive Plan, Brinnon Subarea Plan,
Shoreline lvlaster Program and other government regulations are achieved.
2. What are the key regulatory permits and how are conditions to be enforced?
A wide variety of permits are required for any resort of the magnitude proposed to be constructed, but
four County permits and two State permits will provide the basic regulatory mechanism for controlling
the project.
a. Water Rights. Under Washington law no project may be constructed unless the
community has adequate water capability to service the project. The applicant has applied to the
Washington State Department of Ecology for water rights approval, and no new project development
can occur until WDOE certifies the amount of water available and the County determines that each
project phase proposed can be constructed within allowable limits. Concerns about potential impact to
the aquifer, potential impacts to other water users and their wells, and concerns about salt water
intrusion are all addressed specifically at this stage.
b. Wastewater Treatment and Reuse. The Comprehensive Plan requirement for any
Master Planned Resort is for onsite reuse of wastewater generated by the development. The applicant
has proposed a reuse and recycling treatment system for use in toilet flushing and irrigation that
requires approval of the Washington State Department of Ecology. Detailed engineering plans are
submitted to WDOE, and issues about the ability of the system to achieve the Class A recycled water
quality standard and maintain that standard during operation are addressed. ln this case the
engineering report would address in detail concerns raised about irrigation application and
considerations for aquifer protection, including nitrogen and pathogen reduction and disinfection to
prevent impacts on the aquifer through soil infiltration or transport to Hood Canal by reason of surface
or subsurface water flows.
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c. Stormwater Management. Jefferson County has a stormwater management program
encompassed in a stormwater permit. At the project level, before any site grading is done, the County
must review and approve detailed engineering plans which address (1) preservation of critical area
habitat, particularly wetland water quality, quantity, and habitat protection; (2) relocation and restoration
of disturbed wetlands (WDOE also has regulatory control over wetland mitigation projects); (3)
construction period controls to assure that stormwater from the site is captured and treated and not
discharged to Hood Canal or Pleasant Harbor; (4) that protected areas are adequately staked and
protected to assure protection of natural areas to be retained on the site; (5) that temporary cover is
adequate to control erosion and prevent runoff until final control structures are in place; and (6)
pursuant to the FEIS requirements, that the stormwater system be able to handle maximum events, not
just 10O-year events, to achieve the no discharge objectives identified in the ElS.
d. Plat and Site Plan Review. All development on the site will require a subdivision
application where new lots are to be created and site plan review for the development of existing or
approved lots. During this process, issues of traffic, utilities, public safety, public access, and the many
other requirements of the FEIS as well as the County development regulation requirements are
implemented. Specific mitigating conditions are imposed at this stage and are enforceable through a
preliminary approval that identifies the standards to be achieved, and a final approval that is not given
until all conditions are met. This FEIS requires that memorandums of understanding with each of the
public service providers be in place and provided during the approval process to assure that needs of
the agencies serving the project are addressed and met concurrently with development. lt is expected
that mitigation will entail some combination of tax receipts, onsite facilities, and mitigation payments to
agencies to meet identified needs as a result of the development. The list is not exclusive, but intended
to identify that public service and public facility issues shall be addressed and resolved
contemporaneously with any project phase approval.
e. Shoreline Substantial Development Permit. The Shoreline Substantial Development
Permit is issued at the local level for all development within 200 feet of the water's edge at Pleasant
Harbor based on Shoreline Master Program requirements. Since the Maritime Village is considered a
single project, the entirety of the Maritime Village is subject to the approval of the Substantial
Development Permit for all development within shoreline jurisdiction. Compliance with all requirements
of the Shoreline Master Program and County development standards must be met, as well as Shoreline
Management Act requirements (which are reviewed by WDOE). ln addition, the Substantial
Development Permit will specifically define and address the monitoring and adaptive management
program required by this FEIS for Pleasant Harbor as the resort is phased in and as operations
continue.
f. County staff will monitor all conditions and mitigations. Any citizen complaints will be
processed through the DCD compliance division.
Specific Concerns
1. Shellfish
The FEIS documents that the Hood Canal area is a sensitive area with endangered salmon and
important fish, crab, and shellfish beds, particularly at the Duckabush and Dosewallips River estuaries.
Protection of water quality, eel grass, and the near shore and riparian habitats are important to
maintaining these aquatic resources. Statesman proposes to use a low impact approach to
development. Low impact development methods include steps to capture and treat all onsite
stormwater from developed surfaces (including impervious surfaces as well as the golf course and
other open areas). Stormwater is to be captured and retained onsite, even in extreme (over 1OO-year)
events. The water use and water treatment permits will specifically address the issue of the aquifer and
Pleasant Harbor Marina and Golf Resort
FINAL EIS - (Site Specific Amendment MLA 06-87)
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seeps as a potential direct or indirect pathway for potential contaminants to assure that the treatment
system proposed is adequate to provide the protection necessary to assure no impact to the fish or
shellfish beds adjacent to or near the proposed facility.
The location of a resort in an area that has significant fishing and public shellfish beaches will increase
pressure on the resource. But the resources are managed for public use and access, and the resort
does afford the public a safe manner to come and stay in the area. Regulatory control of public access
to public beaches, public shellfish, and fish are all controlled. The resort is required to provide public
education programs to increase public awareness of the licensing requirements, limits, hunting and
harvest seasons, and other information to facilitate the proper use and access to public resources.
2. Water Quality, Quantity, and Use
As described above, the acquisition of water rights and the approval of an onsite wastewater treatment
and reuse system will be two of the key project-related permits. Permit review will address at the
engineering level of detail how to protect the aquifer, how much water is in fact available, and how
public health and safety are protected in the approval and monitoring of construction and operation of
such facilities. No plats or site plans can be approved without sufficient water to assure the phase
meets all public health and safety requirements. Water usage and recapture rates are aggressive, but
within proven limits of technology. The plan for the project is to phase in the development, assuming
standard rates of use for the early phases, reducing the per unit utilization only as early phases
demonstrate the ability of the project to achieve the intended savings and efficiencies. This phasing will
assure that at all times the project operates within allowable limits, including years with both heavy
storm events and years when rainfall may be negligible. No building permits can be issued until
adequate water access, treatment, and use facilities are identified to serve the phase.
ln addition, the stormwater protection plan is required to address water quality protection and habitat
protection, particularly for wetlands. This condition assures that even at the earliest site grading,
habitat, wetlands, and the waters surrounding the site are protected as required by this FEIS.
Water calculations must include water necessary to maintain no net loss of wetland habitat function and
value. Water for the resort must be in addition to water used to maintain habitat.
3. Transportation
Transportation studies show that even though the project is anticipated to substantially increase the
auto traffic in the area, future traffic levels with the project would operate within the adopted levels of
service required by the State and County. During preliminary plat review, the County and WSDOT will
identify and approve designs for safe ingress and egress from the site. Both County and WSDOT
approval is required for ingress and egress to US HWY 101, and any specific plan must meet both
County and State standards for safe public passage.
Onsite, Black Point Road would need to be improved where it serves resort traffic to County standards,
and the internal roads, whether public or private, must meet all requirements in size, composition, and
connectivity for safe access and for fire and public safety purposes.
The project would have trails open to public access for walking, bicycles, and other non motorized
transport. ln addition, the project contemplates shuttle services, which would reduce local traffic and
provide common transport to local areas of interest. The project has no plans for helicopter or
seaplane service, and any proposal to include facilities for either would require supplemental
environmental review to determine both the appropriateness of such service and if approved adequate
conditions to assure safe operation and minimum community impacts.
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November 27, 2007
Traffic mitigation at each phase may include both onsite and offsite mitigation, or contributions to state
or local projects mitigating impacts from the project site. US HWY 101 is recognized as a highway that
does contain limitations as to speed, auto, and nonmotorized safety. Control of the flow of traffic on US
HWY 101 is through the WSDOT, and all project development is required to conform with the
requirements and standards of that agency. Any offsite road improvements required as a result of
increased traffic (such as Brinnon intersections) are controlled outside of the WSDOT right of way by
the County, and such facilities must be improved and constructed to County standards and approvals
identified at the time of preliminary plan or project development.
Public Seryices
South Jefferson County is an area with limited public services. Police, fire, transit, and public health
services are all available, but without capability to meet significant increase in case loads that a major
resort may bring. ln addition, local schools are in financial downturns, with the grade school in need of
significant upgrade and local students bussed to Quilcene High School. To address public service and
facilities needs, the County is requiring specific analysis of the impact and meetings with each, in
connection with plat and site plan review, and to negotiate a memorandum of understanding that will
become a condition of any permit or approval. The memorandum of understanding is a binding
agreement as to the needs of the particular service provider for the services and facilities necessary to
meet the needs created by the resort and how those needs are to be met. ln the event an agreement
cannot be reached, the County may deny the application for development. The applicable standard will
be that all requirements for public service and safety be met, and that in combination with the provision
of tax revenues, agreed facilities and mitigation fees, the agency is able to meet its appropriate level of
service reliably and over time.
Shorelines
The site is on Black Pbint witfr Conservancy and Suburban shorelines onsite and Natural shorelines
nearby. No development is proposed along the southern shore where a 200-foot riparian buffer is
proposed and the beach is to be closed for both public safety and environmental protection.
Public access to publicly controlled beaches and water-oriented, water-dependent and water-enjoyment
uses are proposed within the footprint of the present physical development of the marina, service roads,
and parking area of Pleasant Harbor Marina.
Setbacks, open space, bulk, and density requirements of the Shoreline Master Program and Shoreline
lt/anagement Act must be met during review for the Shoreline Substantial Development Permit process.
The proposal includes no change to the size and operations of the marina, but includes replacement of
existing docks and walkways which are, in many places, dilapidated or obsolete and many are
contaminated with an invasive species (tunicate) which the applicant and WDFW are working to
eradicate in the Harbor.
Pleasant Harbor does have eelgrass, which is important to protect. The Coast Guard controls
anchorage in harbors such as Pleasant Harbor. The marina is required to have a marina management
plan that requires compliance with safe boating regulations, including sewage pump-out rules, limits
repair and refueling activities that may pose a risk to water quality, and a monitoring and adaptive
management program designed to protect Pleasant Harbor from unanticipated changes.
Fish and Wildlife
The upland site is not used by threatened or endangered species, though it abuts Hood Canal and
Pleasant Harbor, which have several listed fish species, and is between both the Dosewallips and
Duckabush River systems, which are important to existing fish production and species restoration
Pleasant Harbor Marina and Golf Resort
FINAL EIS - (Site Specific Amendment MLA 06-87)
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programs. Protection of water quality, as noted above, is the most significant feature to protect fish,
shellfish, and other aquatic species.
The riparian habitat along the southern shoreline and the forested buffer along HWY US 10'1 are to be
retained, except for point of ingress and egress on US HWY101. Some habitat use by larger mammals
(deer, elk, and bear) may be interrupted, but the area was not identified as important or common
habitat for larger mammals. Elk herds in the area are found in the Dosewallips and Duckabush River
systems, but have not been observed within the project area. ln response to comments raised, WDFW
was contacted, and specific data from the resource manager was obtained to substantiate this point.
Habitat for birds, small mammals, reptiles, amphibians, and particularly those which are wetland
dependent are protected by limiting the program to 20% impervious surface at the golf course resort,
and 22oh at the marina, as well as pervious and natural areas that have the potential to provide habitat
within areas to be used for public enjoyment. Some physical habitat loss is unavoidable. A habitat
management plan is required to address habitat protection in the context of the resort.
Commentators have noted that the resort will increase pressure on fishing and access to public trails,
land, and other facilities in the area. Master Planned Resorts are required to be located in areas of
significant natural amenities, and the County has identified the public lands in the Olympic Mountain
range and Hood Canal as such an amenity. The resort does promote public access and does increase
pressure to use the public facilities, including trails and waterways. The resort is required to provide
public education programs on the wise and appropriate use of public lands so the public may enjoy the
atea. Education will also include programs concerning regulations about public use designed to
minimize public impact on managed fish and wildlife habitat and resources.
Rural Character and Population
The lvlaster Planned Resort has been a divisive issue in the Brinnon community for a number of years.
N/any commentators want Brinnon to remain the same and not be subject to the impact of a lt/aster
Planned Resort. Others view the Master Planned Resort as essential to the economic revitalization of
South Jefferson County. The community decision favoring a lt/aster Planned Resort was expressed in
the Brinnon Subarea Plan in 2002, which envisioned the concept of a lt/aster Planned Resort at Black
Point. This resort is tailored to the traveling public and short-term tourist, being different than the resort
community found at Port Ludlow. The Brinnon Subarea Plan specifically called out a resort hotel or inn,
1B-hole golf course, potentially 25 homes along the water, and a mixed use commercial facility astride
US HWY 101. The plan was conceptual, but was to have onsite treatment facilities and avoid
significant adverse environmental impacts.
The proposed resort and'18-hole golf course project is focused toward tourist use rather than
permanent residency. With the exception of staff housing and 10% of the remainder which may be
permanent housing, all other units are in the hotel rental pool and will be offered to seasonal and short-
term tourists interested the area.
The resort will bring a substantial number of people to stay in the area (890 units with 85% average
occupancy in the summer, 50% in mid season and 30% in the winter months). The resort population
provides a demand for commercial and public services likely to be met through combination of onsite
and offsite services and faculties, and particularly in the rural village at Brinnon.
The resort can have an impact on land valuations in the vicinity, but land values have been rising in the
area for several years (independently of the resort). Estimates of property value increase in the Hood
Canal properties range upwards o'f 25-30% per year for the past several years. This pressure has
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reduced in 2007. Brinnon, within a 2-3 hour drive of most of the Puget Sound population, is within
areas of increasing pressure for resort and vacation properties.
A Master Planned Resort was envisioned in the Black Point area when the County adopted its
Comprehensive Plan and Brinnon Subarea Plan. Control on incidental growth is achieved by the
mandate that the urban services in the Master Planned Resort not be used to serve properties outside
the resort area. The County has land use plans in place under its GMA comprehensive plans, and no
other changes in those plans or designations are proposed as a part of or as a result of the proposed
Master Planned Resort.
While it is possible that the attractiveness of the Brinnon Area will be highlighted by the resort and
some rural properties will be developed in South Jefferson County as a result of the resort (and part of
its "cumulative effect"), some potential purchasers of resort or retirement property may be satisfied with
the access provided by the resort, providing a fully-serviced area from which to enjoy the area, rather
than having to build and maintain seasonal housing.
The resort will change the nature of Brinnon, simply by increasing the level of activity in the area.
Continued implementation of the County's rural rules and regulations about development are the
principal control on the consequences of that change.
Archeology and Cultural Resources
Preliminary site investigations revealed no active or obvious areas of significance. A site-specific
review process during construction to assure that important finds are properly identified and protected
during the construction process shall be required. The preliminary plats and shoreline permit conditions
will provide detailed procedures by which such objectives shall be achieved.
Critical Areas
Critical areas onsite include wetlands, fish and wildlife habitat, critical aquifer recharge areas, and
geologically hazardous areas. Offsite they include flood hazard areas of both the Duckabush and
Dosewallips Rivers. Critical area protection is built into the program in a number of ways. Wetlands
have been formally delineated. The U.S. Army Corps of Engineers (USCOE) has determined the
onsite wetlands are isolated and outside of their jurisdiction. However, both Jefferson County and the
State have no net loss policies protecting the functions and values of the wetlands. Protection of water
quality and water quantity, and preparation of a mitigation plan for any critical areas disturbed by project
development are requirements before any site work can begin. A mitigation plan to define wetland
compensation will be prepared that addresses this need during the project portion of any phased review
Aquifer protection is an issue with the golf course. The FEIS requires a management plan to address
nutrient and pesticide management, and golf course management to protect the aquifer (and
surrounding waters) from adverse impacts by reason of the golf course construction, maintenance, and
operation.
Habitat management is addressed through a habitat management plan that addresses areas and
species to be saved and protected. Revegetation of disturbed areas, and use of native materials and
low water use landscaping to retain the northwest character are designed to provide habitat protection
and control during construction and operation. Existing vegetated buffers along US HWY 101 and
shoreline at the marina are to be preserved and stabilized where possible.
The steep slopes on the southerly border are protected by a riparian buffer and closure of the beach
trail to prevent public use and access. Structures are located several hundred feet back from the bluff
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and stormwater plans are required to address how the stormwater management system will be
designed to avoid adverse impacts to the southerly bluffs.
At the marina, existing vertical cuts creating parking areas are failing and require shoring and support to
protect the forested buffer and ultimately US HWY 101. The proposal includes a support wall along the
maritime village westerly side to stabilize the bank, and footings and foundation for the village within the
existing footprint of the parking and building area of the present marina.
All development in the resort will comply with shoreline and critical area regulations through project
review at each permit stage.
This Final EIS identifies the environmental risks of this proposal at a non-project level with proposed
supplemental requirements in addition to County standards that are designed to avoid, minimize, or
mitigate probable environmental impacts of the proposed Master Planned Resort contemplated in the
alternatives of this FEIS. The environmental analysis with mitigation spelled out in this FEIS achieves
that result and is hereby approved to be issued.
Published by Jefferson County
This 27th day of November, 2007
Stacie Hoskins, Planning Manager
SEPA Responsible Official
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INTRODUCTION_DEIS
This Environmental lmpact Statement addresses a proposed Comprehensive Plan amendment and
master plan approval proposed as a future project to be located in Jefferson County and to be known
as the Pleasant Harbor Marina and Golf Resort. The EIS is prepared to allow Jefferson County and its
citizens to review the plan amendment and master plan, its purpose and need, the affected
environment, the range of alternatives, and an analysis of environmental impacts and potential
mitigation. A Master Planned Resort (MPR) is a change from rural to urban uses which may be
approved in a rural area under the guidelines of the Washington State Growth Management Act, RCW
36.70A.365; the Jefferson County Comprehensive Plan, Chapter 3, Long-range Goal 24, and Policies
24-1-13; and the Brinnon Subarea Plan, which had previously identified the Pleasant Harbor-Black
Point area as a potential location for a Master Planned Resort (2002).
The Brinnon Subarea Plan (BSAP) specifically considered potential uses for the 310.6 acres at the
Black Point Pleasant Harbor area south of Brinnon, encompassed within a designated "potential"
master planned resort area, including a resort with an 18-hole golf course, clubhouse facilities, and
hotel/inn with conference center, health, athletic facilities "with on-site advanced stormwater and
wastewater treatment systems" and the "infill" of associated visitor supported commercial, recreational
and residential uses associated with the marina and a Master Planned Resort.
The Statesman Pleasant Harbor proposed resort area encompasses approximately 256 acres within
the MPR potential area identified in the Brinnon Subarea. The proposal specifically includes an
updated and expanded commercial center for the marina, golf course, and resort housing, including
residential, restaurant, spa, hotel managed facilities, targeted to both long{erm and shortterm tourist
facilities. The proposed resort is served by onsite advanced stormwater and wastewater treatment
systems specifically contemplated in the Subarea PIan to protect community environmental values and
particularly water quality in Hood Canal.
The Master Planned Resort approval process and criteria are detailed in the Jefferson County Code,
JCC 18.15.115 - 18.15.135, with the requirements for approval by the Planning Commission set forth
at Jefferson County Code, Section 18.15.132. These regulations will be the basis for the application,
review, and possible approval of this Plan amendment and master plan approval. Project-specific
permits are necessary to build a specific project, but any subsequent permits would have to be
consistent with the approvals given in the Plan under consideration. The proposal is also reviewed
under the State Environmental Policy Act (SEPA), and the County has required an EIS to assure that
environmental issues are addressed at a logical time and in an appropriate context. As such, the
environmental review is a staged or "phased review" which is permitted under SEPA. The master plan
programmatic review presently before the County for review and approval considers the overall
propriety and implications of the resort in the proposed setting and addresses how impacts may be
avoided and necessary mitigation may be assured. Project-level review, which comes later in the
process, occurs in connection with the application for a specific permit, so the specific engineering
requirements to assure both compliance with the master plan and protection of the environment are
achieved. As such, the programmatic view of the project is conceptual; the project review of the
proposal will be site and time specific.
The master plan program in Jefferson County also requires a development agreement, authorized by
RCW 36.708.170, to identify development standards, phasing, responsibility for implementation, and
period of vesting to County standards for the planned development to assure that the conceptual
master plan will be carried out as proposed.
Pleasant Harbor Marina and Golf Resort
FINAL EIS - (Site Specific Amendment MLA 06-87)
-xl-November 27,2007
The EIS under review is a programmatic EIS issued to address non-project actions.l The Environ-
mental lmpact Statement is part of the project review and public process, which for this project will
include a review by a Planning Commission, committee with public involvement particularly from the
Brinnon Subarea, public hearing(s) before the Planning Commission, and ultimately a public hearing
before the Board of County Commissioners before any final action is taken.
Due to the size of the project, and the areas involved, the County has determined that the public
comment period for the EIS will last through the public hearings on the project by the Planning
Commission. The Final EIS will incorporate all comments received and recommendations by the
Planning Commission. The Final EIS is required to be issued at least seven days prior to action by the
Board of County Commissioners, anticipated in December 2007.
During the environmental review process, written materials may be directed to the Department of
Community Development at any time, and they will be made part of the record. ln addition, public
review before the Planning Commission committee and the Planning Commission will also address
environmental issues. Once the Planning Commission makes its final recommendations, the County
will complete its environmental review and issue the Final EIS before the Board of County
Commissioners takes any action on the approval.
The EIS is processed by the County through the Environmental Review Official, Stacie Hoskins, and
information about the EIS may be obtained at the Department of Community Development between the
weekday hours of 9 am and 4:30 pm, located at 621 Sheridan Street, Port Townsend, WA 98368;
telephone: 3601379-4450. IVany materials are also posted on line at:
http://www. co. iefferson.wa. us/com md evelopmenUBlack Poi nt M PR. htm
Published by Jefferson County
This 5th day of September,2OOT
Stacie Hoskins, Planning ltrlanager
SEPA Responsible Official
I A non-project action is an agency decision on policies, plans, and programs (WAC 197-11-704) pursuant to the
State Environmental Policy Act, Chapter 43.21C RCW,and the imolementinq requlations at Chapter 197-1 1 WAC.
Pleasant Harbor Marina and Golf Resort
FINAL EIS - (Site Specific Amendment MLA 06-87)
-xu-November 27,2007
FACT SHEET
Project Title
Pleasant Harbor Marina and Golf Resort Environmental
lmpact Statement (ElS)
Description of Proposal
The proposed action is a non project action to amend
the Jefferson County Comprehensive Plan to add
approval for a Master Planned Resort in the Black Point
area of the Brinnon Subarea Plan, Application MLA06-
87. The proposed lt/aster Planned Resort will be
developed on 256t acres and will include a golf course,
central resort facility, additional commercial uses, and
residential additions to the Pleasant Harbor Marina area
with a total of 890 residential units.
Location of Proposal
Pleasant Harbor, south of Brinnon at US HWY 101 &
Black Point Rd. in Jefferson County, Washington.
Parcel Numbers 502153002,003, 023, 022,021 & 020;
APN 502154002; APN 502152005, 012,013,014,015 &
016, in Sections 15 &22, Township 25, Range 02 West,
WM, located in Brinnon, WA 98320.
Historic Reference
Proposal area has been subject to logging and was
formerly a 500-unit NACO/Thousand Trails seasonal
campground for trailers and campers. Presently a 285-
boat slip marina with associated retail commercial outlet
and approval for 60-unit RV park are in place.
Proposed Action
Adoption of a Comprehensive Plan amendment
approving the [Vaster Planned Resort and associated
approval of a development agreement confirming
mitigation phasing and development regulation vesting
rules required by the County.
Proponent
Statesman Group of Companies
U.S. Head Office
9300 E. Raintree Drive, Suite 100
Scottsdale, AZ, 85260 USA
Corporate Head Office:
7370 Sierra Morena Blvd SW
Calgary, Alberta, CANADA T3H 4H9
Date of lmplementation
Master Plan approval requested December 2007 as part
of the County's overall Comprehensive Plan review
process.
Lead Agency
Jefferson County
Department of Community Development
Pleasant Harbor Marina and Golf Resort
FINAL EIS - (Site Specific Amendment MLA 06-87)
-xlll-November 27,2007
Responsible Official
Stacie L. Hoskins
Planning Manager
Dept. of Community Development
621 Sheridan Street
Port Townsend, WA 98368
Contact Person
Karen Barrows
Assistant Planner
Dept. of Community Development
621 Sheridan Street
Port Townsend, WA 98368
Jefferson County File
MLAo6-87
Date of Draft EIS
lssuance: September 5, 2007
Planning Commission Public Hearing: October 3,2007
Comments: Through October 24,2007
FE S Published
November 27,2007
Proposed Date of Final
Action
Public Hearing: December 3,2007
Final Action: December 10,2007
Location of Final EIS for
Review
Copies of the Final EIS will be available at:
Jefferson County Department of Community Development
621 Sheridan Street
Port Townsend, WA 98368
Fire District #4 Headquarters
272 Schoolhouse Road
Brinnon, WA 98320
Cosf of Final EIS
lnitial 200 copies available at no charge; disks of the
DEIS and Appendices available from Dept. of
Community Development at $1.10 each; each additional
printed copy at cost (estimate $90 each).
Ad d iti o n a I I nform ati o n
For more information, visit the County website at
http://www.co.iefferson.wa.us and follow Iink to 2007
Comprehensive Plan Amendment Cycle
Pleasant Harbor Marina and Golf Resort
FINAL EIS - (Site Specific Amendment MLA 06-87)
-xlv-November 27,2007
REQUIRED APPROVALS
Jefferson County -
non project approval
* Comprehensive Plan Amendment to enable
the Pleasant Harbor MPR site
* Land Use Map amendment to identify the
Pleasant Harbor Master Planned Resort site
t Development agreement approval
* Master Plan approval
* Unified Development Code amendment to add
a section on the Pleasant Harbor MPR
Jefferson County-
project approval
(phased review
a ppl i cati o n s fi I ed after
Master Plan approval):
Golf Course Resort
. Golf Course. Hotel and related
facilities. Resort Housing. Employee Housing. Wastewater Facility. Water Supply Facility
Local or Gounty Permits:
Jefferson County-
project approval
(phased review
appl ications filed after
Master Plan approval):
Maritime Village
. Residential. Commercial
Local or County Permits:
.f. Preliminary and final plat or binding site plan for
new roads, utilities infrastructure and any lot
modification
* Stormwater permit for:
* preliminary site grading, cut and fill
* new roads and impervious surfaces
* construction and operation of the resort
properties
* Criticalarea protection and modification
Pleasant Harbor Marina and Golf Resort
FINAL EIS - (Site Specific Amendment MLA 06-87)
-xv-November 27,2OO7
* Preliminary/final plat for roads utilities and
other infrastructure
* Stormwater permit for:
.i. preliminary site grading, cut and fill
* new roads and impervious surfaces
* construction and operation of the resort
properties
* critical area protection and modification.
* Class lV conversion Forest practice permit for
predevelopment logging
* Shoreline permit for any development within
200 feet of the shoreline (close beach access
to south and possible wetland mitigation and
buffer work)
* Shoreline exemption for dock replacement for
Tunicate eradication
* Building permits for construction
Local or County Permits (cont.):
.i. Class lV conversion Forest practice permit for
predevelopment logging
n Shoreline Permit for all development within
200 feet of the shoreline of Pleasant Harbor.
(Simple dock replacement as part of the
Tunicate eradication program with WDFW is
considered repair or replacement and would
not require a shoreline permit.)
* Building permits for construction
.i. Fuel containment and fire plan (Fire Dist. #4)
Jefferson County-
project approval
(phased review
applications filed after
Master Plan approval):
Golf Course Resort
. Golf Course. Hotel and related
facilities. Resort Housing. Employee Housing. Wastewater Facility. Water Supply Facility
Maritime Village
. Residential. Commercial
State Permits:
* Wastewater treatment and upland disposal
(Class A recycled water)facility permits from
WDOE
l. Class A Water System approval by WDOH
* US HWY 101 right of way access permits for
access to US HWY 101 from WDOT
* Well closure approval by WDOE
* Hydraulic project approval by WDFW for all
work below OHWM in Pleasant Harbor
l. Water rights certificate approval by WDOE
* Underground storage tank certification by
WDOE
* Construction period air quality permits from air
quality authority
* NPDES general permits for clearing from
WDOE
* Water quality certification, wetlands, by WDOE
Jefferson County-
project approval
(phased review
applications filed after
Master Plan approval):
Maritime Village
o Residential. Commercial
Federal Permits:
'i. Section 404 and 10 permits for all work in waters
of the U.S. and stream modification or crossing
(road crossing streams a & b).
Pleasant Harbor Marina and Golf Resort
FINAL EIS - (Site Specific Amendment MLA 06-87)
-xvl-November 27 ,2007
EIS AUTHORS AND PRINCIPAL CONTRIBUTORS
Statesman CEO
Statesman Group of Companies Ltd
7370 Sierra Morena Blvd. SW
Calgary, Alberta, CANADA T3H 4Hg
Contact: M. Garth Mann
Phone: 403-256-4151 ; Fax: 403-256-61 00
Appl ication Coordination
and Processing
A. W. "Sandy" Mackie
Perkins Coie LLP
111 Market Street NE, Suite 200
Olympia, WA 98501
Phone: 360-956-3300
Wetlands and Streams,
Wildlife, Shorelines and
Marina Assessment
GeoEngineers, Inc.
1550 Woodridge Drive SE
Shorelines and Marina Assessment
Port Orchard, WA 98020
Contact: Wayne Wright
Phone: 360-769-8400; Fax: 360-956-1208
Geology and Soils,
Aquifer and Hydrology
Studies
Subsurface Group LLC
630 6th Street South
Kirkland, WA 98033
Contact: Scott Bender
Phone: 425-828-7 545; Fax: 425-B2B-7 548
Perrone Consulting, lnc. P.S.
11220 Fieldstone Lane NE
Bainbridge lsland. WA 981 10
Contact: Vincent J. Perrone
Phone: 206-778-8074
Civil Engineering and
Water Reclamation/
Systems
2020 ENGINEERING, lnc.
700 Dupont Street
Bellingham, WA 98225
Contact: Mark S. Buehrer
Phone: 360-671 -2020; Fax: 360-671-0322
Pleasant Harbor Marina and Golf Resort
FINAL EIS - (Site Specific Amendment MLA 06-87)
-xvll-November 27, 2007
Water Engineering
Systems
NovaTec Consultants lnc.
NovaTec Envirocorp lnc.
Suite 101 - 2415 Columbia Street
Vancouver, British Columbia
Canada VsY 1N5
Contact: Troy D. Vassos
Phone : 604-87 3-9262: F ax 604-873-2353
Historical and Cultura!
Resources Assessment
Western Shore Heritage Services, lnc.
8001 Day Road West, Ste. B
Bainbridge lsland, WA 981 10
Contact: Glen Hartmann
Phone: 206-855-9020; Fax: 206-855-9081
Traffic lmpact Assessment
Transportation Engineering Northwest
PO Box 65254
Seattle, WA 98155
Contact: Michael Read
Phone: 206-361-7333 ext. 101 ; Fax: 206-361-7333
Copres mailed or delivered to:
Jefferson County
. Planning Commission members
. Board of County Commissioners
. Prosecuting Attorney's Office
. Department of Public Works
. Department of Health & Human Services, Natural
Resources Division
. Jefferson County Fire Protection District #4
. Jefferson County Library at Port Hadlock
Sfate Agencies
a Department of Community, Trade and Economic
Development, Growth Management Services
Department of Ecology, SEPA Unita
Notification of availability emailed or mailed to:
Jefferson County
a All other County departments not listed above
DISTRIBUTION LIST
Pleasant Harbor Marina and Golf Resort
FINAL EIS - (Site Speciflc Amendment MLA 06-87)
-xvlll-November 27,2007
Local Agencies &
Organizations
o City of Port Townsend
. Jefferson County Public Utility District #1
. Port of Port Townsend
. Jefferson County Conservation District
. Brinnon School District
. Quilcene School District
. Jefferson Transit
. Mason County Department of Community
Development
. Kitsap County Department of Community
Development
. Clallam County Department of Community
Development
. Washington Environmental Council
. Olympic Environmental Council
. Wild Olympic Salmon
. North Olympic Salmon Coalition
. Point-No-Point Treaty Council
. Port Gamble S'Klallam Tribe
. Jamestown S'Klallam Tribe
. Skokomish Tribe
. Hoh Tribe
. Port Townsend & Jefferson County Leader
. Peninsula Daily News
o Forks Forum
Pleasant Harbor Marina and Golf Resort
FINAL EIS - (Site Specific Amendment MLA 06-87)
-xlx-November 27 ,2007
n
Sfafe Agencies
. Department of Community, Trade & Economic
Development (CTED)
. Department of Natural Resources (Anne Sharrar &
SEPA Review)
. Department of Transportation (Bill Wiebe & SEPA
Review)
. Department of Health (John Aden)
. Department of Social & Health Services (Elizabeth
McNagny)
. Department of Corrections (Rebecca Barney)
. Department of Fish & Wildlife (Steve Penland, Tim
Rymer, Jeff Davis & SEPA Review)
. Department of Ecology (GMA Review)
. Puget Sound Partnership (John Cambalik)
. Parks & Recreation Commission (Bill Koss)
. lnteragency Committee for Outdoor Recreation
(Lorinda Anderson)
Other I nterested Parties
. Washington Association of Realtors
. Bangor US Naval Submarine Base
Pleasant Harbor Marina and Golf Resort
FINAL EIS - (Site Specific Amendment MLA 06-87)
-xx-November 27,2007
n
TABLE OF CONTENTS
INTRODUCTION-FEIS
INTRODUCTION-DEIS
FACT SHEET
SUMMARY
CHAPTER 1-THE PROPOSAL
1.1 Location of the Proposal
1.2 The Proposed Master Plan
1.3 Summary of the Proposal and Permitting Limitations
CHAPTER 2-THE PHYSICAL SETTING
2.1 Location of the Proposal and Alternatives
2.2 Brinnon Subarea
2.3 Existing Site Conditions (Black PoinVPleasant Harbor)
2.4 Hood Canal
2.5 The Olympic Mountains
CHAPTER 3-PROBABLE SIGNIFICANT ADVERSE IMPACT REVIEW OF THE
PROPOSAL (including responses to comments)
3.1 ExistingConditions
3.2 Shellfish
3.3 Water Resources: Use, Reuse, Management, Treatment, and Disposal
3.4 Transportation
3.5 Public Services (including tax burden, rescue services, and health services)
3.6 Shorelines
3.7 Fish and Wildlife
3.8 Rural Character and Population (including housing density, mix retail and
rental affordability)
Paqe
i
xi
xiii
xxiii
1-1
1-1
1-4
1-17
2-1
2-1
2-1
2-4
2-6
2-B
3-1
3-1
3-2
3-14
3-39
3-55
3-69
3-72
3-74
Pleasant Harbor Marina and Golf Resort
FINAL EIS - (Site Specific Amendment MLA 06-87)
-xx1-November 27 ,2007
3.9 Archeological and Cultural Resources
3.10 CriticalAreas
3.11 Other lssues
CHAPTER 4-DESCRIPTION OF ALTERNATIVES REVIEWED AND IMPACTS
4.1 No Action Alternative
4.2 Brinnon Subarea Plan Alternative
4.3 Hybrid Plan
CHAPTER s-FEIS MITIGATING CONDITIONS FOR SUBSEQUENT PROJECT
REVIEW, TECHNICAL COMMENTS, AND COMMENT LOG
5.1 Conditions for Permit Approval in Any Phase of the Approved Proposed MPR
5.2 Technical Comments
5.3 County Comments Received After the lssuance of the DEIS
PUBLIC COMMENTS (in separate volume)
DEIS APPENDICES (in separate volume)
3-78
3-78
3-84
4-1
4-1
4-12
4-20
5-1
5-1
5-13
5-22
Appendix 1
Appendix 2
Appendix 3
Appendix 4
Appendix 5
Appendix 6
Appendix 7
Appendix 8
Appendix 9
Appendix 10
Historic Reference site plan and topography maps of American Campground
Marina lmpact Analysis, Bl15106, prepared by GeoEngineers
S h o rel i ne C h aracteri zatio n Re port, Bl 31 06, prepared by GeoE ng i neers
Soi/s and Geology Evaluation, Bl10107 prepared by Subsurface Group
Water Supply and Groundwater lmpact Analysis,6t26t}6, revised 8114107,
prepared by Subsurface Group
Transportation lmpact Study,8l28l07, prepared by Transportation Engineering
Northwest
F i sh and Wil d I ife H a bitat Assessmen t, 7 I 20 I 06, prepared by GeoE ng ineers
Cultural Resource Assessment for the Proposed Pleasant Harbor lrlarina and
Golf Resort, Jefferson County, WA,6130106, prepared by Western Shore
Heritage Services
Wetland Delineation, 7 120106, prepared by GeoEngineers
Example of a Notice of Mariners with map showing restricted or closed areas of
Dabab Bay (DBRC)
Pleasant Harbor Marina and Golf Resort
FINAL EIS - (Site Specific Amendment MLA 06-87)
-xxll-November 27,2007
SUMMARY
The EIS describes a proposal for an amendment to the Jefferson County Comprehensive Plan and
development regulations to add a new Master Planned Resort in the Brinnon Subarea of Jefferson
County. The Master Plan proposal sets forth a conceptual plan for a resort hotel and rental units,
combined with a significant expansion of the lt/arina Village facilities at Pleasant Harbor. The proposal
under review would establish a Master Plan allowing up to 890 units and corresponding resort
commercial development within the Master Plan area, subject to conditions imposed by the County
through the approval of the amendment, if granted. The approval at this stage is only "programmatic"
and additional environmental review is required at the project level when the specifics of any phase are
identified in more detail and reviewed for permit approval.
The County issued a scoping notice asking the applicant to respond to nine different specific issues
including: (1) shellfish; (2) water quality, quantity, and use; (3) transportation; (4) public services,
including tax burden, rescue services, and health services; (5) shorelines; (6) fish and wildlife; (7) rural
character; (B) archeological and cultural resources; and (9) critical areas, including wetlands, aquifer
recharge, frequently flooded areas, fish and wildlife conservation areas, and geologically hazardous
areas.
The project description is set forth in more detail in Chapter 1, and the setting and amenities in the
surrounding area are identified in Chapter 2. The potentially significant adverse environmental impacts
are identified in Chapter 3 and the comparative impact of the alternatives is identified in Chapter 4. The
alternatives include a no action alternative, a resort encompassing the entire area identified in the
Brinnon Subarea Plan as a potential Master Planned Resort, and a hybrid alternative that identifies a
combination of lt/aster Plan approval for the proposed project and rural resort type development on
adjacent properties.
The potential impacts are identified under the topic headings noted, and each section has detailed
mitigation requirements to be imposed at the project level. Specific project caps and limits were set
forth in the project review to make sure County concerns at the programmatic level were addressed.
(1)Shellfish-The area is an important shellfish area and the waters around Pleasant Harbor and in
Hood Canal are important for all varieties of fish as well as shellfish, so water quality is a major element.
Key mitigation points:
Class A reuse and recycling program required to avoid process water discharge to Hood
Canal.
Treatment of all waters at the marina area to assure 2005 Puget Sound water quality
standards are met for all discharges.
. Tunicate eradication program in concert with WDFW to help eradicate an invasive species.
. Stormwater management plan for all clearing and grading to assure that the goal of no
discharge of contaminates to the waters of Hood Canal or Pleasant Harbor is achieved.
The detailed mitigation requirements are found at Section 3.2.7, and detailed discussions of water
quality and harbor and marina-related issues are found in Appendix 2 and Appendix 3.
(2) Water Resource Use, Reuse, Management, Treatment, and Disposal-The proposal is required to
use an onsite wastewater treatment reuse and recycling program with no discharge to Hood Canal for
Pleasant Harbor Marina and Golf Resort -xxiii-November 27,2007
FINAL EIS - (Site Specific Amendment MLA 06-87)
a
a
storm and treated waters. The proposal also looks to a rainwater harvesting program to supplement
existing water rights and looks to both low impact development and low flow fixtures to provide a
reduced water service demand for the project.
The key conditions include:
. A requirement to obtain necessary water rights in advance of proceeding to preliminary plat
approval or public hearing for the project, including investigation of alternate water resources
that may be available.
A requirement to have approved and installed a wastewater treatment system that is capable of
processing all site water demands to Class A recycled capability.
A requirement to have sufficient onsite water storage to provide year around irrigation and
sustainable firefighting capability on site.
The detailed mitigation requirements are found at Section 3.3.8, and a detailed discussion of water-
related issues are discussed in the Water Supply and Groundwater lmpact Analysis, Appendix 5.
(3) Transportation-The projectfronts US HWY'101 and is projecting a significant increase in traffic in
the local area once the resort is operational. Levels of Service (LOS) away from the resort are not
significantly impacted, but traffic control at the intersection is a major concern and will need to be
addressed in detail at the permitting stage (project level).
Key transportation issues and concerns:
The entry and exit points for the marina and resort need to be sufficiently far from US HWY 101
to permit the intersection to operate safely. For this reason the entry to the golf resort is
proposed to be 0.7 miles east on Black Point Road, and the proposed access near US HWY
101 limited to emergency and limited purposes only.
The resort is providing bicycle and pedestrian pathways to encourage nonmotorized circulation
through the resort and to provide a "safe haven" for bicyclists who are on US HWY 101 and
seek to get off the highway for the length of the resort.
The resort is required to do a detailed traffic report at the commencement of each phase
submitted for permits to get approval of intersections from the State Highway Department for US
HWY 101 and from the County for all other public and private roads to assure (1)all roads are
constructed to appropriate standards, (2) emergency access and escape is provided for all units,
and (3) all necessary infrastructure to serve traffic and circulation is completed with each phase.
The detailed traffic mitigation requirements are included at Section 3.4.4, and the Transportation lmpact
Study is at Appendix 6.
(4) Public Services-Additional community concerns include: the ability of the community to provide
public facilities and public services to the community, and how to design the community to provide the
economic benefits intended by the Comprehensive Plan and still minimize impact on the overall
character of the community. The issues are addressed in detail in Section 3.5.
Public capability and services are identified and the additional new services are to be identified through
a memorandum of understanding with the public service providers, including County, health, schools,
a
a
a
a
a
Pleasant Harbor Marina and Golf Resort
FINAL EIS - (Site Specific Amendment MLA 06-87)
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and emergency services. (See 3.5.1.5, Fire Protection and Emergency Service Mitigation and 3.5.2.2.,
3.5.3.1, 3.5.4.)
An additional concern was the combination of economic and rural character implications of locating a
major resort in the Brinnon area. The County Comprehensive Plan currently identifies the site as an
appropriate location for a Master Planned Resort.
At the lt/aster Plan approval level, the EIS examines the economic and environmental issues and
recommended mitigation. (See Section 3.5.5, Economy, Housing and Employment.)
Brinnon is short of rental housing for a large construction crew that is expected to be onsite for about
five years as the project develops. The applicant identified using the existing 60-unit RV park on the
Black Point property for construction workers during the development to mitigate the impact of a large
influx of new workers.
The project is expected to provide new employment and spending in the community, create demand for
new facilities and services in the Brinnon Rural Village Center, and impact the local property values to
some degree, which is already occurring as a result of the County's indication in the Comprehensive
Plan that the Brinnon Subarea is a target for some form of a Master Planned Resort. Land values are
also increasing independently of the resort proposal (which has been discussed for many years), simply
due to the increasing demand for recreation and retirement property which Hood Canal fits so well due
to its proximity to major metropolitan areas.
Mitigation designed to protect the overall rural character and yet assure the development of a
successful resort are to hold the overall density to less than four units per acre (roughly the density of
the waterfront development surrounding the project and along Hood Canal in the vicinity); provide
specific limits on the number of units and impervious surface; provide for the protection of the shoreline
bluffs and preservation of significant wetland and natural buffer areas, and build the taller buildings into
the hillside with below level parking to have most structures be at a residential height level (35 feet)
when viewed from off the property. The overall area's rural character is also preserved by the County
rural density and limited uses in the rural zones, which are in place surrounding the resort, together with
the limitation that the resort public facilities (sewer and water) cannot be used to serve uses outside of
the resort.
More detailed requirements are set forth at Section 3.5.9.
(5) Shorelines-The Pleasant Harbor Resort is located on Suburban (Pleasant Harbor) and Rural
(Hood Canal) Shorelines and as such are subject to the requirements of the Shoreline Master Program
for Jefferson County. A detailed discussion of the shoreline requirements and Master Plan response is
set forth in Section 3.6 and addresses land use (particularly the prohibition for stormwater or other
discharge to Hood Canal to protect water quality), the preservation of a shoreline buffer on the south
shore to provide a natural riparian zone for water quality and habitat protection, limiting public access to
the Pleasant Harbor side where safe access and water quality issues can be addressed, and closing off
public access to the south shore where safe access cannot reasonably be provided due to the steep
cliffs and where water quality protection could be in jeopardy. Shoreline conditions are detailed at
Section 3.6.7.
(6) Fish and Wildlife-Fish and wildlife are addressed in Section 3.7, with specific details discussed in
the Fish and Wildlife Habitat Assessment, Appendix 7. The site evaluation identified some habitat
benefits for the project site, but no primary association by threatened or endangered species. The site
is retaining over 39% natural open space in addition to the golf course and other open areas, and
providing both wetland and wetland buffers and the riparian buffer along the south canal shoreline for
Pleasant Harbor Marina and Golf Resort
FINAL EIS - (Site Specific Amendment MLA 06-87)
-xxv-November 27,2007
habitat value. There is also a buffer strip of mature trees between US HWY 101 and the Maritime
Village, which provides existing habitat benefits and is to be retained. The development of more than
100 acres of the site into a golf course, Maritime Village, resort housing, and related facilities will
necessarily have an impact on the wildlife that does use the site presently. But these tend to be local
birds and small mammals in no danger of extirpation in the area. The native habitat that does remain is
to be retained in patches rather than small strips, which does improve habitat quality and usefulness
over a wider range of species. Habitat mitigation is found in Section 3.7.4 and Appendix 7, and the
requirement at the permit level to provide specific habitat mitigation plans in concert with each
development phase to control stormwater and assure that wetlands, buffers, and protected open space
habitat are identified and protected through all phases of operation and construction.
(7) Rural Character and Population-This section (Section 3.8) also addresses the issues of housing
and the potential changes in the Brinnon Subarea as a result of the resort. Mitigation is identified in
Sections 3.5.7 and 3.5.9 discussed above.
(8)Archeological and Cultural Resources-Any large-scale project needs an archeological assessment
to make sure that cultural and archeological resources are not disturbed or compromised. An
assessment was done finding no sites of significance in the areas to be developed. (See Cultural
Resources Assessment, Appendix B.) Mitigation includes a requirement to notify proper authorities if
such resources are identified during any level of project development.
(9) Critical areas-The EIS discusses the key critical areas affected by the project, including the
wetlands (Section 3.10.1), aquifer recharge areas (Section 3.10.2), fish and wildlife conservation areas
(Section 3.10.3), and geologically hazardous areas (Section 3.10.5). The site has no flood hazard
areas. The objective of the proposal was to avoid impacts where possible, so the steep bluffs of the
south shore are protected by a significant setback, and the steep slope rules provide for setbacks in the
Marina Village area where slopes occur. Wetlands and buffers are also avoided, with the exception of
Wetland B in the golf course area, which is in the kettle necessary for the irrigation and water reuse
reservoir. Where this wetland is being disturbed, however, mitigation plans require a significant
replacement wetland and buffer to be identified and installed prior to any actions to remove the existing
wetland. Requirements are also in place to protect the water quality of the wetlands during both
construction and operations, and to make sure the golf course is operated consistent with County
regulations for golf courses in aquifer sensitive areas. (The County has adopted King County
standards for such uses.) Critical area mitigation measures are identified at Section 3.10.6.
Alternatives were evaluated, including the no action alternative, a proposal to designate the entire
BSAP MPR area as a resort, and a hybrid looking at the Pleasant Harbor proposal east of US HWY
101 and a rural development directed to recreational use consistent with rural regulations, but
recognizing the proximity with the resort would generate demand for more intense rural uses with the
resort than without. All of the alternative uses and potential impacts are addressed in Chapter 4.
With the exception of the No Action Alternative, the alternatives all have similar impacts since the bulk
of the property is put to resort uses, which mean they share similar impacts in terms of clearing, grading,
and development and share common mitigation requirements with the proposal to avoid, minimize, or
protect and mitigate the environmental values discussed.
The principal differences are discussed.
The No Action Alternative presumes the existing proposals for west of US HWY 101 would be in place
and the marina would continue in its current status, but that the property east of US HWY 101 would be
developed into a small local golf course and 24 home sites, plus six on the existing marina lots, for a
total of 30 new residences. The major differences are that the No Action Alternative would be solely
Pleasant Harbor Marina and Golf Resort
FINAL EIS - (Site Specific Amendment MLA 06-87)
-xxvl-November 27,2007
Rural (through a Planned Rural Residential Development) and would have to rely on existing water
rights and individual wells on the separate properties. It/itigation to avoid water quality impacts would
be required, but the site would be less developed and significantly less traffic would be attracted to the
site for use. The major differences are lack of public water and sewer facilities, less of the overall site
developed and more retained in natural settings, and significantly less traffic. The No Action Alternative
also does not provide the economic and community benefits contemplated in the Comprehensive Plan
of a lVaster Planned Resort.
The Brinnon Subarea Plan Alternative assumes a different format for the development, with 24 units in
houses on 15 lots along the southern shore and marina properties, and a 200-unit hotel resort
conference center on the property south of Black Point. The major difference with the Pleasant Harbor
Resort proposal is that the entire 310 acres would be brought into the resort and the resort would
develop a resort village with commercial services on the properties west of US HWY 1 01 . The intense
development of the MPR property would require similar facilities and conditions as the Master Plan
proposal under review.
Water, sewer, and other public facilities can accommodate the proposal and the same mitigation
requirements would be in place for the BSAP Alternative as the Master Planned Resort under review.
The major difference is in traffic. The US HWY 101 alignment, speed, grade, and site distances are
such that crossing movements would be a safety factor and likely unable to retain the "C" level of
service required on US HWY 101. A signalized intersection would not be permitted under current
standards for highway design, and as such grade separation for both traffic and pedestrians would be
required.
The Hybrid Alternative assumes the Master Plan for the east side of US HWY 101, so the programs
and mitigation identified in Chapter 3 would be required. On the west side the additional development
is permitted under County rural rules, but would be limited by the need to serve the project with septic
tanks and individual wells. Here again, water quality and quantity conditions are required to protect
water quality. The issue of traffic separation and ingress and egress onto US HWY 101 is an issue to
be addressed at the permit level and will pose challenges due to the volumes of traffic and the need to
avoid any unsafe turning movements. Coordinated traffic planning will be important and will be the
principal issue. The other impacts and mitigations are similar to the Master Plan and the BSAP
Alternative and similar conditions would be expected.
Additional information on permit-related conditions may be found in the Appendices.
57 57 7 -000 1 I LEG ALl 37 24 I 33.2
Pleasant Harbor Marina and Golf Resort
FINAL EIS - (Site Specific Amendment MLA 06-87)
-xxvll-November 27 ,2007
Pleasant Harbor Marina and Golf Resort
FINAL EIS - (Site Specific Amendment MLA 06-87)
-xxvlll-November 27,2007
THE PROPOSAL CHAPTER 1
CHAPTER I-THE PROPOSAL
The proposal is a Comprehensive Plan amendment and [\4aster Plan approval for a Master Planned
Resort (MPR) proposed for the Black Point area of the Brinnon Subarea in Jefferson County consisting
of a golf course resort, marina, and Maritime Village.
1.1 Location of the Proposal
The geographic location is shown as a red star on the Figure 1 -1 Location [/ap below
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Figure 1-1 Location Map
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The project is located in the Brinnon Subarea (Area 11) of Jefferson County, shown in Figure 1-2, as
copied from Figure BR 1 of the Brinnon Subarea Plan (BSAP).
Figure 1-2 Brinnon Planning Area
Pleasant Harbor Marina and Golf Resort
FINAL EIS - (Site Specific Amendment tvlLA 06-87)
Page 1-1 November 27,2007
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THE PROPOSAL CHAPTER 1
The BSAP identified the Black Point area as the location of a potential Master Planned Resort (See
Figure 1-3).
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The Pleasant Harbor proposal includes a substantial portion of the Black Point property proposed for
Master Planned Development in the BSAP.
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Pleasant Harbor Marina and Golf Resort
FINAL EIS - (Site Specific Amendment MLA 06-87)
Page 1-2 November 27,2007
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The property within the BSAP potential MPR area is 310.6 acres under multiple ownerships, as shown
in Figure 1-4.
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The proposed Master Planned Resort is located on the "Statesman" property (approximately 256 acres)
upland and 15.2 acres of DNR marina lease area.
Pleasant Harbor Marina and Golf Resort
FINAL EIS - (Site Specific Amendment MLA 06-87)
Page 1-3 November 27,2007
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THE PROPOSAL CHAPTER 1
1.2 The Proposed Master Plan
The Pleasant Harbor Marina and Golf Resort Master Plan proposal involves two components:
. The Golf Course and resort located on the Black Point portion of the property south of Black
Point Road.
. The marina and Maritime Village adjacent to the current Pleasant Harbor Marina and north of
Black Point Road.
o The overall layout is shown in Figure 1-5.
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Area: 256t acres
lmpervious:17%o
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Natural: 35%
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that are planned to be undeveloped.
Figure 1-5 Site PIan - Overall
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Pleasant Harbor Marina and Golf Resort
FINAL EIS - (Site Specific Amendment MLA 06-87)
Page 1-4 November 27,2OO7
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THE PROPOSAL CHAPTER 1
1.2.1 The Golf Course and Resort-220t Acres
The golf course portion of the resort is located on the Black Point portion of the property east of US
HWY 101 and south of Black Point Road.
Area: 22Ot acres
lmpervious:. 17"/o
Pervious: 557o
Natural: 28%
Note: Pervious includes lawns and
other pervious developed areas. The
natural area consists of pervious areas
that are planned to be undeveloped.
Figure 1-6 Site PIan - Black Point Lands
Page 1-5
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November 27,2007Pleasant Harbor Marina and Golf Resort
FINAL EIS - (Site Specific Amendment MLA 06-87)
VG
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THE PROPOSAL CHAPTER 1
Legend for Figures 1-5 and 1-6 - Golf Course Resort
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The MPR for the Black Point Lands (see Figures 1-7, 1-8, 1-9) includes:
o A championship 1B-hole golf course of 6,200t yards "Links Design"
. 60,000 square foot resort center:
e Restaurant and lounge with outdoor lanai
o Conference center and reception
o The spa
. The pro shop and offices
o 128-unit terrace lofts for resort occupancy
o 462 - two-story garden townhomes
. 97 - one-level villas
o 52-unit staff housing
o Class A reuse recycle sewage / effluent i water treatment plant and ponds
o A 200-seat community center
o A 3,000 square foot restaurant for golfing refreshments and community dining
. 739 total residential units
Pleasant Harbor Marina and Golf Resort
FINAL EIS - (Site Specific Amendment MLA 06-87)
Page 1-6 November 27,2007
il
THE PROPOSAL CHAPTER 1
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Figure 1-7 Terrace Condo-Tel Center
Pleasant Harbor Marina and Golf Resort
FINAL EIS - (Site Specific Amendment MLA 06-87)
Page 1-7 November 27.2OO7
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Townhome Housing - Typical
Pleasant Harbor Marina and Golf Resort
FINAL EIS - (Site Specific Amendment MLA 06-87)
Page 'l-8 November 27,2007
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THE PROPOSAL CHAPTER 1
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Pleasant Harbor Marina and Golf Resort
FINAL EIS - (Site Specific Amendment MLA 06-87)
Page 1-9 November 27,2007
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THE PROPOSAL CHAPTER 1
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Fire safety note-As a general matter, all buildings are required to provide a 1.5 x height collapse zone,
and an area suitable for ladder access to any side of the building not served by paved surfaces of 10-
15 feet wide. The specifics of such a program are detailed in conjunction with building plans, and are
not necessarily shown on these sketches (applies to the marina area as well as the Golf area).
R'5U\TE0
Pleasant Harbor Marina and Golf Resort
FINAL EIS - (Site Specific Amendment MLA 06-87)
Page 1-10 November 27,2007
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THE PROPOSAL CHAPTER 1
1.2.2The Marina and Maritime Village
The Maritime Village is the northerly component of the [\4aster Planned Resort, located between US
HWY 101 and the Pleasant Harbor Bay, and consists of the marina, the maritime resort, and water side
resort. See Figure 1-12.
Commercial
Water-side units
Townhouses
Villas
16,000t square feet
63 units
40 units
48 units
151 residential unitsTotal
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Area: 37* acres
Impervious:22Yo
Pervious: 5oZ
Natural:73%
Note: Pervious includes lawns and
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natural area consists of pervious areas
that are planned to be undeveloped.
Page 1-11
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November 27,2OO7Pleasant Harbor Marina and Golf Resort
FINAL EIS - (Site Specific Amendment MLA 06-87)
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Legend for Figure 1-12 Site Plan - Maritime Village and Waterside Lots
BUILDING TYPES
MARINA VILI.AGE
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Pleasant Harbor Marina and Golf Resort
FINAL EIS - (Site Specific Amendment MLA 06-87)
Page 1-12 November 27,2OO7
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THE PROPOSAL CHAPTER 1
1.2.2.1 Maritime Village Subarea
The lMaritime Village subarea is located at the northerly end of the marina and is a redevelopment of
the existing marina and commercialfacilities serving the marina.
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Figure 1-13 Site Plan - Marine Village Subarea
Redevelopment of the existing marina complex into a mixed use "Maritime Village." Four mixed use
buildings would include 16,000r square feet of commercial space, with recreational residences located
above, accessed via an adjoining service road. A waterfront pedestrian promenade will be developed
along the shoreline between the new structures and the existing marina.
o The 16,000t square feet of commercial space is proposed to contain a mix of uses.o Retention of the existing 285-slip Pleasant Harbor Marina. No expansion is planned for the
existing docks other than cleanup of wood docks, creosote piers, and replacing the fuel tanks and
delivery system.o Development of a new access road from Black Point Road north on the upland side of the
properties as a one-way access to the Maritime Village area.
r Closure of five existing access/egress points from US HWY 101.
The new Maritime Village will replace the existing convenience store and boater's room (circa 1950s),
as well as other smaller existing structures. The septic tank(s) and pump house will be replaced with a
Sewage Treatment Plant and Water Treatment System. The Fuel Containment Tanks and Pump will be
replaced with the new fuel system.
The Maritime Village Promenade may include a variety of small service and commercial facilities in a
16,000t sq. ft. facility. A typical mix could include:
o A convenience store. An entertainment center. A marine store. A small restaurant and pizza delivery
Page 1-13
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Pleasant Harbor Marina and Golf Resort
FINAL EIS - (Site Specific Amendment MLA 06-87)
November 27,2007
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THE PROPOSAL CHAPTER 1
e A gift and arts and crafts storer A registration/reception area for guests that is combined with Pleasant Harbor Yacht Club
(includes showers, steam rooms, change rooms, and laundry facility)
A l/laritime Village could also include both active and passive water features.
No vehicles (other than emergency vehicles) are allowed access to the pedestrian promenade adjacent
to Pleasant Harbor.
The promenade is pedestrian only and connects with an extensive pedestrian pathway network linked
throughout the resort.
The Maritime Village resort front or rear balconies or solariums are always orientated towards the view
lines of the one- and two-story resort villas and townhomes.
. The secondary one-way road exits US HWY 101 (see Figure 1-15).. The buffers to the five natural streams on the property are to be restored and natural buffers
retained within 50 feet of the stream's edge.r Commercial parking and guest parking will be available at below grade parking areas as well as
surface parking off Black Point Road. All subsurface parking will have to provide fire safety
systems, including air handling, water, emergency access, and egress.o A shuttle provides public transportation to offsite locations, and pedestrian pathways provide
public walking areas within the resort.o The Maritime Village development is designed to be set back 30 feet from the top of natural
slopes, except those improvements directly serving the marina. Typical sketches are illustrated
in Figures 1-14, 1-16, 1-17, and 1-18.
The figures are illustrative of the general location, bulk, and density of the residential units proposed.
Site-specific considerations include compliance with County shoreline setbacks and setbacks from the
top and toe of protected slopes, and orientation to fit the specific site requirements.
B €s identiel Type A Developmert - Marina llnds
C o mm e rcia UR es i dential Deve lo pm ent - M rrin a La nds
Figure 1-14 Section - Residential Type A Development - Maritime Village
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Pleasant Harbor Marina and Golf Resort
FINAL EIS - (Site Specific Amendment MLA 06-87)
Page 1-14 November 27,2007
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THE PROPOSAL CHAPTER 1
The rehabilitated area includes pathways and fire access consistent with local code requirements
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AFEA: 1515-371 S.F,
222 IMPEruEUS: 352.507 5.F
58 PEHI/IOUS: 7{.929 S.F.
73X |IATUBAL: 1.187335 S.F.
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Figure 1-15 Maritime Village Circulation Plan
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Figure 1-16 Section - Commercial/Residential Development - Marina Lands
Pleasant Harbor Marina and Golf Resort
FINAL EIS - (Site Specific Amendment MLA 06-87)
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Page 1-15 November 27,2007
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THE PROPOSAL CHAPTER .I
1.2.2.2 The Waterside Residential Area
The eastern portion of the Maritime Village portion of the resort consists of townhomes and terraced
condominiums that have private access from the reconstruction of the existing 1Z-foot roads to one-way
accesses for the residential condominiums and another 12-foot one-way road providing public access
to the Maritime Village.
o The Water Side Lots; the Bed and Breakfast; and the Kaufman Blue House.
This land area is planned for stacked Alpine Style Garden Town Homes, Terrace Condominiums and
residents' surface parking.
A new Habitat Townhome design follows the grades and creates view lines as shown in Figure 1-17.
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Figure 1-18 Section - ResidentialType C Development - Marina Lands
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Pleasant Harbor Marina and Golf Resort
FINAL EIS - (Site Specific Amendment MLA 06-87)
Page 1-16 November 27,2007
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THE PROPOSAL
The figures are illustrative of the general location, bulk, and density of the units and commercial
Cevelopment proposed. Site-specific considerations include compliance with County shoreline
setbacks and setbacks from the top and toe of protected slopes. Such considerations may require
minor changes in location and orientation to fit the specific site requirements. The illustrations are
typical and not site specific.
1.3 Summary of the Proposal and Permitting Limitations
The golf course resort development will involve the development of the preliminary and final plat,
creating the lots on which the project is constructed (including all road, sewer, water, stormwater, and
cther infrastructure). All infrastructure serving the phasing plan of the plat must be installed before site
development may begin.
The key elements of the residential portion of the project are the terraced lofts, the Alpine townhomes
and Villas.
The drawings shown are conceptual, but any development must substantially reflect the orientation,
layout, and composition of the proposal. Mandatory elements of any application shall include:
o Total acres
o Golf side-220t acres
. Marina side-37t acres upland and 15.2t acres tidelands
o Total units 890 project limits
. Golf side-739 units
. 52 staff apartments
o Not more than 68 units (1Oo/o of resort properties) as permanent residences, plus any
units transferred from the marina side
r Not more than 4Oo/o of resort units for long-term tourist use (seasonal stays not to
exceed six months)
o At least 50% of resort units in short-term tourist pool
o Marine side-no more than 151 units
. Not more than 16 (10%) permanent residences (may be shifted to golf course side, but
total permanent residences shall not exceed 84 units)
. Not more than 30%o seasonal tourist, not to exceed six months
o At least 60% in short-term tourist pool
. lmpervious surface
o Golf side-2O%
o Marina side-40%
57 577 -OOOI lLEGAL1 37 2417 4.1
Pleasant Harbor Marina and Golf Resort
FINAL EIS - (Site Specific Amendment MLA 06-87)
Page 'l-17 November 21,2007
CHAPTER 1
THE PROPOSAL CHAPTER .I
Pleasant Harbor Marina and Golf Resort
FINAL EIS - (Site Specific Amendment MLA 06-87)
Page 1-18 November 27,2OO7
THE PHYSICAL SETTING CHAPTER 2
CHAPTER 2 - THE PHYSICAL SETTING
This section describes the physical setting in which the proposed action and alternatives will occur,
2.1 Location of the Proposa, and Alternatives
The site is located in southerly Jefferson County on the shores of Hood Canal and Pleasant Harbor, a
naturally occurring bay. The area is encompassed in the Brinnon Subarea Planning Area of the
County.
2.2 Brinnon Subarea
Brinnon is an unincorporated community situated at the mouth of the Dosewallips River on both sides
of US HWY 101, between the Olympic Mountains and Hood Canal. The Brinnon planning area is
defined by the Forest Service's Rainbow Campground at Mount Walker on the north and the Jefferson
County line to the south, and includes all the land in between Hood Canal west to the Olympic National
Park. Within the Brinnon planning area the majority of the lands are forest lands owned by the federal
and state government and private timber companies. There are also small concentrations of retail and
commercial services in Brinnon and at Black PoinUPleasant Harbor.
With the exception of small lot subdivisions, the BSAP is characterized by low density residential
development with a remote, rural character. Higher density residential lands tend to occur along or
near the Hood Canal shoreline and portions of the Duckabush and Dosewallips Rivers. Current
residential zoning is in the form of five-, ten-, and twenty-acre lots. At the time of adoption of the BSAP
there was an anticipated 2O-year demand for 280 residential lots to accommodate the projected
population increase. There are approximately 900 vacant lots on record. Recent interest in canal and
vacation housing, however, may accelerate the projected rate of absorption.
Current population for the BSAP is estimated at 1,320 people, based on the year 2000 population of
approximately 1200 and 2.03o/o annual growth rate for five years. Local population may grow to 5,000
when summer and seasonal residents are counted in the peak summer season. Recent population
trends in the area suggest the majority of this increase is from people retiring to the area who are 50
years of age and older. Ownership and occupancy trends also suggest that nearly half of developed
lots are in seasonal or recreational use, and the percentage of seasonal ownership will likely increase,
due to the overall growth of the Puget Sound region and the attractive natural amenities of west Hood
Canal. This demand for recreational properties contributed to the doubling of average housing prices
between 1990 and 2000. The demand for both permanent retirement and recreational homes
continues to drive up local housing prices.
Pleasant Harbor Marina and Golf Resort
FINAL EIS - (Site Specific Amendment MLA 06-87)
Page 2-1 November 27, 2007
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Figure 2-1 Brinnon Comprehensive Plan Land Use Designations
Pleasant Harbor Marina and Golf Resort
FINAL EIS - (Site Specific Amendment MLA 06-87)
Page 2-2 November 27,2007
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The Brinnon core is designated a Rural Village Center (a LAMIRD under GMA) in the Jefferson County
Comprehensive Plan. This is an area of approximately 66 acres, with about 19 acres currently vacant.
Developed land is a mix of residential and commercial uses such as a restaurant, motel, insurance
office, grocery/gas station, nursery, and post office. The intent of the Rural Village Center (RVC)
designation is to allow for commercial infill development to take advantage of what is expected to be an
increase in local tourism from the overall growth of the Puget Sound region, and to allow for the
possibility of higher density, lower income housing. Also in the RVC are the Brinnon School and the
headquarters for the Brinnon Fire District #4.
Figure 2-2 Aerial Photo, Black Point to Brinnon (Brinnon town site located just north of the river,
not south as shown on the map)
Brinnon has a large number of platted lots, but development in some areas is limited by a high ground
water table, a lack of sewer facilities, and a flood plain/flood way (see Figure 2-3).
Pleasant Harbor Marina and Golf Resort
FINAL EIS - (Site Specific Amendment MLA 06-87)
Page 2-3 November 27,2007
CHAPTER 2
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2.3 Existing Sife Conditions (Black PoinUPleasant Harbor)
The area known as Black Point is an approximately 71O-acre peninsula that is surrounded on the north,
south, and east by the waters of Hood Canal. Pleasant Harbor is formed by the west shore of Black
Point and the mainland and is connected to Hood Canal by a narrow channel at the harbor's north end.
US HWY 101 defines the remaining western edge of Black Point.
2.3.1 BIack Point (Figure 24)
Land use on Black Point itself is comprised of full-time and seasonal residences; vacant residential
parcels; a previous, nonconforming 500-unit RV campground that is currently used in the summer
season and is permitted for 60 RV sites; a real estate office; and approximately 30 acres of forest
owned by the Washington State Department of Fish and Wildlife (WDFW), which has a boat ramp and
picnic facilities at the south end of Pleasant Harbor. There are 246 platted parcels on Black Point. Of
the remaining parcels, 158 are developed with some kind of residence, 72 are vacant, 4 are set aside
for community use, and 4 are owned by the WDFW.
Pleasant Harbor Marina and Golf Resort
FINAL EIS - (Site Specific Amendment MLA 06-87)
Page 2-4 November 27, 2007
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According to the 2000 Census there are
107 permanent residents on Black
Point, which represent approximately 57
full-time dwelling units. This suggests
the other 101 developed residential lots
are for seasonal or recreational use.
The majority of the existing lots (225)
are zoned for one dwelling per five
acres, so the existing lot configuration is
not expected to increase. The Black
Point subdivisions are served by a
public water system and onsite sewageI
Figure 2-5 Pleasant Harbor
2.3.2 Pleasant Harbor Mari na
Pleasant Harbor (see Figure 2-5) is an all-weather,
deep-water harbor that contains two marinas and is
accessed through a narrow channel from Hood Canal.
A State Park overnight moorage dock and ten private
docks share the shoreline of Pleasant Harbor with the
two marinas. A public boat launch is also located at
the southernmost extent of Pleasant Harbor on
Washington Department of Fish & Wildlife lands. A
new boat ramp has been constructed in the southwest
corner of the harbor by the WDFW to promote access
to the Hood Canal fishery (see Figures 2-6 and 2-7).
The Pleasant Harbor Marina is a commercial marina
located on the harbor's north side. The marina
contains 285 boat slips. The marina is equipped with a
fuel dock for marine fueling for both boats and float
planes. Pump-out facilities are located on the gas
dock, providing sewage disposal for boats in the
harbor.
Figure 2-4 Black Point Properties
disposal systems (septic tanks and drainfields) on individual
lots. There are two subdivisions of significantly smaller lots in
this zoning district: a larger concentration along Rhododendron
Lane at the northeast tip of Black Point and a smaller
concentration off of Roberts Road at the southeast corner
adjacent to US HWY 101. The majority of these smaller lots
are developed with residences and serviced by Pleasant Tides
water system and individual septic systems.
Undeveloped areas of Black Point are dominated by stands of
mature second and third growth forest composed of
indigenous coniferous and deciduous trees, along with a
healthy community of understory plants and shrubs.
Figure 2-6 New WDFW Boat Launch
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Pleasant Harbor Marina and Golf Resort
FINAL EIS - (Site Specific Amendment MLA 06-87)
Page 2-5 November 27,2007
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A second, smaller marina, the Home Port Marina,
is located northeast of the Pleasant Harbor
Marina near the entrance to the harbor. Another
marina is located more than four miles away on
the east shore of Hood Canal in Seabeck.
lvlarinas are limited on Hood Canal, so Pleasant
Harbor acts as an important fueling, mooring, and
sewage disposal site for boaters on the Canal.
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2.4 HOOd Canal Figure 2-7 WDFW Boat Launch
Hood Canal is a dominant environmental feature of the proposal area. Unlike a true canal, it is a sixty-
mile long narrow, deep, body of water much like a fjord. The freshwater sources of the Canal include
snow and glacier melt from the Olympic Mountains, and numerous spring fed lakes and wetlands of the
Kitsap Peninsula, all of which are carried to the Canal by a number of rivers and many small streams.
There are also points along the Canal that directly receive groundwater. Figure 2-8 shows the extent of
the Hood Canal drainage basin.
Hood Canal supports multiple natural
environments, along with recreational and
commercial interests. The Canal has long
been known for its diversity and abundance
of wildlife. lt contains several types of
fisheries, including salmon and shellfish,
which are an important part of the local
economy and of particular commercial
interest to local Tribes. Tourism is a
significant part of the Hood Canal Region's
economy, attracting people for recreation
such as sailing, fishing, orca and bird
watching, and for camping and hiking in the
nearby state and national parks and forests.
It is a strategic watenruay and home to the
Bangor Naval Submarine Base. lts shores
and near uplands have also become home
for an increasing number of people as the
Puget Sound region has continued to grow.
The geology and underwater topography of
the Canal play a key role in overall water
quality and the dynamics of how its waters
circulate. Compared to the rest of the
Canal, the entrance is relatively shallow at
approximately 150 feet in depth.
lmmediately south of the entrance the
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Page 2-6 November 27,2007Pleasant Harbor Marina and Golf Resort
FINAL EIS - (Site Specific Amendment MLA 06-87)
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Canal becomes very deep, averaging between 500 and 600 feet. The geology creates a bottle-neck in
the Canal that restricts water flow and the ability to exchange or 'flush' with the changing tides and
seasons. Estimates of the length of time for complete water exchange range as high as thirty years. ln
addition, the waters of Hood Canal are often highly stratified. Fresh water from the surrounding
drainage basin tends to remain near the surface and creates an upper layer of water that has a different
temperature and salinity than the deeper layer. This stratified water mixes poorly, making oxygen and
nutrient exchange difficult. The end result is that Hood Canal is highly susceptible to impacts of
surrounding development and "high impact" human activities that introduce sediments, chemicals, and
organic material into the Canal's waters. For this reason, any resultant development must focus on low
impact, zero discharge designs where possible.
2.4.1 Recreation on Hood Canal
The state recreational areas near the proposed master plan are both significant and popular, with more
than one half million visitors to the area annually, principally in the summer season.
Washington State Parks has developed a Management Plan for the state-managed parks in the
Dosewallips Area, near Brinnon:
(1) Dosewallips State Park,424.5-acres/5,500 feet of shoreline - has picnicking, hiking, boating,
fishing, public recreational shellfishing for oysters, clams, crabs, shrimp (387,221 visitors in 2004);
(2) Triton Cove State Park, 28.5 acres/593 feet of shoreline - has picnicking, shore fishing, public
recreational shellfishing, and boating (42,212 visitors in 2004);
(3) Pleasant Harbor State Park, 1 acrel100 feet of shoreline - has sheltered moorage (2,439 visitors in
2004):
(4) Toandos Peninsula, with 10,000 feet of shoreline, has public recreational shellfishing with boat
access;
(5) Point Whitney Shellfish Laboratory on the tip of Pt. Whitney has a boat launch available for public
use.
(6) Right Smart Cove, 1 acrel200 feet of shoreline - has kayaking and limited access.
An on-line version of the approved June 2006 Dosewallips State Park Area Management Plan may be
obtained at: http://www.parks.wa.qov/plans/dose/Dosewallips%20Final%20Plan.pdf. See also the
Dosewallips State Park web site at htto://www.parks.wa.qov/parkpaqe.asp?selectedpark=Dosewallips.
Additionally, the state-owned Duckabush Tidelands, located off US HWY 101 about 3.9 miles south of
Brinnon, are open year-round for public recreational shellfish harvesting.
Page 2-7 November 27,2007Pleasant Harbor Marina and Golf Resort
FINAL EIS - (Site Specific Amendment MLA 06-87)
THE PHYSICAL SETTING CHAPTER 2
2,5 The Olympic Mountains
The other outstanding natural and recreational features of the area are the Olympic Mountains, and its
combination of National Forest, National Park, and recreation areas.
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The Brinnon Subarea includes access to the Olympics through three trailhead systems: the Duckabush
and the Dosewallips to the north, and the Hamma Hamma to the south. The Seal Rock Park
campground, located just north of Brinnon, provides public access to the shoreline.
The Olympic National Forest is managed by the U.S. Forest Service, and the Olympic National Park by
the National Park Service.
Significant information about both systems is available on line:
Olympic National Forest website: http://www.fs.fed.us/r6/olympic/
Olympic National Park website: http://www.nps.gov/olym
Published reports identify more than four million tourists per year visit the National Forest and National
Park annually, and here again, the use is heavily skewed to the tourist season from May to October.
See: http://www.olympicpeninsula.orq/research.html. Access to the Olympic National Forest and
Olympic National Park will be one of the attractions of the resort.
Pleasant Harbor Marina and Golf Resort
FINAL EIS - (Site Specific Amendment MLA 06-87)
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57 577 -0001 |LEGALl 37241 99. 1
Pleasant Harbor Marina and Golf Resort
FINAL EIS - (Site Specific Amendment MLA 06-87)
Page 2-9 November 27,2007
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Pleasant Harbor Marina and Golf Resort
FINAL EIS - (Site Specific Amendment MLA 06-87)
Page 2-10 November 27,2007
PROBABLE SIGNIFICANT ADVERSE IMPACT REVIEW OF THE PROPOSAL CHAPTER 3
CHAPTER 3 - PROBABLE SIGNIFICANT ADVERSE
IMPACT REVIEW OF THE PROPOSAL
The purpose of SEPA is to examine the potential environmental consequences of a project that "have a
reasonable probability of more than a moderate impact on the environment" resulting from the proposal.
SEPA is also used to identify means of avoiding the impact or mitigating the impact where avoidance is
not feasible, and to identify alternatives that may provide a beneficial result.
The County issued a determination June 13,2006 concerning the probable significant adverse impact
for the proposed Master Planned Resort, based on three alternatives:
. No action
. The proposal
o The conceptual plan described in the Brinnon Subarea Plan.
During subsequent discussions, the County requested analysis of a "hybrid model" which looked at the
proposal in context with the surrounding Master Planned Resort (MPR) lands outside the MPR to view
the overall impact of the project in context with other anticipated development. This alternative is
referred to as the "hybrid" model.
All four alternatives are addressed in the EIS
As a result of the scoping process, the County concluded that the potential for adverse impact affected
nine areas of the environment and related sub issues: (1)shellfish, (2) water, (3) transportation, (4)
public services, (5) shorelines, (6) fish and wildlife, (7) rural character, (8) archeological and cultural
resources, and (9)critical areas. (See Scoping Notice dated June 13,2006.)
This section will address the base conditions for each, the proposal and the preliminary
recommendations for avoidance or mitigation. The alternatives share many of the impacts and the
difference may be in timing or scale. The analysis of the alternatives and the resulting impacts will be
discussed in Chapter 4.
At the programmatic level, the approval of the Comprehensive Plan amendment and Master Plan and
associated development agreement do not vest the right to construct any specific project. lf approved,
the Master Plan is the guideline for future permitting to assure the permits issued for the development
of projects within the approved Master Plan area are consistent with the guidelines and mandatory
elements set forth in the ElS.
The format here will be to address the specific inquiry by scoping notice topic and address how the
issue is affected by and to be addressed by any specific Master Plan approval.
Supplemental environmental review and the opportunity for the public to address project-specific
environmental issues will be provided at each permit review process.
3.1 Existing Conditions
The golf course resort is located south of Black Point Road and occupies approximately 220 acres.
The site was previously devoted to a 500-unit campground formerly owned by Thousand Trails and
NACO, and was well developed with a clubhouse, roads water system, and camp sites. (See map at
Appendix 1.) The site is characterized by several relatively flat terraces, interspersed with steep slopes
and a series of kettles or depressions; the bottoms of three kettles are characterized by wetland
vegetation. Most natural runoff on the site is presently contained in the kettles or filtered through
natural vegetation. The southern portion of the site is a steep bluff (100+ feet high) and a narrow beach
Pleasant Harbor Marina and Golf Resort
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Page 3-1 November 27,2007
PROBABLE SIGNIFICANT ADVERSE IMPACT REVIEW OF THE PROPOSAL CHAPTER 3
fronting the shellfish beaches on the Duckabush River delta. A small path presently leads from the top
of the bluff to the beach, but no development is located in proximity to the bluffs orthe beaches.
Pleasant Harbor is an all-weather deepwater harbor along the western edge of the Hood Canal, 18
nautical miles south of the Hood Canal floating bridge, near Brinnon, Washington.
The existing marina contains 285 boat slips, including 21 that can accommodate vessels up to 150 feet
in length and dates from the late 1940s and was most recently permitted for expansion in 1997.1
The current Pleasant Harbor Marina is equipped with a fuel dock for marine fueling with a sewage
pump-out located on the dock.
The marina was expanded to its current configuration under permits granted in 1997 and the
occupancy and planned operations of the marina as a functional part of the resort are within the range
of uses and densities contemplated when the marina expansion was approved. Further expansion of
the marina or its operations, beyond that approved under previous permits, is not anticipated as part of
the proposed project by Statesman Corporation.
Most recently, permits were approved for the expansion of the WDFW boat launch (constructed and put
into operation in 2007) located at the southerly end of the marina.
While the presence of the resort may increase the overall use of both the marina and boat launch as a
destination or launch site for boating activities, both the marina and the boat launch are planned for
public activity and both facilities are anticipated to operate within previously approved limits even with
the development of the resort. Any expansion of either marina or boat launch facilities would require
new permits and review. None is planned in conjunction with the resort.
The Pleasant Harbor/Black Point area is ringed with residential development on small lots with septic
disposal. Many of the waterfront lots in the harbor have docks or float facilities that are used for
boating, making the harbor an active maritime area, particularly in the summer. Pleasant Harbor has
some live aboards, and, to a greater extent so does the marina to the north.
The WDOH has a water quality monitoring station, #293, in the Hood Canal near the mouth of Pleasant
Harbor to measure bacteria levels used to determine shellfish closure zones (WDOH 2005). Water
quality in Pleasant Harbor "meets standards but there are some concerns;" however, the WDOH has
prohibited shellfish harvesting in Pleasant Harbor based on standard concerns with any shellfish grown
in an area adjacent to a marina (WDOH 2006a). This decision is not likely to change due to the risk of
shellfish containing harmful biotoxins and pollutants to humans. Commercial and recreational shellfish
harvesting is not allowed in prohibited areas.
3.2 Shellfish
Jefferson County received scoping comments concerning potential adverse impacts:
Whether the resort would result in increased vessel operation in Pleasant Harbor that may
create a risk of increased closure to shellfish harvesting in the immediate surrounding area.
How to address an invasive species, Club Tunicates (Sfye/a clava),2 that has been found in the
marina and reduce the potential that Pleasant Harbor will be the catalyst for a rapid bloom of
Tunicates onsite having specific, localized impacts on the shellfish in Black Point and Pleasant
Harbor.
'The shoreline permit for the marina expansion is SDP96-0009, issued July 14, 1997. The Final Binding Site
Plan for Marina Expansion at Pleasant Harbor Marina was approved August 18, 1998, Sheets 1-5. The permits
and associated terms and conditions are available at the Jefferson County Department of Community
Development office and Headquarters Fire District # 4.
2 Club Tunicates are not shellflsh,but are addressed here for convenience purposes.
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PROBABLE SIGNIFICANT ADVERSE IMPACT REVIEW OF THE PROPOSAL CHAPTER 3
. How to assure the potential for the project to affect water quality in Hood Canal, as it may affect
fish or shellfish is addressed, and means are identified to eliminate or mitigate potential
significant adverse impacts.
!f water quality degradation occurs as a result of the resort activity, other marine-dependent organisms,
including fish, invertebrates, whales, and porpoise may be affected. Where such impacts are identified,
measures to eliminate the source of contamination must be identified and addressed in any permit
review. The purpose of the mitigation measures suggested and/or required by this EIS is to assure that
the project is designed to avoid water quality impacts.
3.2.1 Shellfish-Pleasant Harbor
No additional shellfish closures are anticipated as a result of the approval of the Pleasant Harbor
Marina and Golf Resort. Water quality data for Pleasant Harbor and the existing marina, including data
relating to the existing marina operation, was collected as available and summarized in the report found
in Marina lmpact Report. (See August 15, 2006, Report at Appendix 2.)
Shellfish closure zones established by the Washington State Department of Health (WDOH), marine
water quality data records from Jefferson County Department of Health, Washington State Department
of Ecology (WDOE), Washington Department of Fish and Wildlife (WDFW), and local Tribes were
sought and collected as available.
The water circulation patterns of Pleasant Harbor were collected from current and tidal records. The
boating movement around the piers and docks was also recorded and examined to determine the route
of travel in the harbor.
A field assessment of Pleasant Harbor and the marina environment was conducted to assess the
existing conditions to obtain information on the areas of concern and to obtain site photographs. The
marine survey was conducted from a boat and included water quality measurements as well as wildlife
observations. The field survey also documented general characteristics in the harbor.
Additional information is also provided based on meetings and discussions regarding lhe Styela clava
and proposed dock replacement program with the WDFW since September 2006. A site visit to the
marina with the WDFW occurred on September 15, 2006.
Shellfish resources, including mussels, clams, and oysters were observed within Pleasant Harbor and
in the vicinity of the Pleasant Harbor Marina.
The number of slips at the Pleasant Harbor Marina will not increase as a result of the proposed resort,
nor will the operation capacity of the marina increase from previously approved expansion as a result of
the resort. Boating traffic and movement in the harbor may be expected to increase from the general
public over time as a result of increased interest in the resort. However, increased level of activity is
occurring in marinas regionally due to the limited number of marinas available, and no material increase
is predicted over that contemplated in permits for the existing marina.
A new boat launch has been constructed by the WDFW on the western side of the harbor. See Figures
3-1 and 3-2. This boat launch will require a fee to launch a boat. This new boat launch will attract more
boaters to Pleasant Harbor to enjoy the recreational activities in the area. All of Pleasant Harbor is
designated as a no-wake zone. Pleasant Harbor Marina typically receives about 1,000 guest moorages
per year (Pleasant Harbor Marina 2006). There has been no dredging of Pleasant Harbor in the past
20 years and there are no plans for any marina expansion located in Pleasant Harbor.
Pleasant Harbor Marina and Golf Resort
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PROBABLE SIGNIFICANT ADVERSE IMPACT REVIEW OF THE PROPOSAL CHAPTER 3
I
Figure 3-l New WDFW boat launch Figure 3-2 New WDFW boat launch
The shoreline permit conditions forthe marina expansion approved in 1997 (at a time when a Master
Planned Resort was already under discussion for the area) do remain in effect, and as discussed
below, certain additional mitigation requirements will be imposed to assure water quality is maintained,
but no significant change or deterioration is expected.
3.2.', .1 Shel lfish M iti gation Measures-Pleasant Harbor
Mitigation for impacts resulting from the current operations, including stormwater runoff and the
dependence of the area on wells and septic tanks, is found in requirements to upgrade the public
facilities at the Maritime Village, upgrading the fueling and pump out docks, and the onshore facilities to
minimize the risk of spill. The marina is required to have spill prevention plans and spill containment
facilities in place, and all such plans shall be reviewed at the time of the shoreline permit review to
assure that the plans are up to date and consistent with best management practices.
The permit and mitigating conditions required for the marina will remain in place, and additional
mitigation will be required to provide additional assurance that the marina operations will not adversely
affect the use or health of shellfish operations.
All of the marina and golf course shoreline areas are subject to regulation under the County's existing
and planned shellfish protection district. The resort shall be required to comply with shellfish protection
district conditions.
There is always a potential for water quality or conditions to shift over time, and the shift may or may
not be due to marina or resort operations. Taking advantage of the existing state water quality
monitoring program at the mouth of Pleasant Harbor, however, the resort will be required to annually
collect all water quality monitoring data from the state monitoring stations in the area and to summarize
any changes to the County. The owner is also required to conduct water quality monitoring under the
terms of the marina permits, which shall be continued. Should any changes in water quality be
identified, the County and agencies with jurisdiction may require changes in operation to end, minimize,
and/or mitigate any recent activities causing adverse change. The resort will be required to participate
in an adaptive management program to rectify the problem, including eliminating the source, mitigating
and treating to avoid the problem, or taking other steps necessary and appropriate to preserve water
quality for any source tied to the resort or resort marina operations.
The marina also provides the opportunity for an expansive boater education program similar to those
under review by the County in conjunction with its shellfish protection district and shoreline permits will
assure that a boater education program appropriate to the size and setting of Pleasant Harbor is
incorporated into any shoreline permit operational requirement for the marina and/or Maritime Village.
Pleasant Harbor Marina and Golf Resort
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Page 3-4 November 27,2007
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The most significant mitigation resulting from the Master Plan proposal is found in the replacement of
the existing septic system for the marina (a common source of contamination, particularly in harbors
and bays) with a sewer system to eliminate the risk of effluent or treated wastewater entering the bay
(all wastewater is treated to Class A standards in the new wastewater treatment system and used for
irrigation in the golf course area away from the harbor). The elimination of septic tanks, particularly
those serving commercial uses, is a priority goal of groups seeing to clean up Puget Sound and should
provide significant long-term benefit where usage of the overall facilities increases.
3.2.2 Shellfish-Outside Pleasant Harbor
The overall health of the shellfish resources in the adjacent portions of the Hood Canal is good, with
only a few harvest advisories and one shellfish closure in the area. The shellfish closure nearest to the
closed waters of Pleasant Harbor is located more than 1 mile north in the Hood Canal along the
shoreline of Brinnon, Washington (WDOH 2006). Significant shellfish beaches are found to the south
fronting the Duckabush river system and north of Brinnon (see generally Chapter 2, section 2.4.1).
A review of available literature identifies no presence of Priority Shellfish, Sea Urchin
(Strongylocentrotus spp.), Dungeness Crab (Cancer magister), or Pandalid Shrimp (Pandalus spp.)
located in Pleasant Harbor (WDFW 2006). However, presence of these species is documented in the
water of the Hood Canal surrounding Black Point. Priority marine species may be present in Pleasant
Harbor during certain times of the year. A detailed discussion of marine species in the vicinity of the
site is found in the Shoreline Characterization Report, August 3, 2006, at Appendix 3. Pacific oysters
were observed in the inter{idal zone along the shoreline in Pleasant Harbor.
It is possible that there will be an increased demand for public shellfish harvesting by visitors to the
proposed development. Notification and information (before harvesting shellfish)will be available at the
proposed development at specific locations, such as the marina, Maritime Village, and Conference
Center. ldentification of public shellfish harvest areas and limitations and mapping of private beds for
which public shellfish harvesting is not permitted will be part of the public service kiosk information at
the Maritime Village.
Shellfish harvesting is a popular activity in the area, with open beaches for public use managed by the
State. The resort is located in an area central to the local shellfish interest and provides an alternative
for visitors to the area, taking some pressure off the Dosewallips State Park, which presently sees
almost 400,000 visitors per year. The park allows visitors to take advantage of local fish, shellfish and
other recreational opportunities.
3.2.3 Aquatic lnvasive Species Tunicates
Since 2004, at least a dozen invasive Tunicate colonies
(Figure 3-3) have spread throughout the sound, turning
up in Hood Canal, Birch Bay, Totten lnlet, Des Moines,
and Neah Bay. Their proliferation concerns state
biologists, who worry the non-native invader will continue
to expand along the coast causing ecological damage
and threatening native species. (Fact Sheet,
Washington Department of Fish and Wildlife, March
2006). See Figures 3-3 and 3-5.
Certain non-native Tunicates are considered an "aquatic
invasive species"-non-native plants and animals
ranging from spartina to zebra mussels, which threaten
the biological diversity of Washington State's coastal
waters. Tunicates, also known as Sea Squirts, are
siphon-feeding marine animals that have a heart,
stomach, and intestines. They have no known predators
Figure 3-3 lnvasive Species
Pleasant Harbor Marina and Golf Resort
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Page 3-5 November 27,2007
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PROBABLE SIGNIFICANT ADVERSE IMPACT REVIEW OF THE PROPOSAL CHAPTER 3
and can quickly blanket the hull of boats, pilings, and other hard surfaces, out competing or suffocating
other sea life, including clams, mussels, and oysters.
WDFW representatives believe that as Tunicates continue to multiply in Washington waters, they pose
a serious threat to the State's multi-million dollar shellfish aquaculture industry, just as the creatures
have done in other parts of North America.
The Washington Legislature took action in 2004 to halt the advance of Tunicates and other invasive
species. Lawmakers directed the WDFW to develop a response plan to address discoveries of aquatic
invasive species. The response plan is currently being developed.
The State also has developed standards for discharging ballast water, which is considered the likely
source for the introduction of most invasive plants and animals. Ballast water is drawn into ships for
stability and often contains many foreign species. Each year, approximately 3,500 large vessels enter
Washington, and approximately 40 percent of those ships discharge
ballast in state waters.
Vessels themselves also pose a threat. Tunicates and other aquatic
invasive species can attach to hulls and anchors. Recreational boats
can also spread invasive species if the vessel is moved from one
body of water to another.
Beginning in 2006, as part of the mitigation efforts, WDFW will
provide boaters at boat ramps and harbors throughout the coastal
region information on invasive species and how to properly clean
boats and trailers. WDFW enforcement also will be involved in the
effort, educating other law enforcement agencies on the invasive
species problem, monitoring aquatic plant and animal dealers, and
checking vessels at boat launches and harbors.
As part of the response plan initiative
the Department of Fish and Wildlife
contacted the current owners of
Pleasant Harbor Marina and the
applicant to discuss the opportunity for
partnership in addressing the issue.
Through experiments the WDFW has determined that power-washing
vessels and concrete docks are a more effective removal process than
hand-picking Styela clava (Sea Squirts). ln Pleasant Harbor
approximately 40% of the docks are wooden or have Styrofoam billets,
which are not conducive to the preferred method of power washing. ln
order to facilitate the management and/or ultimate eradication of Stye/a
clava in Pleasant Harbor, the WDFW is seeking to have all the wooden
docks and those with Styrofoam billets to be replaced over time with
concrete docks and concrete floats.Figure 3-5 Club Tunicate
3.2.4 Tunicate Mitigation (Sfye/a claval
The proposed wooden dock replacement program for Pleasant Harbor Marina, which includes all of D,
E and F docks, is the mitigation measure requested by the WDFW. ln addition, l-dock will be replaced
as it utilizes the Styrofoam billets and not the concrete floats as the rest of the marina docks. The
concrete docks and floats will enable and facilitate the WDFW's initiative to minimize the impact and/or
eradicate Styela clava from Pleasant Harbor.
The ideal time for the dock replacement is during the off season, since this will have the least impact on
peak season demand and occupancy. Logistically there is less activity during off season, and off-
season timing will minimize the impact on existing operations and customers. Peak season is from
Pleasant Harbor Marina and Golf Resort
FINAL EIS - (Site Specific Amendment MLA 06-87)
Figure 34 Pleasant
Harbor Meeting I
Page 3-6 November 27,2007
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PROBABLE SIGNIFICANT ADVERSE IMPACT REVIEW OF THE PROPOSAL CHAPTER 3
May through September and off season is from October through April. lt is also important to note that
Styela clava are less active when the water temperatures are below 15 degrees Celsius, making this
the ideal time for the dock replacement.
There are two options for dock replacement, Figure 3-6, depending upon the source of funding and
timing, which is yet to be determined. The preferred option is to replace the docks in stages in order to
minimize the financial burden and impact on overall operations of the marina. For example, D-dock
year 1, E-dock year 2, F-dock year 3, and l-dock year 4. See phasing plan at Section 3.3.3. The
alternative is to replace all the docks in one season; however this would be more disruptive to existing
operations and customers. This alternative is dependent upon the source of funding to make this
option viable over a short time frame.
The WDFW is working to
make Styela clava a
prohibitive species in the
State of Washington.
When Styela clava is
named a prohibitive
species, it will provide the
WDFW additional powers
and authority needed to
eradicate this evasive
species. Within Pleasant
Harbor, it is anticipated
that this new legislation
will enable the WDFW to
expedite the wooden
dock replacement
program, which would
ultimately impact our
proposed timeline and
phasing plan. This would
result in the upgrades to
the marina and Maritime
Village to occur in an
earlier phase.
Figure 3-6 Pleasant Harbor Aerial
As part of the dock replacement program, consideration should be given to the opportunity for dock
reconfiguration. The number of slips that can accommodate boats longer than 50 feet is limited and
most marinas in Hood Canal have long waiting lists for these longer slips.
3.2.5 Shel lfish-Water Qual ity-Protection
Protection of the water quality in Pleasant Harbor and Hood Canal is a principle concern of the region
during the construction and operation of the resort. The program will focus on means to avoid,
minimize, or mitigate any anticipated impact.
lmpacts occur from existing operations (septic fields and untreated or partially treated stormwater), and
could occur from construction (sediment and debris) and operations, particularly wastewater,
stormwater and nutrient loading from operations.
Pleasant Harbor is vulnerable to water quality issues, as is the adjoining Hood Canal. A shallow sill,
approximately 150 feet deep, exists at the entrance of the Hood Canal that restricts the exchange of
water between Hood Canal and the Puget Sound. lt is estimated that water exchange within Hood
Canal takes a magnitude of two years to completely flush (UW-HCDOP 2006). Studies conducted by
the University of Washington have identified that the restricted circulation of the water within Hood
Pleasant Harbor Marina and Golf Resort
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Page 3-7 November 27,2007
PROBABLE SIGNIFICANT ADVERSE IMPACT REVIEW OF THE PROPOSAL CHAPTER 3
Canal, coupled with a high input of nutrients from numerous natural and non-natural sources, have led
to serious water quality issues in the marine waters of the canal (UW-HCDOP 2006). A detailed
discussion of water quality outside of Pleasant Harbor in the vicinity of the site is found in the report
titled Shoreline Characterization Report Pleasant Harbor Marina and Golf Resort August 3, 2006
(Appendix 3).
Water circulation in Pleasant Harbor is limited by a narrow (100 feet) and shallow (10 feet at low tide)
inlet located at the east end of the harbor. The harbor area itself ranges from 30 to 40 feet in depth
(Pleasant Harbor Marina 2006). The harbor water levels fluctuate with the tides and currents of the
Hood Canal. The water quality samples are detailed in the Marina lmpact Analysis, Appendix 2. The
level of pH varied by less than 0.28 inside and outside of the harbor. Dissolved oxygen levels were
within 2.36 mg/L in the upper sampling layer and within 2.24 mglL in the lower sampling layer
throughout all monitoring locations. Water temperatures inside of the marina were 3 to 4'C higher than
the water quality samples taken outside of the harbor; however, this is expected to occur in shallow
harbors such as Pleasant Harbor (Curley 2002 and University of Washington 2005). The salinity levels
in Pleasant Harbor were also lower than those observed outside of the harbor. This lower salinity value
can be attributed to circulation in combination with precipitation, groundwater, and seasonal and
perennial freshwater input on the shoreline of the harbor (Curley 2002 and University of Washington
2005). Even though Pleasant Harbor has a narrow inlet and there are two marinas located in the
harbor, water quality data suggests that the harbor is flushed by the tides on a regular basis to obtain
the same water quality levels of the Hood Canal.
With the elimination of the septic system serving the existing marina and the capture and treatment of
stormwater from the marina development prior to entering the harbor, the overall effect of the Master
Plan proposal is a reduction in pollutant pathways to the harbor and should result in greater protection
of the overall harbor water quality than exists presently.
On the Black Point land of the development, all rainwater percolates through the soils on site.
Rainwater contributes to the wetland systems on the center and east side of the property, and there is
no or limited runoff to the Canal from the majority of the site. See Figure 3-19. The construction of the
golf course, residences, and commercial facilities are all designed to capture rainwater and stormwater
onsite. This water will be utilized onsite, treated, and then be infiltrated back into the aquifer to
eliminate site runoff and to maintain the aquifer system. This innovative approach eliminates offsite
impacts and the potential for degradation of water quality and shellfish populations outside of Pleasant
Harbor. The avoidance of offsite stormwater discharge either during construction or operation of the
golf course facility achieves the objective of no net impact to the water quality of Hood Canal by reason
of the construction and operation of the golf course resort.
3.2.6 Shellfish Mitigation-Construction Period
On the marina side, construction grading is limited to the new road alignment, development pads, and
parking areas, taking advantage of the natural conditions. On the golf course side, significant grading
will occur, so special care must be taken to assure stormwater management measures will be
implemented concurrently with clearing and grading for all phases, to protect water quality, both off site
and in existing wetlands, during construction.
The area to be cleared was previously cleared for the RV park. The cleared area is located in the
internal portions of the site and a 200-foot buffer is planned along the southern shore that provides
protection from wind. Narrow strips of trees are likewise avoided to reduce the risk of wind damage.
Potential impacts during the clearing phase include the risk of runoff to the harbor or Hood Canal, a
change in the hydrology of the site due to the removal of trees, and changing of the topography and
potential impact to wetlands from silts, sediments, or hydrologic flow, both surface and subsurface.
Habitat management plans and stormwater protection are required at the permit phase to address site-
specific issues and mitigation.
Pleasant Harbor Marina and Golf Resort
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PROBABLE SIGNIFICANT ADVERSE IMPACT REVIEW OF THE PROPOSAL CHAPTER 3
The proposal does include a program to dedicate Wetland B to onsite retention and stormwater
management, and the depth of the kettle is such that it can easily accommodate preconstruction
stormwater from much of the site and prevent any accidental release. (See soils report at Appendix 4
and site plan conditions.)
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To achieve adequate controls during grading and infrastructure construction, the County requires a
detailed cut and fill plan with a stormwater management plan approved by the Public Works
Department. Details shall be sufficient to demonstrate protection of Pleasant Harbor, Hood Canal, and
onsite wetlands and streams prior to approval of each permit, or plan requiring review. See discussions
at Section 3.3.7, Stormwater Management. See also detailed discussions at Section 3.10.1 discussing
the need to preserve wetland hydrology during all phases of construction, development, and operation
of the resort.
3.2.7 Shellfish, Tunicate, Water Quality Mitigation
The Master Plan sets the guidelines for future development and any permit approval for the Master
Plan, or any phase thereof must contain conditions which provide assurance that the objectives of the
Master Plan will be achieved. To assure that result, the following conditions will be required of all plats,
shoreline substantial development permits, and site plan approvals for portions of the Master Planned
Resort project.
Pleasant Harbor Marina and Golf Resort
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a During construction (all permits).
o Construction period NPDES general permits will need to be obtained and conditions
followed to control stormwater during construction to assure no offsite discharge.
o All construction shall be covered by a stormwater management plan to show how
stormwater shall be collected and infiltrated to prevent any turbidity, sediment, or other
contaminants from reaching the harbor or waters of Hood Canal.
r All stormwater crossing newly constructed surfaces shall be captured and treated onsite
before discharge, including the golf course side, where irrigation and stormwater shall be
captured treated, retained, and infiltrated onsite with no offsite discharge.
. A stormwater site plan that includes a construction stormwater pollution prevention plan
shall be developed by the proponent and reviewed and approved by Jefferson County prior
to conducting land disturbing activity on the site.
During operation (Maritime Village permits)
. All stormwater from impervious surfaces shall be captured and treated to Puget Sound
Water Quality standards (2005 edition) before discharge.
. There shall be no discharge of sewage or contaminated bilge waters at the marina. Pump
out facilities shall be provided and operational at all times.
o Cleaning of fish or sea life shall be prohibited within the controlled access areas of the
marina.
. The Project permits shall incorporate shellfish protection district guidelines.
. The marina shall have the right to inspect any vessel at any time.
. The marina shall develop and manage an active boater education program appropriate to
the marina setting to supplement the County program developed as part of the shellfish
protection district.
. All fueling operations shall be brought up to current codes and protection against leaks, and
unauthorized discharges shall be provided as part of any permit issued for work on the
marina side of the resort. This is a first priority for the project. Fueling permits for facilities
shall also require a refueling plan approved by the local Fire Code official as part of the first
permit and in place prior to the issuance of any certificate of occupancy for work at the
marina or Maritime Village.
o Fuel storage or transfer shall be prohibited on marina floats, docks, piers, and storage
lockers.
. No storage shall be permitted on docks, including storage of oily rags, open paints, or other
flammable or environmentally hazardous materials except emergency equipment as
approved in the Emergency Service MOU.
. Painting, scraping, and refinishing of boats shall be limited to minor repairs when in the
water, which do not result in any discharge to the waters of the harbor.
. Any minor repairs must employ a containment barrier that prevents debris from entering the
marine waters.
. Notification and information (before harvesting shellfish) will be available at the proposed
development at specific locations, such as the marina, Maritime Village, and Conference
Center.
o The marina operations shall incorporate mitigation requirements appropriate under the
County Shellfish Protection Plan, and shall integrate a boater education program into a
a
Pleasant Harbor Marina and Golf Resort
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Page 3-10 November 27,2007
PROBABLE SIGNIFICANT ADVERSE IMPACT REVIEW OF THE PROPOSAL CHAPTER 3
marina public education plan, which shall be implemented and maintained for so long as the
resort is in operation, as part of a resort habitat management plan.
. The marina operations shall collect water quality data (from State sources so long as
available or from approved testing plan should the state sources move or not accurately
reflect Pleasant Harbor conditions), and shall be required to participate with the County in an
adaptive management program to eliminate, minimize, and fully mitigate any changes
arising from the resort and related Pleasant Harbor or Maritime Village.
o During operation (Black Point Golf Course Lands)
. Construction and grading permits shall require stormwater management plans to
demonstrate no discharge to waters of Pleasant Harbor or Hood Canal of any contaminants,
turbid waters, or sediments as a result of operations.
o The stormwater management system for all phases shall capture, treat, and infiltrate or store
for reuse all stormwater from impervious surfaces of the improved golf course areas.
. The golf course shall be operated in accordance with the best practice standards of the King
County golf course management guidelines, or substantial equivalent, including, but not
limited to, American Golf Association standards.
. The golf course/resort facilities will be required to participate in any adaptive management
programs required by the County as a result of the water quality monitoring program
described above and any changes caused by the resort operations.
By improving the current water treatment system at the marina area and the elimination of septic
systems, and by the assurance that the golf operations will be managed to generally accepted best
management practices for Pacific Northwest golf courses and the Master Planned Resort can avoid,
minimize, and fully mitigate potential impacts to the shellfish and water quality of Pleasant Harbor and
Hood Canal.
3.2.8 Shellfish Summary
Shellfish are not harvested in the harbor and additional boat traffic is not expected to materially
increase over that planned when the marina expansion was approved. Nevertheless, additional marina
operation mitigation is required to control marina operations (see Section 3.2.1 infra).
Puget Sound Water Quality Manual standards and County standards for stormwater management, for
demolition, construction and operation phases shall be identified and approved as a part of any permit
issuance for the marina side of the project.
The golf course portion of the resort shall capture and control all stormwater onsite (except rain falling
on the natural buffer areas and not crossing any portion of the built environment) to avoid risk of
contamination to waters of Hood Canal south of the project site. Requirements for onsite waste
treatment and Class A reuse and recycle systems also facilitate this requirement, and protect shellfish
outside of Pleasant Harbor.
ln concert, the combined mitigation is protective of shellfish both inside and outside of Pleasant Harbor.
The developer is working with the State to facilitate a Tunicate eradication program tied to dock
replacement and using materials less likely to attract and harbor Tunicates.
Water quality as an element of shellfish protection is protected by controlling runoff in the Maritime
Village area to assure it is properly treated prior to discharge, and on the golf course side by requiring
onsite treatment and use or infiltration rather than offsite discharge.
3.2.9 Shellfish: Responses to DEIS Comments
Responding to concerns raised in comments from Taylor Shellfish Farms (357), John Adams (126),
Dunagan (103), Hood Canal Environmental Council (275 and 385), Depaftment of Fish and Wildlife
Pleasant Harbor Marina and Golf Resort
FINAL EIS - (Site Specific Amendment MLA 06-87)
Page 3-1 1 November 27,2007
PROBABLE SIGNIFICANT ADVERSE IMPACT REVIEW OF THE PROPOSAL CHAPTER 3
(306), Hal Beattie (125), Rebekah Ross (132), Ventura (312); Tyler (319), Lopez (272), Russe// (282),
Bowers (328), Beattie (310), Siefeft (338).
Concerns were raised about the impacts of the Master Planned Resort on Hood Canal as a result of
construction near the 2,000-foot southern border adjacent to the Duckabush system and what steps are
available to assure that water quality in Hood Canal is protected. Specific concerns include water
quality and impact to shellfish and fish populations from water discharge and seeps resulting from land
management and particularly fertilizers and pesticides used on the golf course, pet wastes, and aquifer
recharge systems.
The EIS adopts a two-step or phased approach to the concerns about water quality and the related
issues of fish and shellfish in Hood Canal. The first step, at the programmatic level, is to address the
areas of concern and identify mitigation measures that are responsive to the concern. The proposed
development has been conceptualized and preliminarily designed to prevent degradation of water
quality in Puget Sound/Hood Canal, and mitigation measures and BMPs will be implemented to
minimize the potential for impacts to fish, shellfish, or water quality. The base condition to achieve this
goal is through appropriate design and permit requirements which provide no runoff from developed
areas is discharged to Hood Canal. Stormwater is captured onsite and stored in large kettles. Any
excess stormwater not required for irrigation will be allowed to infiltrate to recharge the aquifer under
WDOE standards and guidelines. This permit condition requirement is designed to protect water
quality, as well as fish and shellfish habitats to the extent possible.
Reuse water will be treated to a Class A standard, stored separately from collected stormwater, and
used to supplement irrigation requirements (i.e. applied at a rate less than the agronomic demand).
Nitrogen will be removed from the reuse water during treatment, and any remaining nitrogen and
phosphorus is expected to be used by the irrigated plants, reducing the need for fertilizer application.
Permits used to review and assure compliance with the program are the state's NPDES and water
discharge requirements under Chapter 90.48 RCW and the County's review and approval of
stormwater management plans.
Master Plan conditions addressing the water quality, fish, and shellfish concerns include the following:
o The upland wastewater treatment system will produce a Class A recycled water quality for reuse
applications onsite, rather than a point source discharge/outfall to Hood Canal.
a The 2,000-foot southern boundary and beach, which was promoted as an accessible amenity
for prior users, is closed in the Master Planned Resort proposal and a 200-foot natural area
buffer is to be retained (restored where camping and roads have intruded) to provide a natural
edge and riparian protection. A permanent conservation easement or dedication to a land trust
are being considered as a means of maintaining the 200-foot natural area in a natural state in
perpetuity. A walking trail may be incorporated into this buffer area consistent with a habitat
management plan.
a The golf course is required to be designed to best management practices for stormwater,
pesticide, and fertilizer control. Techniques include subsoil amendment and grass management
programs (water, vegetation control, fertilizer, and pesticides) tied to local conditions and
agronomic rates that limit the use of chemicals and other products to the minimum necessary
and in manners and amounts which significantly limit the risk of either surface or groundwater
pollution. Permit requirements to have the site engineered, constructed, and operated to meet
best management practices available for water quality (not only for Hood Canal and the aquifer,
but also the wetlands, habitats and streams onsite) and to provide a regulatory mechanism for
engineering review in the context of a project-specific proposal to verify if compliance conditions
are met. ln addition, the golf course will also have a chemical and pest management plan
prepared and implemented to control use, application, and storage of potential environmental
pollutants.
Pleasant Harbor Marina and Golf Resort
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PROBABLE SIGNIFICANT ADVERSE IMPACT REVIEW OF THE PROPOSAL CHAPTER 3
The County Code references the King County standards for golf course designs on aquifer
sensitive areas, but that is an older document. The FEIS requires additional guidance on best
management practices to assure best available technology is used at the project level prior to
development approval. Reference sources include the Audubon certification guidelines and the
Golf Course Superintendents Association of America recommendations as part of a site-specific
best management practices manual tailored to best available science and local conditions,
which must be approved during the permitting process to guide installation, operation, and
maintenance of the golf facilities. The U.S. Golf Association (USGA) recommended
environmental management system provides additional guidance.
The stormwater management system is to be designed to capture not only 100-year storm
events, but upset events and extreme storms, so that under all conditions the stormwater from
impervious, golf, and other managed surfaces is used either for supplemental irrigation
purposes, or allowed to infiltrate to recharge the aquifer. A specific condition of approval is that
the stormwater system on the golf course portion of the resort be designed to control runoff from
major events and potential upsets within the developed area without discharge to Hood Canal.
This means the detention and capture basins must be capable of containing more than the 100-
year storm. Project design will address how such overall retention is to be achieved onsite and
shall be approved as part of the County stormwater control permit process prior to any
construction onsite.
NPDES permits and state water discharge permits under Chapter 90.48 RCW provide
construction, operation, and management parameters and monitoring programs to verify that
water infiltrating into the aquifer meets state no impact guidelines. To protect the aquifer, the
water recycling and reuse system will produce a Class A reuse and recycling water quality
standard. Managing and retaining all stormwater onsite for use in supplemental irrigation and
aquifer recharge, combined with water recycling and reuse practices, will ensure there will be no
degradation in water quality within Hood Canal due to this development. The water reuse
treatment system design and reviews must demonstrate compliance with this requirement.
On the marina side all stormwater from upland impervious surfaces will be captured and
retained onsite for supplemental irrigation use and aquifer recharge. Stormwater from areas
outside of the Maritime Village capture system will be treated prior to discharge to Puget Sound
water quality standards. Here again, the stormwater management program is to identify a
program of maintenance and monitoring to assure that required standards are met.
The FEIS conditions the MPR on a monitoring and adaptive management program that provides
for ongoing testing of water quality, and should changes be detected, a management program
provides for project changes to be implemented until the operable guidelines are achieved.
Pet wastes can be a source of contamination and must be addressed through site controls
approved as a part of the permitting process. An additional condition of the FEIS ls to require
an approved pet management guidance plan for the project as paft of the conditions of
approval.
a The Project is within the area of the Jefferson County Shellfish Protection District and the
recommendations/requirements of the district will be incorporated into permit-level reviews.
a
a
a
a
a
a
Comment noted that the WDFW tidelands are regularly used for waterfowl hunting from October
through January, and that the Point Whitney Shellfish Lab is owned and managed by WDFW, not the
State Parks Department, and is not part of the State Parks managed system. Point Whitney provides
access to clam and oyster recreational harvest, as do the WDFW lands in Triton Cove, and the lands
abutting section 1 (1900 feet). Comments noted.
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The increased demand for shellfish harvest on public land is acknowledged. The point about
decreasing pressure at Dosewallips State Park was directed to camping at the Park. The Park remains
full during a substantial portion of the summer season and cannot meet the public demand for places to
stay in the area. The harvest of clams and oysters on public lands is controlled by agency regulations,
and the resort is required to provide a prominent location for educational material to alert visitors to the
rules, the need to protect private and tribal lands, and to follow all license requirements.
The shellfish closure in Pleasant Harbor mentioned in the DEIS is limited to oysters, clams, mussels,
and scallops. The agency clarification on this point is noted. Crab harvest and occasional opal squid
harvest have been documented in the harbor, though not on a large scale. Both Duckabush and
Dosewallips waters are grounds for crab harvest and provide additional support for the water quality
efforts of the project to assure that offsite waters are not affected by project development. The project
is bound to a water quality monitoring and adaptive management program for the harbor to address any
changes in the basin that may occur.
The proposal specifically prohibits an access trail to the southern shoreline. Statesman is considering
conservation easement for the southern shoreline and other devices to prohibit access from the resort.
Trail and pathway access will be designed to limit and discourage indirect efforts of access, which are
both unsafe and give rise to potentially harmful consequences in the Duckabush tide flats area.
The marina is subject to regulation and control, including rules about use and limits on potentially
polluting activities, and a water quality monitoring and adaptive management program to address
conditions as they may change in the future. The specifics of an adaptive management and testing
program are to be designed and approved during the permitting process to assure that the program is
effective.
Comments about algae blooms and depleted oxygen are acknowledged. The FEIS requirement for
zero stormwater discharge from the golf course resort and marina impervious surfaces provides a
means of addressing the solution to contaminated runoff that contributes to the algae and depleted
oxygen problems. The monitoring program is to be designed to identify and permit ongoing changes to
mitigate and resort-oriented impacts that may be identified in the future.
3.3 Water Resources,' Use, Reuse, Management, Treatment, and Disposa,
The management of water has been a primary focus of the development planning; the goal has been to
utilize onsite water resources with an eventual no impact or positive impact to the groundwater, surface
water, and wetland systems. The proposal will utilize an innovative concept of use, treatment, and
reinfiltration. The specific issues required to be addressed in the scoping notice included:
. Sewer service (on site system). Rainwater harvesting. Water quality
o Groundwater and saltwater intrusion. Surface water and particularly irrigation water and potential migration to the harbor or the Canal.
3.3.1 Sewer Service Onsite System
The Brinnon Subarea Plan specifically referenced the use of an onsite waste treatment and disposal
system in identifying the potential BSAP MPR site, to avoid wastewater discharge to Hood Canal or the
harbor. The Statesman MPR proposes to use such a system. No specific system has yet been
selected or approved (this would be a condition of final plat approval), but several alternatives are all
capable of creating water that may be recycled and reused on the project area and meet the objectives
and criteria set forth in this Master Plan.
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3.3.1 .1 Treatment Technologies
There are wide ranges of proven biological treatment technologies capable of producing the necessary
effluent quality to meet the resort goal of a wastewater reuse/recycling system. The three principle
technologies being considered for this project are the Sequencing Batch Reactor (SBR), Membrane
Bioreactor (MBR), and the Recirculating Biofilter (RBF). All three processes are capable of being
designed and operated to achieve either advanced secondary or tertiary (phosphorus and/or nitrogen
{nutrient} removal) treatment. A detailed discussion of the programs are found in case studies in
reclaimed water use, WDOE Publication 05-10-013, June 2005.
Sequencing Batch Reactor (SBR)
The SBR process is essentially an activated sludge process in which biological treatment and
clarification are accomplished in a single basin by changing the operating conditions in that basin on a
timed sequential basis. The first stage involves filling the bioreactor under anaerobic conditions
(without oxygen). Aeration is then applied providing mixing conditions to keep bacteria in suspension
and providing bacteria with a supply of oxygen for aerobic digestion.
After a specified period of time the aeration is stopped and the bacteria are allowed to settle. Clarified
liquid is decanted off of the surface and the cycle is repeated.
The elimination of the need for a separate secondary clarifier tank or activated sludge pumping is the
primary advantage of SBR systems. The primary disadvantage is the potential for upset conditions that
can adversely affect the effectiveness of clarification. WDOE has approved operation of such systems
under NPDES permit terms designed to minimize or eliminate upset conditions. Because the
Statesman program is a closed system, any upset condition is contained onsite in the
retention/irrigation pond, which prevents potential contamination to Hood Canal or the harbor, even in
the event of an upset. This condition is applicable to all systems under review for the project.
Membrane Bioreactor (MBR)
The MBR process is essentially a conventional extended aeration activated sludge process in which the
secondary clarifier has been replaced by an ultra-filtration membrane with a nominal pore size small
enough to filter out bacteria, resulting in a high quality effluent. The membrane pores are typically 0.1
to 0.5 microns in size, so bacteria, micro-orgasms, and other insoluble solids cannot pass through.
This eliminates the need for downstream clarification and filtration. However, the pore size is not a
complete barrier to viruses, so disinfection is still required.
One of the key advantages of the MBR process over the SBR process, is that bacteria populations can
be maintained at a much higher concentration in MBR systems or other clarifier-based treatment
technologies. Because the bioreactor contains a much greater number of bacteria, the volume of the
MBR bioreactor is much smaller than that required for SBR processes, and the land area and tank
sizes are smaller than for SBR processes.
The primary disadvantages of MBR processes include the high cost of membranes and the potential for
membrane fouling. Membrane manufacturers use several techniques to prevent fouling including
coarse air scrubbing and chemical treatment (chlorine and/or acid treatment either internally or
externally). The expected life of a membrane is in the order of 7 to 8 years, but may be considerably
shorter depending on the propensity of the wastewater to produce fouling conditions.
Two commercially available MBR processes are under consideration, both of which involve placing the
membranes within the bioreactor: Zenon Zeeweed, and Sanitherm Sanibrane process.
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Recirculating Biofilter (RBF)
The RBF process is also based on a conventional treatment process, but in this case one in which
bacteria are attached to media with a high surface area, and bathed in wastewater rather than being
kept in suspension. The wastewater effluent must pass through the media, providing an inherent level
of filtration, and no clarification is required. The treated effluent is then collected and recirculated back
over the filter media.
The key advantages of this technology over the SBR and MBR processes include simpler operation,
lower energy requirements, and inherent modularization enabling treatment to be carried out efficiently
on a decentralized cluster basis, rather than a central treatment facility. The key disadvantage is the
need for a larger land area than either the SBR or MBR technologies. Despite the inherent filtration,
like the SBR process, the effluent from the RBF process must be tertiary filtered (e.9. chemical
coagulation and sand filtration)to meet a Class A reuse standard.
The RBF process being considered for this project is the AdvanTex textile-based system manufactured
by Orenco Systems lnc. of Sutherlin, Oregon.
3.3.1 .2 Wastewater Treatment Approval
Wastewater treatment in a reuse/recycling program to create useable Class A water is a process
permitted through WDOE. The specific plan approval requires an engineering feasibility report
identifying the flows and range and volume of treatment required, a demonstration that the proposed
system can achieve the required treatment to meet Class A recycled water standards, and ultimately
licensing and approval by the WDOE for operation. Facility permits are continuing in nature, requiring
inspection and reporting of periodic limits to assure proper operation and maintenance, including daily,
weekly, monthly, and periodic reports, as well as specific inspections and reports.
Under the program proposed, the applicant would be required to seek the approval of the wastewater
treatment system after preliminary plat approval, but before permits for construction and development
are issued. ln this way, the agencies will know precisely the treatment loads to be addressed and the
proper facilities to accommodate such loads.
A detailed environmental review of the project-specific wastewater treatment elements is included in the
WDOE approval process and will be required as part of the project-specific review of the first
development phase of the resort.
3.3.1.3 Class A Standard
All residential and commercial wastewater collected within the development will be treated to a Class A
reuse standard.
The use of reclaimed water is permitted in Washington State and is jointly regulated by WDOH and
WDOE. The guidelines for water reuse contained in the "State of Washington Reclamation and Reuse
Standards," September 1997, Publication #97-23, define four levels of treatment of which Class A is the
highest quality. Washington's 1992 Reclaimed Water Act provided a new program for treatment and
management of wastewater as a new water supply to replace drinking water for non-drinking
(nonpotable) purposes. Reclaimed water use is a fundamental element of our state's strategy to
provide sustainable water supplies that will meet our future needs.
Class A water requires advanced secondary treatment plus chemical coagulation and filtration, and
disinfection to reduce total coliform bacteria to less than detection levels (i.e. less than 2.2 MPN per
100m1). ln addition, a reclamation system must include emergency storage for upset conditions and
must have automatic alarms, treatment unit redundancy, and qualified operations staff.
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3.3.1.4 Permitted Uses
Once water has been treated to a Class A standard, it will be reused on the resort for nonpotable
purposes, including:
. lrrigation of landscaping, including golf courses.
o Discharge to wetlands.. Groundwater recharge by percolation.
o Use for toilet flushing.
The primary reuse applications under consideration for this project include toilet flushing and storage
for use in seasonal irrigation application to the development's golf course and ultimately infiltration back
into the aquifer for reuse and recharge. Wastewater treated to Class A standards will be discharged to
the central large kettle. This kettle will be lined and will serve as a reservoir for the resort's irrigation
needs. The reservoir will hold enough water to maintain irrigation even in drought years, and will have
sufficient storage to retain water in the event of a failure of the wastewater system. As the reservoir
area is a lined pond that will prevent infiltration, remediation of any upset may then occur under onsite
controlled conditions without disrupting Hood Canal fish or shellfish or area-wide water quality.
3.3.1.5 Biosolids
Wastewater treatment involves the collection of organic and inorganic solids and the removal of
biodegradable materials from solution by bacteria. Bacteria digest the biodegradable organic material
in the wastewater and increase in population. They periodically need to be removed along with
undigested solids (a byproduct referred to as biosolids). These biosolids require a further stage of
treatment before they can be beneficially used. This treatment must comply with Federal Regulations
40CFR, Part 503 and similar State standards which specify three criteria for the sludge to be
beneficially applied to land.
o The biosolids must meet pollution standards, particularly toxics such as heavy metals and
pesticides. Since there are no significant sources of these types of pollutants from the uses
planned for the resort, meeting these criteria should not be a problem.
. The biosolids must not generate significant odors that would attract vectors such as rats and
other animals and nuisance insects. This may be accomplished by enabling the bacteria to
continue to consume the residual organic materials contained within the biosolids through
mechanical digestion processes or by composting, or stabilization through the application of lime
and/or high temperatures to the waste biosolids.
. The biosolids must be treated to reduce the level of pathogens (disease causing micro-
organisms) to one of two specific biosolids application Classes: Class A and Class B. Both Class
A and B involve stabilizing the biosolids to reduce the volatile organic content, and level of
pathogens through digestion or chemical means. Class A biosolids are further treated, usually by
subjecting the biosolids to elevated temperatures for prolonged periods, to achieve further
pathogen destruction. Composting is considered to be an effective means of achieving a Class A
biosolids product due to the heat produced during the process. Class B biosolids can be land
applied on sites that have limited public access, whereas Class A biosolids may be freely
distributed or sold to the public for various soil amendment uses and to take advantage of its
nutrient content.
The proposal will dispose of the biosolids produced from wastewater in one or all of the following
methods:
r Stabilize through aerobic digestion, and haul the biosolids away in a dilute slurry for spreading on
agricultural lands.
. Dewater to about 16% solids and stabilize with lime treatment; producing a biosolids product that
is a semi-solid and can be hauled in a dump truck to a commercial land-spread site.
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. Dewater to about 16% and compost to stabilize the biosolids, converting it to a useful byproduct
that can be sold or used onsite as a soil amendment material.
3.3.1.6 Wastewater Mitigation Summary
. The wastewater system, which is to be reviewed and approved for use by WDOE, shall be
approved and installed and in operation prior to final plat approval and prior to the construction
of the first residential or commercial structures with kitchen or bathroom facilities.
. The facility shall be installed with capacity to serve the phase being constructed (including any
required reserve capacity by WDOE), but phasing of the system may be allowed if approved for
system operation by WDOE.
. Construction period waste may be handled in septic tank systems approved for RV pump out.
3.3.2 Water Supply, Groundwater, Rainwater Harvesting, and Recycling/Reuse
The water supply approach for the development is an integrated use of groundwater (wells), rainwater
harvesting, and treatment and reuse of wastewater (reclaimed water). The water management
approach is designed to have no impact or a net positive impact on the groundwater resources of the
peninsula.
3.3.2.1 Daily Water Supply
The overall water demand for the resort results from two factors: first, the potable water demand from
the resort itself, and, second, the irrigation and nonpotable uses of water used in the operation and
maintenance of the golf course and marina.
The estimated potable water use is based on a daily residential demand used to establish the
Equivalent Residential Unit (ERU) for the development. Current resource estimates are provided in
Water Supply and Groundwater lmpact Analysis, Appendix 5.
The maximum annual water utilization anticipated is 137 acre feet and if the Master Plan is approved,
Statesman will proceed with approval for a water right in that amount. The intent of the resort is to
utilize rainwater harvesting in concert with groundwater as the source of potable water. Even though
groundwater will be used as a supply source, the water management system designed by the resort will
result in the aquifer receiving about the same recharge from resort operations than prior to construction
of the resort.
The first objective when evaluating the impact of a water use is the evaluation of water supply sources,
and how those sources may be efficiently be addressed. Jefferson County encourages projects to
pursue water-efficient strategies, and such strategies shall be incorporated into the Master Planned
Resort to reduce water consumption. Not all strategies can be used in all circumstances, but efforts in
the following provide realistic opportunities to achieve maximum benefit in controlling or limiting overall
water use.
Existing Water Rights
Statesman has available 28 acre feet plus the potential for an additional 12.5 acre feet, per the
discussions with Pleasant Tides Water Co-op (an acre foot is approximately 325,830 gallons) from
existing water rights. WDOE is currently evaluating the rights, but use of existing water rights will be a
first objective of the project.
Shared Water Rights
Pleasant Tides Water Co-op, which serves the Black Point area, presently has significant water rights.
These rights are consumed in serving the existing customers. Statesman has determined, however,
that the project could, with the consent of the Pleasant Tides Water Co-op, install new equipment and
facilities to modernize the Pleasant Tides water system, and in doing so achieve a net savings from the
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current system, which could then be used in the resort. WDOE would have to approve the system
upgrades and increase in place of use, and the owners of the Pleasant Tides system would need to
consent to any change. The Master Plan program will require the applicant to investigate the feasibility
of improvements to existing systems as a potential source of water, to achieve some degree of new
water through water saving efficiencies built into the Pleasant Tides system.
Rainwater Harvesting
Rainwater harvesting is a technique where water that falls onto the site is captured and contained in a
manner where it is available for reuse. Roof top drains, road way swales, and stormwater management
systems all provide means for capturing, treating, and reusing rainwater, reducing the ultimate draw on
the aquifer. Rainwater harvesting does not reduce recharge to the aquifer system. The water will be
treated and partially used for potable supply purposes and then treated for irrigation uses. The only net
loss of water in this approach is from evaporation of water as it is stored in the ponds, and
evapotranspiration of the portion of the water used for irrigation. The advantage of this system is that
only a bit over 20 percent of the captured water is used for irrigation; the remaining water will be
infiltrated back into the aquifer. The infiltration is a more direct means of aquifer recharge, where a
larger portion of that water is now lost to evapotranspiration or discharge through seeps at the bluffs.
The net effect will be an increase in aquifer recharge compared to predevelopment conditions.
Reuse Recycling
State policy promotes reuse and recycling of wastewater, and the Master Planned Resort is designed
with an onsite treatment and Class A recycled water program for use and reuse on the site. (See
discussion supra.)
The water supply approach for the development is an integrated use of groundwater (wells), rainwater
harvesting, and treatment and reuse of wastewater (reclaimed water). Groundwater wells will be the
potable water supply source for the resort. Water for other uses, such as for toilet flush and irrigation,
will come from stored reclaimed water, and from stormwater runoff and rainwater collected from the
site.
Because the source of the irrigation water is partly provided by the collected rainwater (in addition to
the reclaimed water), the irrigation supply is dependant upon the local climatic conditions. lrrigation
requirements are highest during the drier periods of the year; thus water will be collected during rain
events and stored in ponds for water demands during the remainder of the year. The storage ponds
will be located in the existing topographic depressions found on the site (glacially formed kettles). The
ponds will be constructed for the storage of water by grading and lining the bottoms of the kettles. The
ponds will be designed to hold up to 1 10 million gallons of water. Some of the water that is stored in
the ponds will be directly infiltrated to recharge the underlying aquifer to maintain and enhance the
aquifer system beneath Black Point and the seeps dependent on the existing aquifer regime. The
direct infiltration of excess water also meets the requirement of zero direct discharge of onsite waters to
Hood Canal, and serves to recharge the aquifers to maintain seeps and other food and nutrient
sources, particularly along the south beach.
The project management plan must be designed to retain a natural hydrologic flow to the protected
wetlands and the replacement wetlands for the irrigation kettle to provide assurance that wetland
functions and values will be maintained at all times.
Rainwater from building roof tops and roadway surfaces of the resort will be collected and routed to the
storage ponds. The rainwater that is collected from roof runoff is considered "clean" water and
therefore does not need additional treatment before entering the storage ponds. The stormwater runoff
from roadway and parking surfaces is considered "polluted" and must be treated before entering the
ponds. Natural treatment facilities (i.e., rain gardens) are proposed to meet runoff water quality
requirements per the DOE stormwater management treatment criteria. (See Section 3.3.7 on
stormwater management for details about proposed LID design methods.)
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Wastewater from residential and commercial uses will be conveyed to one or more treatment facilities
that will treat the wastewater to a Class A reuse standard (reclaimed water). The reclaimed water will
either be stored in a reclaimed water reservoir for toilet flush uses or it will be conveyed to the storage
ponds for irrigation and sustainable fire flow. (Sustainable fire flow is 1,000 gallons per minute for 60
minutes.)
The aquifer will be recharged through both natural infiltration and direct infiltration. Natural infiltration
will occur in the golf course and other landscape and natural areas. Direct infiltration will be
accomplished through the use of designed infiltration facilities in which some of the stored water in the
ponds will be directed into a designed infiltration area to provide additional aquifer recharge.
Some minor amounts of water losses from the system are expected throughout the year due to
evaporative and evapotranspiration processes. These losses have been estimated to be less than 3
percent of the annual pre-development water budget. This provides for an aquifer recharge program
that can be maintained over the year by designing controlled water releases using the direct infiltration
system. Together with the water stored in the ponds, this will allow the flexibility to provide a desired
seasonal recharge rate that can be adjusted to meet monthly water balance quantities.
ln concert, the existing rights, improved efficiency of the Pleasant Tides system, if available, and the
reuse recycling program could account for the entire water budget for the program without any new
draw on the aquifer. Even if rainfall were deficient, or the Pleasant Tides water was not available, or
available only in limited quantities, the maximum water draw on the aquifer is estimated to be 137 acre
feet per year. The efficient use of water by reason of reuse and recycling, wetland recharge, and
ultimately stormwater infiltration will minimize overall water consumption and assure no net material
impact, which is the Master Plan goal. Detailed environmental studies will be required at the project-
specific level for approval of wells, upgrades, and the construct of the use/reuse system to assure this
goal is met. Once water rights are acquired and the full rainwater/reuse system is in place, it is
possible that in many years the resort could operate without a net groundwater draw.
A material condition of the Master Plan is that the applicant demonstrate the availability of water
resources at the time of preliminary plat or binding site plan approval, and that no approval shall be
given without a written finding, based on agency and expert approvals in the record, that water
resources are adequate to serve planned demand is in fact available and ready for use. Washington
law requires such a demonstration at the building permit level, but for purposes of the Master Plan and
assuring adequate resource protection, such showing must be made before any preliminary plat may
be approved.
3.3.2.2 Daily Water Demand
The second way to manage and conserve water resources is to reduce demand and more efficiently
use water that is available. The Master Planned Resort is proposing a number of factors to reduce
overall water demand, which in concert will significantly reduce overall demand on the aquifer. These
techniques include low flow and other low-impact development techniques within the resort to reduce
water demand, the use and reuse of recycled wastewater to allow water to be used multiple times on
site and eventually recharge the aquifer, and identification and use of existing and alternate sources of
water that may serve a significant portion of the water demand from existing water rights rather than
new water rights.
The estimated daily water demand provides the quantity of water that will be used for the design of the
potable water system and the wastewater (reclaimed water) treatment system. These daily demands
are based on full occupancy of the resort. The estimated maximum residential potable water demand
is approximately 62,300 average daily demand (ADD) at 70 gpd/ERU. See Table 3-2. Statesman
Corporation estimates 25,000 gallons per day for commercial uses at the resort, including the Club
House, restaurants, and Maritime Village. See Table 3-2 Daily Water Demand (Commercial and
Residential) for a summary of the total estimated daily water demands. Measured in acre feet, the
overall annual water demand is approximately 121 acre feet, potentially less if full efficiency can in fact
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PROBABLE SIGNIFICANT ADVERSE IMPACT REVIEW OF THE PROPOSAL CHAPTER 3
be achieved
Table 2.
See Water Supply and Groundwater lmpact Analysis, Appendix 5, Section 3.3.7.2 and
The use of low impact development techniques indicates that an overall onsite water use per unit may
be reduced from 175 gpd to as low as 70 gpd. The goal of achieving reduction from the 175 gpd to a
lower amount over time shall be one objective of project design. For safety and planning purposes, the
standard 175 gpd has been used.
Table 3-1 Residential Potable Water Demand
TOTAL ESTIMATED POTABLE WATER USE WITH HIGH.EFFICIENCY CONSERVATION FIXTURES
ERU - Total Consumption Per Residen ce (2.2 people per unit):! TO gal/day
Note:
Usage figures obtained from: American Water Works Association (AWWA) Research Foundation,
ResidentialEnd Uses of Water study , Mayer and DeOreo, et al., 1999
DAILY INDOOR POTABLE WATER DEMAND ESTIMATE
Kitchen Sink 13%
Bathroom Sink
13o/o
Clothing Washer
29%
I Shower and Tub
I Kitchen Sink
tr Bathroom Sink
tr Clothing Washer
I Dishwasher
I Leaks
Shower and Tub
38%
Leaks 5%Dishwasher 2%
Shower and Tub
Kitchen Sink
Bathroom Sink
Clothing Washer
Dishwasher
Leaks
1.50
0.50
0.50
25.00
6.00
min/day
min/day
min/day
loads/day
loads/day
gpm
gpm
gpm
gal/load
gal/load
8.2
8.1
8.1
0.37
0.1
12.30
4.05
4.05
9.25
0.60
1.70
gallday
gal/day
gal/day
gallday
gal/day
gal/day
38%
13%
13%
29o/o
2o/o
5%
Total Consumption Per Person:32 gal/day 1O0o/o
Flow
Rate
Flow
Units Usage Usage Units Total Use Per Person YoUsage
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Table 3-2 Daily Water Demand (Commercial and Residential)
DAILY WATER DEMAND SUMMARY
(Not lncluding Reclaimed Water for lrrigation)
Note:
Demands based on full occupancy.
Demand formulas from: WSDOH Water System Design Manual , August 2001
Residontial gpd/ERU ERU Spd Notes
ADD
MDD
70
140
890
890
62,300
124,600
Avg. Daily Demand, based on Est Da,/y Residential Potable Water Demand spreadsheet
Max. Daily Demand = 2-ADD
Commercial spd/ERU ERU gpd Notes
ADD
MDD
70
140
357
357
25,000
50,000
Avg. Daily Demand, based on 25,000 gpd given by Statesman. Equivalent ERUS = 25,000/70
Max. Daily Demand = 2'ADD
R6idontlal +
Comm€rclal gpd/ERU ERU Spd Notes
PHD
ADD
MDD
234
70
140
1247
1247
87,300
174,600
Avg. Daily Demand, based on residential + commercial ERUs
lvax. Daily Demand = 2'ADD
gpm, Peak Hourly Demand based on Eq.5-3, WSDOH WSDM
POTABLE WATER
Residential gpd/ERU ERU Spd Notes
ADD
MDD
11
22
9,790
19,580
Avg. Daily Demand, based on Esf. Darily Residential Potable Water Demand spreadsheet, with toilet flush
Max. Daily Demand = 2"ADD
RECLAIMED WATER
Residential +
Commorclal gpd/ERU ERU Spd Notes
ADW
I\,4DW
97,090
194,'t80
Avg. Daily Waste, based on potable water demand + reclaimed water demand
Max. Daily Waste = 2.ADW
WASTE WATER
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890
890
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3.3.2.3 Potable Water Storage
The storage requirements are as follows for an Average Daily Demand (ADD) of 70 gpd/ERU. The
total storage is comprised of operating & dead storage (OS/DS), equalizing storage (ES), and the larger
of standby storage (SB) or fire supply storage (FSS).
The OS/DS is dependent upon the actual tank and appurtenances selected, and will be in the ball park
of 15,000 gallons. The ES provides a buffer in the event the wells are not able to produce the peak
hourly demand (PHD), which is 234 gpm for an ADD of 70 gpd/ERU. Since the two wells are expected
to be able to produce 280 gpm which is more than the PHD, ES will not need to be provided. The SB
provides enough water for the ADD per ERU for 2 days, which is approximately 174,600 gallons. The
FSS is 120,000 gallons, based on a fire flow of 1000 gallons for 120 minutes, and is counted as nested
in the SB storage since it is the larger of the two. This nested FSS will provide potable water to the fire
sprinklers and fire hydrants.
Thus the total conventional storage required is approximately 189,530 gallons for an ADD of 70
gpd/ERU. Should final design parameters require a higher ADD per unit, storage would be increased
commensurately.
3.3.2.4 Occupancy and Seasonal Occupancy
The Master Plan projects 10% of the total resort units as full{ime residential, up to 30% of the units for
seasonal or long-term (one month or more) guests, and at least 50% of the units for short-term
tenancies (less than one month). The total estimated annual water demand is related to both the type
of water use (i.e., potable, reclaimed, and irrigation requirements) and the seasonal uses of the resort.
The resort will have seasonal occupancy that would vary by season for both owner and non-owner
guests. Occupancy estimates in Table 3-3 reflect the combination of seasonal residents and high
vacation/convention use during peak seasons. The annual average residential unit occupancy is
estimated at 2.2 people per unit for the Condo-tel and vacation residences.
Table 3-3 Seasona! Occupancy
Peak Season June, July, August,
September 4 757 8SYo
Mid Season 445 51o/o
Low Season
(FullTime Residences)
November, December,
January, February, March 5 267 30%
Average Annual January to December 12 474
Occupancy Category Months lncluded Number of Units Percent
Months Occupied Occupied
Pleasant Harbor Marina and Golf Resort
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CHAPTER 3
April, May, October 3
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PROBABLE SIGNIFICANT ADVERSE IMPACT REVIEW OF THE PROPOSAL CHAPTER 3
3oo/o 3Oo/o 30%30"/ 3Oo/o
Table 3.4 Seasonal Occupancy Summary
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The averages reflect fuller occupancy on weekends and holidays and lower occupancy earlier in the
week, a common pattern for resorts. While the units may in fact be sold out for several weeks during
the summer, such loading is not the norm, and the 85% reflects a truer picture of resort demand for
facilities of this size over a full season.
Winter season 30% occupancy is based on full{ime residents and much more limited use during the
winter, with limited winter tourist attraction and some conference use (typically two and three day
conferences). The percentages were taken from resorts throughout the Jefferson County/Hood Canal
area.
The estimated daily water demand provides the quantity of water that will be used for the design of the
potable water system and the wastewater (reclaimed water) treatment system. (See Table 3-2 Daily
Water Demand (Commercial and Residential).) For determination of annual water budgets, such as
water quantities that are the basis for water rights, the annual water demands are based on the
seasonal occupancy rates as described in section 3.3.5 Seasonal Occupancy.
3.3.3 Phased Water Demand
A project of this size will be developed in phases over a series of years. Water demand changes as the
phases are completed. A summary of the estimated daily potable water demand is summarized in
Table 3-5 Phased Potable Water Demand based on a likely completion scenario. These estimated
daily demands assume a full occupancy rate, which could occur at times during the peak season of the
year. During the seasonally lower occupancy times of the year the daily flows would be proportionally
lower. (See Table 3-3 Seasonal Occupancy.)
Golf Course Resort Area (measured from Preliminary Plat approval)
Year 1. Clearing and grading--rough in the golf course, install main roads and utilities, water for dust
control and cover planting the graded areas for stormwater management and runoff control.
Year 2. Construct the golf course, pave main roads, complete sewer system, complete stormwater
management system for main roads and first phase, clubhouse, hotel and restaurant, staff housing,
final plat approval.
Year 3. 1/3 Residential units
Pleasant Harbor Marina and Golf Resort
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Year4. 1/3 Residential units
Year 5. 1/3 Residential units
Marina Resort Area (measured from Shoreline Substantial Development permit approval)
Year 1 lnstall road, parking and utilities (water and sewer) (begin marina dock replacement)
Year 2. Maritime Village upgrade (commercial development and 88 units)
Year 3. Water side development, 63 units.
Table 3-5 Phased Potable Water Demand
The water phase in plan shows that the 28 acre feet existing water rights could supply the first two
years of project development, with rainwater harvesting and recycling/reuse alone providing the
balance. The water supply and groundwater impact analysis is detailed in Pleasant Harbor Marina and
Golf Resort-Water Supply and Groundwater lmpact Analysis. See Appendix 5.
Statesman has available two ground water rights issued for community domestic supply totaling 115
gallons per minute (gpm) and 28 acre feet per year (afy), Water Rights No G2-20465 and No. G2-
24359- Statesman also has a claim to a right for an additional 12 afy under water rights held by the
Pleasant Tides Water Co-op for community domestic use. Water Rights No. G2-2'1134, No. G2-23623,
and No. G2-27946P. See Shared Water Rights below.
As discussed in other sections of this DEIS, the Master Planned Resort is designed in five phases. The
phasing is important in satisfying the water requirements of the Master Planned resort and in
determining the necessary water rights. The WDOH has recommended that the water system be
developed for a maximum daily demand (MDD) of 350 gallons per day (gpd) per equivalent residential
unit (ERU), or on average 175 gpd/ERU (ADD). ln a letter dated April 1 9,2007, WDOH recognized that
if the Master Planned Resort was developed in phases, WDOH would consider approving the
Statesman Sustainable Water Resources Management Plan for70 gpd/ERU (ADD) and 140 gpd/ERU
(MDD) if the water usage records from the early phases confirms these estimates. WDOH's policy is to
review monitoring records from two non-drought years of water use.
The storage requirements are as follows for an ADD of 175 gpd/ERU. The total storage is comprised of
operating & dead storage (OS/DS), equalizing storage (ES), and the larger of standby storage (SB) or
sustainable fire supply storage (FSS). The OS/DS is dependent upon the actual tank and
appurtenances selected, and is approximately 15,000 gallons. The ES provides a buffer in the event
the wells are not able to produce the peak hourly demand (PHD), which will be approximately 41,700
gallons. The SB provides enough water for the ADD per ERU for 2 days, which is approximately
436,450 gallons. The FSS is 120,000 gallons, based on a fire flow of 1000 gallons for 120 minutes,
and is counted as nested in the SB storage since it is the larger of the two. Thus the total conventional
storage required is approximately 493,150 gallons for an ADD of 175 gpd/ERU. Similarly, for an ADD
of 70 gpd/ERU the total storage is calculated as 189,580 gallons.
Pleasant Harbor Marina and Golf Resort
FINAL EIS - (Site Specific Amendment MLA 06-87)
Phase 1 198 22 25,000 5,500 30,500 24
Phase 2 428 48 54,500 12,000 66,500 52
Phase 3 615 69 78,300 17,200 95,500 74
Phase 4 703 79 89,600 19,800 109,400 85
Phase 5 890 100 I13,500 25,000 138500 108
Total
Residential
ERUs
Total Daily
Water
Percent Demand
Average Daily
Water Cumulative
Water Use
Acre Feet
UtilizedPhaseDemandd)
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PROBABLE SIGNIFICANT ADVERSE IMPACT REVIEW OF THE PROPOSAL CHAPTER 3
Based on the higher 175 gpd/ERU ADD, the current water rights will provide a potable water supply for
204 ERUs, sufficient to cover the units for Phase 1 and a portion of Phase 2. When WDOH approves
the ADD of 70 gpd/ERU, the number of ERUs authorized under the existing rights will then allow for
510 ERUs which will satisfy potable water requirements for Phases 1 and 2 and a portion of Phase 3.
Statesman will not, however, rely on the 40 afy of existing water rights or need to wait for 2 years of
monitoring data prior to proceeding with full development. As discussed herein, the final intent is to
fully supply the Master Planned Resort with rainwater and reuse, which permits the phases to be
constructed as set out above.
Statesman is filing applications for both a groundwater right and a surface water right. The surface
water right will request authorization to use rainwater and runoff, which will be treated and available for
potable water supply. The groundwater right will be providing a supplemental or back up supply to the
surface water use, the existing water rights, and a reclaimed water permit for irrigation of the golf
course and the fire smart program. The groundwater right will request 280 gpm and 239 afy, which is
the maximum total quantity that will be necessary for all water use at the Master Planned Resort
assuming the maximum of 175 gpd/ERU ADD. The full balanced operation at 70 gpd/ERU (ADD)
shows a total balance of 259 acre feet available and 259 acre feet in use, for a net balanced draw of
zero. See Figure 3-8, Water Balance Summaries.
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A schematic of the planned systems and alternative, likely used in concert in the final plan, reflects the
variety of techniques available for water supply and utilization on the site.
Figure 3-8 Water Cycle Concept Flow Diagram; WellWater Potable Supply
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3.3.4 Water Use and Potential Impact-Geologic Conditions
The Master Plan site is typically composed of Vashon Age glacial soils that are dense to very dense
sand and gravel, with varying amounts of silt and some cobbles. Older Pre-Vashon non-glacial
deposits consisting of dense to very dense sands and hard silts and clays were observed in one test
boring and exposed in the bluffs along Hood Canal. The ground surface throughout the area is
hummocky and typical of a site modified by glacial processes; the site includes a number of kettles,
which are large glacial depressions. Ground surface elevations range from about 60 feet in the bottom
of the deepest kettle, to elevation 320 feet on a hill in the southeast portion of the site. Though ground
surface elevation varies considerably across the site, the average site elevation is about 180 to 200
feet. The slopes along Hood Canal consist of near vertical 100 ft high bluffs. Human activity has
altered the landscape for construction of roads and other improvements.
The peninsula is surrounded on three sides by sea water. Due to density differences, fresh water
essentially floats on sea water. The fresh water head (above sea level) beneath the peninsula ranges
between 11 and 34 feet. As such, there is a significant fresh water lens beneath the peninsula.
Though there is a very significant fresh water aquifer beneath the peninsula, it is important to maintain
a positive fresh water head above sea level in the aquifer. The water supply and reuse strategy of the
resort has been designed to prevent adverse impacts on the groundwater resources of Black Point and
to avoid risk of saltwater intrusion.
The development area averages about 55 inches of precipitation annually. Most of the precipitation
events in the site area are generated from southerly storms that move north up the canal. The climate
is marine; winter months are typically moderate and wet, while summer months are typically mild and
dry.
Complete discussion of site geology and local climatic conditions are provided in the Appendix
documents. See Soils and Geology Evaluation at Appendix 4 and Water Supply and Groundwater
lmpact Analysis at Appendix 5.
3.3.5 Water Quality-Water System Management by Public Agencies
Maintenance of drinking water quality for all potable water and reuse/recycling standards fall under the
auspices of the permit treatment and effluent standards for both the water system and the wastewater
treatment system. The potable water system will be a conventional water system design, including a
well combination with collected surface water treatmenVdisinfection system, storage reservoir, and
conveyance piping to points of use. The size of the project will require a Class A water system
approval. While the system could be operated privately, the proposal is construction of the system by
the developer and operation by the Jefferson County Public Utility District, which has indicated a
willingness to operate such a system.
The wastewater treatment system is also proposed to be managed by the Jefferson County PUD, but
could be managed by a local utility or privately.
The advantage of a PUD operation is that the overall water quality system is under long-term public
control to assure proper maintenance, reporting to the key regulatory agencies (WDOE and WDOH),
and providing long{erm assurance and safe operation. Public operation of the facilities will require the
development of both a comprehensive plan and an engineering plan for water service and sewer
service, which will explore in much greater detail the specifics of a given design and operation. At the
Master Plan level the requirement is to assure that both systems are designed, approved, and
operational in advance of the completion of the first phase of the golf course portion of the resort
intended for additional public use.
Should public operation not prove feasible, the alternative is private operation with water system control
and wastewater treatment operations under the supervision of properly licensed technicians, reporting
as required under water system operational permits and the Chapter 90.48 RCW wastewater discharge
permit.
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3. 3.6 Su rface Water M anagement-lrri gati on Water
The water stored in the irrigation water pond, which includes a combination of reclaimed water, treated
stormwater, and rainwater, will be pumped in a pressurized piping system for the irrigation of the golf
course and for water supply to the sustainable fire flow and other needs. Other landscape areas will be
maintained or designed as native planting areas to minimize or eliminate the need for irrigation.
At this preliminary phase, the overall water budget for irrigation is projected at 108 acre feet for the golf
course, fire suppression, and other uses during the irrigation season, which is April to October. The
pond has been designed to retain sufficient water to provide full irrigation supply to the golf course, and
supply is dependent upon securing necessary water rights permits. See Water Supply and
Groundwater lmpact Analysis, Appendix 5.
The precise calculations will depend on the specific design of the golf course and will be part of the golf
course permit review. At the Master Plan level the feasibility and operability of such a system is
demonstrated as both achievable and appropriate for the setting.
A key element of any irrigation plan for the golf course will be the adoption of best management
practices to minimize the use of potentially harmful chemicals and a best management program to
address golf course operation to assure that any opportunity for direct runoff to Hood Canal or the
harbor is eliminated, and the potential for ground water impact is minimized. To achieve this result, the
plat review for the golf course shall prohibit discharge of irrigation water to Hood Canal or the harbor,
and include the adoption of a series of best management practices. Jefferson County uses the King
County aquifer protection guide for golf course management BMPs, and the same conditions or
substantially similar programs are required for this project at the permit level.
3.3.7 Stormwater Management
The site will be designed to meet the recommendations of the current edition of WDOE's Stormwater
Management Manual for Western Washington, February 2005 together with WDOE's adopted Low
lmpact Development Technical Guidance Manual for Puget Sound, January 2005.
The stormwater management plan will be designed to meet the project's requirement for zero-
discharge of water to the Hood Canal from the golf course resort area, and the full treatment of all site
water from the marina area before discharge to the harbor (a significant upgrade from current direct
discharge conditions). Stormwater management plans are approved by the Jefferson County Public
Works Department. As a condition of any permit approval, including shoreline or preliminary plat
approval, the approved stormwater management plan be included as part of the submittal presented for
final approval.
The project has a significant cut and fill program planned for the golf course area which could cause
significant adverse impact if not properly controlled. A separate stormwater management plan is
required for the clearing and grading and subsequently for the development and operation of the
facility. Prevention of pollution and maintenance of hydrology for protected wetland areas are the twin
goals of the stormwater pollution prevention plans for the project
Construction Stormwater Pollution Prevention PIan (SWPPP)
Construction site stormwater runoff for this project is regulated at the state level by WDOE through the
2005 Stormwater Manaqement Manual for Western Washinqton (SWMM) and at the local level by
Jefferson County through the Jefferson County Stormwater Management Plan (Plan). WDOE requires
a Construction General Stormwater Permit for all development activities where more than one acre will
be disturbed and stormwater will be discharged to surface water or to storm drains that discharge to
surface water. lf all stormwater is retained on site, a General Stormwater Permit is not required.
Although this development is well over an acre, the project will be designed, both during construction
and post-development, to retain and/or infiltrate all stormwater on site as part of the overall sustainable
water management plan. Therefore there will be no stormwater from the developed areas of the site
that will be discharged off the site and into the Hood Canal.
Pleasant Harbor Marina and Golf Resort
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The project will require a construction Stormwater Pollution Prevention Plan (SWPPPP) addressing
how the stormwater will be treated and retained on site. There are 12 elements of the SWPPP that
must be addressed:
o Mark clearing limits. Establish construction access. Control flow rateso lnstall sediment controls. Stabilize soilso Protect slopeso Protect drain inletso Stabilize channels and outletso Control pollutants
. Control de-watering. Maintain Best Management Practices (BMPs)
o Manag€ the Project
lf one element is considered unnecessary, the SWPPP must provide a justification. Each of these
elements is discussed in detail in the SWMM. Each element lists several BMPs that can be utilized in
reducing or eliminating the pollution of surface waters from construction activities.
Stormwater runoff during construction will be handled through the use of Best Management Practices
(BMPs) as defined in WDOE's Volume ll of the SWMM. BMPs are methods that reduce or prevent the
release of pollutants to surface waters. For this project, several BMPs will be used to treat and retain
stormwater on the project site. Some of the common methods that will most likely be used include:
o BMP C101 : Preserving natural vegetatione BMP C102: Buffer zones. BMP C105: Stabilized construction entrance(s). BMP C107: Construction road/parking area stabilizationo BMP C120: Temporary and/or permanent seedingo BMP C121: Mulching. BMP C122: Nets and blankets. BMP C123: Plastic coveringo BMP C130: Surface rougheningr BMP C162: Schedulingo BMP C200: lnterceptor dike and swaleo BMP C201: Grass-lined channels. BMP C2O2: Channel lining. BMP C207: Check dams. BMP C230: Straw bale barrier. BMP C233: Silt fence. BMP C234: Vegetated strip. BMP C235: Straw waddleso BMP C240: Sediment trapo BMP C241: Temporary sediment pond
The golf course construction will require land clearing and grading activity. The construction of the
course will be carried out so that soil exposure is kept to a minimum by completing earthwork activity in
phases, including stability and seeding of all disturbed areas. Stormwater runoff will be directed via
lined channels with sediment barriers to several "kettles," or natural closed depressions, sediment
traps, and/or sediment ponds located around the project site. The stormwater will either infiltrate in the
kettles, traps, and ponds or be pumped to dispersion trenches. A 200-ft undisturbed natural vegetation
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buffer will be kept between the shoreline and golf course resort development. Silt fencing and other
BMPs as needed will be used along the site perimeter to prevent sediment from entering the natural
undisturbed and shoreline areas.
ln order to ensure that the Construction Stormwater Pollution Prevention Plan is implemented
appropriately and that approved stormwater management facilities are constructed as per the approved
plans, the proponent shall designate a civil engineer licensed in the State of Washington as the Project
Engineer. The Project Engineer shall be responsible for ensuring that State and County stormwater
management standards are met. Clearing, grading, implementation of the Construction Stormwater
Pollution Prevention Plan, and construction of roads and stormwater management facilities shall be
conducted under the supervision of the Project Engineer. The Project Engineer shall submit regular
reports to Jefferson County while construction is in progress.
Low lmpact Development (LlD) Site Design
As part of the development's requirement to protect Hood Canal, all water on the site will be collected
and either used appropriately onsite, will be routed to the storage ponds, or infiltrated to the
groundwater aquifer. The development's sustainable water resource management plan also includes
site design requirements to meet a zero-discharge of water from any of the built areas of the property.
ln summary, this zero-discharge criterion will be met by collecting and conveying water to storage
ponds that will be built within the existing onsite kettles. The ponds will store water during high
precipitation periods and, as needed, the stored water will be used to meet water demands. Any
surplus water will be directed into the ground to provide aquifer recharge and to ensure that all water
sources on the site are not discharged into Hood Canal.
The project will incorporate LID design methods in the construction of the civil infrastructure systems.
The site will be designed to meet the recommendations of the SWMM, together with WDOE's adopted
Low lmpact Development Technical Guidance Manual (LlD Manual) for Puget Sound, January 2005.
Some of these recommended LID techniques are proposed for the project's roadways and stormwater
management systems including narrow streets, raingardens (to provide water quality), and rainwater
harvesting (to provide flow control).
Narrow streets serve several purposes in a LID design. First, they reduce the amount of pollution-
generating impervious surface. Second, narrow streets also reduce traffic speeds which create a safer
community.
Raingardens are typically shallow man-made depressions with compost-amended soils and plantings
that are used to treat and infiltrate stormwater runoff. The amended soils in the raingardens will
capture pollutants as water percolates through them. The water would be collected by perforated
underdrain pipes below the amended soil layer and be conveyed to a stormwater pond for reuse.
Raingardens also provide a nice landscaping feature, and they can also act as a natural buffer between
the street and residential units. Native plants and shrubs tolerant of water inundation, soil saturation,
and dry periods would be utilized. Raingardens used for treating street runoff are typically located
parallel to streets adjacent to the street shoulder or in medians.
Rainwater harvesting utilizes above or below-ground cisterns, usually located by downspouts, to collect
rainwater for later use such as irrigation. Overflow from the cisterns would be directed into the
Raingardens for infiltration and conveyance to an on-site pond for later reuse.
The stormwater management plan will be designed to meet the project's requirement for zero-
discharge of water to the Hood Canal. This will be accomplished by stormwater treatment and storage,
appropriate water uses, and infiltration of water for aquifer recharge.
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ROAOWAY
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ROAI}WAY WI OTX VAJ11ES
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Figure 3-11 Typical Raingarden Section
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Final layout approval for the golf course approval will require specific approval of the system to assure
that no offsite discharge goal is in fact achieved.
On the Maritime Village portion of the project, a zero discharge system cannot be achieved due to
topography. However, the existing retention, treatment, and discharge system can be significantly
upgraded to assure that all stormwater from upland impervious surfaces are captured and treated prior
to release to the aquifer. Permit approvals will consider the feasibility of capturing and pumping some
portion of the Maritime Village stormwater for collection into the reuse system. All stormwater not so
captured will be treated as provided above. Here again, consistency with the Master Plan will require
approval of a stormwater management system for the Maritime Village area that demonstrates
compliance with the stormwater treatment manual, including provision for addressing potential upsets
or spills upland and mechanisms to assure such events can be handled onsite and do not pose a risk to
the harbor.
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Water Summary and Conditions
Sewer service (onsite system)
Any project approval for the golf course area will require construction and operation permits for
a wastewater treatment system for the project by WDOE and an operational plan in place as a
condition of final plat approval and construction of any structures for occupancy or residency.
Any project approval for the Maritime Village remodel and upgrade shall include a
demonstration that existing facilities can adequately serve the remodel areas. No additional
residential units would be approved until the sewer system is installed and operating.
Water supply, groundwater, and rainwater harvesting
Any project approval for the resort shall contain a condition that the applicant demonstrate
entitlement to sufficient water rights to serve the approved phase from WDOE (water rights
transfer and/or rainwater harvesting rights and use conditions) prior to preliminary plat approval
and construction of any facilities on the property.
Water quality
Stormwater management plans for clearing and grading and for construction and operation
phases must be approved and systems in place to assure control of the stormwater as provided
above.
The golf course project approval shall require the adoption of best management practices for
the management of stormwater onsite and the reuse of water as irrigation water, with a
condition that the system demonstrate no direct discharge to Hood Canal of any stormwater
from impervious or golf course surfaces, and that the grass management program include
specific BMPs to assure proper management of all elements of the golf course management
system consistent with the King County manual for golf course management in aquifer sensitive
areas or its substantial equivalent.
Approval of any permits for the marina redevelopment area shall be conditioned upon the
approval of a stormwater management plan that intercepts and treats all stormwater from
existing or new impervious surfaces to Puget Sound water quality management standards prior
to discharge, and that the Maritime Village has a plan and facilities in place to deal with any
upland upset that may threaten pollutant discharge to Pleasant Harbor.
The Project Engineer shall be responsible for ensuring that State and County stormwater
management standards are met. Clearing, grading, implementation of the Construction
Stormwater Pollution Prevention Plan, and construction of roads and stormwater management
facilities shall be conducted under the supervision of the Project Engineer. The Project
Engineer shall submit weekly reports to Jefferson County while construction is in progress.
Groundwater protection and saltwater intrusion
Preliminary plat approval for the golf course resort that requires water use in excess of current
approved water rights. Preliminary plat approval shall require a hydrogeological report
demonstrating that the additional water use does not pose a threat of saltwater intrusion to
existing wells or sources of water supply. A hydrogeological report is required for each
construction or development phase to demonstrate compliance with this condition.
Surface water and particularly irrigation water and potential migration to the harbor or Hood
Canal were addressed in the section on water quality above.
Fire fighting flow
Adequate and sustainable fire flow will be provided by the Class A water system. The Class A
water system will provide this level of service at all times.
3.3.8
a
a
a
a
a
a
a
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a
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Pleasant Harbor Marina and Golf Resort
FINAL EIS - (Site Specific Amendment IULA 06-87)
Page 3-35 November 27,2OO1
PROBABLE SIGNIFICANT ADVERSE IMPACT REVIEW OF THE PROPOSAL CHAPTER 3
3.3.9 Resources: Use, Reuse, Management, Treatment, and Disposal (Water Quantity,
Water Quality, and Use): Responses to DEIS Comments
Responding to comments by the Hood Canal Environmental Council (275 and 385); WRIA (16 and
359); Ellie Sather (287), Jefferson County Public Health (284), WDOE (281,375,376, and 381),
Department of the Navy (285,366, and 377); PleasantTides (Don Herrin letter) (220), Hal Beattie (125
and 133); Sugino (130), Germaine (129); Rebekah Ross (132), Murdoch (139), Dimino (193), Mitchell
(212), firloore-Lewis (305), Ventura (312), ltlclrlillan Q1a); Streid (313 and 317), Lopez (272), Russe//
(282), Beattie (310), Sather (289), Mitchell (297).
Applicant has proposed that the Pleasant Tides water system be substantially upgraded and made
more efficient, to provide an alternate source of water for the project. The Pleasant Tides program is
strictly voluntary, however, and should they elect not to have Statesman participate in a joint use
agreement, the Black Point aquifer under the resort site has a unique configuration that provides ample
water to serve the needs of the resort, without salt water intrusion, and without jeopardizing draws on
localwells.
Concern is raised that the technology is new and therefore unproven. The project incorporates
numerous low impact, and water saving and treatment reuse approaches that are commonly in use in a
number of resort venues, both in the United States and in Europe. Many are incorporated in existing
Statesman resort properties under development in British Columbia. Historically, resorts have not been
asked to be on the leading edge of low impact and water conservation approaches to development.
The Statesman proposal incorporates technology proven to establish Class A treated water and
accepted by state regulatory and resource agencies, including reuse, recycling, and low impact
development techniques to achieve low-flow, non discharge approaches to water management. A
specific project requirement is to assure hydraulic protection for streams and wetlands in a stormwater
habitat management plan approved and put into place prior to any site disturbance.
A question was raised about the water quantity available from rainfall for the resort and whether the
Quilcene gauge used in the initial reports was inaccurate when compared with the Brinnon gauge.
Subsequent investigation shows the Brinnon gauge and the Quilcene gauge reflecting nearly identical
levels of rainfall and well within the parameters of the project.
The wastewater materials explain the sources and uses of water, reuse, and treatment and how the
system was designed to have no net impact on the aquifer and in some years an above normal
recharge of the aquifer system with treated recycled water in excess of the current "natural" condition.
He also noted that the storage pond has the capability of holding a minimum two-year supply of water
in reserve for fire fighting purposes and for years in which rainfall falls below expected variations. The
water report must address the ability of the site and aquifer: to handle both the draw and infiltration and
to assure that all systems are sufficiently removed from the south bank to protect bank stability.
The project is on a peninsula easterly of the mouths of the Duckabush and Dosewallips Rivers. As
such, no direct impacts to those watersheds are anticipated by the construction and operation of the
resort. lncreased use and pressure on publicly-owned recreational facilities is anticipated. The resort
is required to provide education programs to make residents aware of facilities and the rules and best
practices associated with facility use, including fishing, beach, and forest use. Local state and federal
management agencies are responsible for the development and enforcement of public land use
regulations. The MOU process, built into the project approval phase, is designed to address impacts
and mitigation addressed to a wide variety of public services and facilities. The EIS at the
Comprehensive Plan level anticipates and considers the issues. The project-level approvals, when a
specific phase is under review, will address the project-specific issues on a proper (nexus and
proportionality) basis.
The phased review provides analysis of the site and current conditions to demonstrate the feasibility of
the project proceeding on the planned basis. At the project level, issues about the specifics of sewer
plant design, water rights serving each phase,and the technical issues of the capture, treatment, and
Pleasant Harbor Marina and Golf Resort
FINAL EIS - (Site Specific Amendment MLA 06-87)
Page 3-36 November 27,2007
PROBABLE SIGNIFICANT ADVERSE IMPACT REVIEW OF THE PROPOSAL CHAPTER 3
reuse of water and protection of water resources is achieved in the context of fully engineered plans
and approvals by state agencies. The allocation of general feasibility and issue identification at the
comprehensive plan level and the resolution of those issues during project approval is an appropriate
approach to large projects.
The adoption of the Comprehensive Plan approval for a Master Planned Resort at Brinnon is followed
by the approval of specific zoning requirements to implement the requirements imposed by the FEIS,
and a development agreement that identifies phasing and approvals required to assure that the entire
resort and its impacts are addressed properly at each stage of development. lt provides an adequate
basis for addressing the final systems and approvals necessary to assure the reliability and long-term
operational success required for successful resort operation.
The proposal does project significant cut and fill on the site, but an overlay of the RV development on
the site and the overall grading plan shows that the grading is substantially confined to areas previously
disturbed by the RV park, roads, and campsites, and the fill is primarily a very large kettle in the middle
of the site. The grading plan is subject to detailed requirements for wetland and critical area habitat
protection and stormwater protection plans prior to development, including post grading stabilization
controls prior to vertical development. The overall timing of the grading is controlled by the referenced
permits and the development agreement, which is to detail the phasing plan and all components.
The FEIS contemplates a water quality monitoring program for Pleasant Harbor in conjunction with the
Shoreline Substantial Permit for the marina phase of the development. The monitoring program would
be coordinated with state monitoring programs and provide the basis for an adaptive management
program. The specifics of the program are to be addressed as part of the shoreline permit review and
be in place prior to any new development in the shoreline area.
Concerns about nitrogen loading and the potential impact on the aquifer are site and project dependent.
The FEIS identifies the risk to the aquifer and Hood Canal from nitrogen and golf course management
issues. The project-specific proposal is to address a specific nutrient management program, directed
specifically to site conditions, the design of the golf course, design of the wastewater treatment system
to remove nitrogen, and the design and application of the water reuse and stormwater management
programs proposed for the site. All will be subject to review by regulatory agencies, including WDOE
and the County, to minimize the potential for excess nutrient reaching the aquifer. lssues identified in
the comments, including residual nitrogen and the ability of the proposed system to protect the aquifer
will be reviewed at the project level and must be determined to be adequate prior to permit approval for
the golf course phase of development. (Please see comment and response under shellfish above for
more information.)
The reuse system does lend itself to a geothermal source for heating and cooling the facility, further
reducing energy consumption and the carbon footprint. Reducing the impervious footprint and using
low impact design methods also reduces the overall impact. No specific LEED rating has been
selected and will be addressed at the project level, and operational details about recycling and energy
efficiency will be addressed at the project level in light of the overall commitment to provide an energy
efficient and resource efficient facility.
The wastewater ponds shown on the project plans can accommodate two years worth of water, and are
designed to accommodate both very dry and heavy rainfall years and potential upset conditions.
Engineering specifics are project-level details that must demonstrate adequate levels of safety beyond
the standard 10O-year event. This is done to assure expected maximum levels are contained. The
stormwater control ponds are separate from wetland mitigation areas.
The reuse water will be used to meet the agronomic demands for irrigation, supplemented by stored
stormwater as needed. Consequently, mounding as a result of reuse water infiltration is not expected
to be an issue. Mounding as a result of infiltration and recharge using stored stormwater is a design
constraint that will be addressed at the project level when the stormwater system is designed and
approved. Roof top composition is a design-related issue, but the issue of direct discharge versus
Pleasant Harbor Marina and Golf Resort
FINAL EIS - (Site Specific Amendment MLA 06-87)
Page 3-37 November 21,2OO1
PROBABLE SIGNIFICANT ADVERSE IMPACT REVIEW OF THE PROPOSAL CHAPTER 3
treatment and reuse is a design-related issue under the WDOE "no degradation" standards for
groundwater and aquifer protection.
The specific location of wells and the alternatives available are a design-related issue to be addressed
at the engineering level to minimize the potential for impacts on existing water resources and potential
alternatives in the event of upset or unintended consequences. Salt water intrusion is not considered a
reasonable probability under the system described. Preliminary engineering figures identify the overall
net impact as a "positive recharge" rather than "consumptive" use of the aquifer. These issues will be
addressed in detail at the design and permit approval stages.
The FEIS identifies water quality and discharge as a major issue to be addressed onsite and the
NPDES permits for both construction and operation are acknowledged, as are discharge permits under
Chapter 90.48 if water discharge is not part of the final plans. WDOE review of engineering plans and
treatment and disposal for the wastewater treatment program are all part of the required project
approval process.
Water rights applications have been submitted and are pending WDOE review. The additional water
rights will be subject to processing through WDOE approval requirements. Water availability and water
rights are two limiting factors identified as potential constraints on the project and as such
demonstration of adequate water to serve each phase is required as part of the planned permitting
program. Should the necessary water not be reliably available for a proposed phase, the phase cannot
be approved.
The DEIS did fail to address the State's Section 401 and wetland regulatory authority, which is
acknowledged. WDOE approval of required permits and certifications will be part of any project
approval altering or potentially affecting wetlands. State water quality standards are acknowledged.
The marina use and any potential increase will be addressed at each phase of development. As noted
above, some increase could occur but the amount, timing, and nature of such traffic cannot be known
at this time. No change in the configuration or capacity of the marina is anticipated, merely the
rehabilitation or repair of existing degraded conditions. As phases are constructed, marina traffic will be
monitored, as will water quality in the Harbor to measure and address any unanticipated impacts.
Additional traffic information will be available through project review for each phase of the development
and the Navy will be advised of all such applications. The waters of Hood Canal are controlled by
navigation controls and notices to mariners, which can address specific concerns and regulations
designed to aid Naval operations. The marina is committed to maintain information kiosks in aid of
public education about naval operations and activities. The Canal is an open water, however, in which
boating traffic is invited and encouraged to use (such as the upgrade of the WDFW boat launch at
Pleasant Harbor). The Master Planned Resort will work with local agencies to assure education is
achieved and is committed to a monitoring and adaptive management program to assure water quality.
Water closures or acoustic limits would have to be imposed by the Navy or Coast Guard to regulate the
general boating public.
The consultants have reviewed the well head protection programs for the Pleasant Tides and Pleasant
Harbor Beach tract wells, which are located near the intersection of Black Point Road and US HWY
101. The Washington State Department of Health has guidelines for construction in the vicinity of
public water supplies, which the project is required to meet. From a preliminary design point of view, no
adverse consequences to the wells are anticipated. During final design and before project approval the
wells, protected areas, and location of roads will be specifically addressed to assure that quantity and
quality of water is not disturbed and the wells are adequately protected.
Any joint program with Pleasant Tides Water Co-op would require mutual consent and if they elect not
to explore joint opportunities, the MPR will be required to meet its water needs elsewhere. The fact that
no present agreement is in place is accurate, and the comment and expression of concern is noted.
lmpervious surfaces and developed areas are capped as defined in the FEIS. The final report as to
actual use regarding preservation of the aquifer will be in the engineering reports at the project level,
Pleasant Harbor Marina and Golf Resort
FINAL EIS - (Site Specific Amendment MLA 06-87)
Page 3-38 November 21,2007
PROBABLE SIGNIFICANT ADVERSE IMPACT REVIEW OF THE PROPOSAL CHAPTER 3
including a project-specific aquifer recharge report. The specific manner of infiltration and recharge will
be determined by WDOE in its review and approval of the Class A reuse/recycling program, addressing
water quality, water quantity, and capability; protection from pathogens; and other issues to assure no
impact on either other water users in the area or the aquifer runoff and seeps.
The possibility of incorporating water use/reuse from other systems, if they are developed in time, could
provide an opportunity to reduce dependence on aquifers and provide a mutual benefit should such
alternative systems be available and would certainly be examined during the project phases.
The water treatment system looks at the totality of the treated loads to assure that the water discharged
meets class A water standards.
The project is required to have a stormwater and habitat management plan in place prior to the start of
any construction to protect habitat and critical area and to avoid stormwater or construction runoff from
entering the Canal.
The aquifer has been identified as underlying the resort property, and use as proposed is not expected
to affect other water users. Specific parameters of use and limits to avoid impact are to be addressed
during the water rights permitting program under WDOE guidelines. The overall availability of water
and limitations or constraints as a result of the location will be identified at the water rights permitting
phase, which must be concluded before specific project elements are permitted for construction.
3.4 Transportation
The County identified five specific issues to be addressed as part of the transportation review. (1) US
HWY 101, (2) internal circulation, (3) marina circulation, (4) pedestrian circulation, and (5) bicycle
circulation.
This section summarizes traffic and transportation existing conditions, project impacts, and mitigation
measures of the Alternatives. A more detailed discussion and relevant technical supporting information
and attachments are contained in Appendix 6: Transportation lmpact Study.
3.4.1 Site Vicinity and Access Assumptions
The Pleasant Harbor development is located on US HWY 101 in the vicinity of Black Point Road in
Jefferson County, Washington. A project site vicinity map is shown in Figure 3-13. The subject
properties would include two main development districts under the Statesman proposal: Black Point
Property and Maritime Village (see Figure 1-5).
There are existing facilities in the subject area, including a boat launch, beach, parking area,
approximately 30 acres of forest, cottage business, a bed & breakfast, real estate office, vehicle/boat
maintenance and repair shop. welding service, and vehicle and boat storage facility. Pleasant Harbor
Marina currently provides moorage and fuel services with limited shopping and food service.
For transportation evaluation purposes, full build-out and occupancy of the project is within six to seven
years from commencement. Vehicular site access would be consolidated for the Maritime Village and
Black Point Property at US HWY 101 and Black Point Road. A egress-only driveway from the Maritime
Village onto US HWY 10'l would also be provided. All other five existing access connections onto US
HWY 101 would be closed and removed.
There are three new site access roadways proposed onto Black Point Road for the Black Point
Property and Maritime Village, including:
Village. Existing traffic associated with the WDFW Boat Launch at Pleasant Harbor could
intersect this new frontage road in a consolidated access onto Black Point Road.
course resort on Black Point Road. This access roadway would serve as an emergency
secondary access/egress.
Pleasant Harbor Marina and Golf Resort
FINAL EIS - (Site Specific Amendment MLA 06-87)
Page 3-39 November 21,2007
PROBABLE SIGNIFICANT ADVERSE IMPACT REVIEW OF THE PROPOSAL CHAPTER 3
would serve all traffic to/from the Black Point Property.
Figure 3-13 Project Site Vicinity
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Page 3-40 November 27,2001
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PROBABLE SIGNIFICANT ADVERSE IMPACT REVIEW OF THE PROPOSAL CHAPTER 3
3.4.2 Existing Transportation Conditions
This section describes existing transportation system conditions in the study area. lt includes an
inventory of existing roadway conditions, traffic volumes, intersection levels of service, collision history,
public transportation services, nonmotorized transportation facilities, and planned roadway
improvements.
3.4.2.1 Roadway Conditions
The following paragraphs describe existing arterial roadways that would be used as major routes for
site access. Roadway characteristics are described in terms of number of lanes, posted speed limits
and shoulder types and widths.
US HWY 101 is classified by the Washington State Department of Transportation (WDOT) as a rural
principal arterial. The roadway generally consists of 2 travel lanes 1 1-feet wide with 3- to 10-foot paved
shoulders. The posted speed limit is 50 mph in the vicinity of the subject properties.
SR 104 is classified by WDOT as a rural principal arterial. The roadway consists of 2 travel lanes 11
feet wide with B-foot paved shoulders. The speed limit is posted at 60 mph.
Center Road north of US HWY 101 is a two-lane major collector roadway with 1 i -foot travel lanes and
7- to 9-foot paved shoulders. Curbs, gutters, and sidewalks are located on the west side of the street,
and a raised curb is located on the east side of the street, The curb-to-curb pavement width is 38 feet.
The posted speed limit is 30 mph in the vicinity of Quilcene and 35 mph further north of Qullcene.
Dosewallips Road is a two-lane minor collector roadway with 11-foot travel lanes and'l-foot paved
shoulders. The speed limit is posted at 35 mph.
Dosewallips Park Entrance Road is a two-lane, 2O-foot local access roadway. The posted speed limit
is 10 mph wesr and 5 mph east of US HWY 101.
Black Point Road is a two-lane local access street, with existing demand of less than 300 daily vehicles.
The Jefferson County Public Works Road Log identifies 24 feet of pavement and 3-foot shoulders.
However, based upon measured conditions in the field by Transportation Engineering Northwest
(TENW) at several points along Black Point Road (in the vicinity of all proposed access points), the total
pavement width ranges between 26 and 27 feet in width with 1- to 3-foot grass/gravel shoulders. The
speed limit is posted at 35 mph. Black Point Road was constructed between 1974 and 1975, with a
structural section of 12 inches of Class B gravel base overlaid with 2 shots of bituminous surface
treatment.
Old Black Point Road is an undefined County Road that potentially serves as the first 0.04 miles of the
existing entrance into the K.O.A. campground on the subject properties. According to the County Road
Log, it intersections Black Point Road at approximately 0.05 miles from US HWY 101 and was
established as a 12-foot of right-of-way. No record of this right-of-way is noted on recent property Alta
surveys or title reports.
Duckabush Road is a two-lane minor collector roadway with 11-foot travel lanes and no shoulders. The
posted speed limit is 25 mph.
3.4.2.2 Existing Traffic Volumes
Daily traffic volumes represent the number of vehicles traveling a roadway segment over a 24-hour
period on an average weekday. Peak hour traffic volumes represent the highest hourly volume of
vehicles passing through an intersection during a typical 4-6 p.m. peak period. For the purposes of this
traffic study, the p.m. peak period was used as the peak hour since the proposed project would
generate the highest traffic during this period. Existing channelization and traffic control at all study
Pleasant Harbor lvlarina and Golf Resort
FINAL EIS - (Site Specific Amendment MLA 06-87)
Page 3-41 November 27,2OO7
PROBABLE SIGNIFICANT ADVERSE IMPACT REVIEW OF THE PROPOSAL CHAPTER 3
intersections is provided in Appendix 6. Figures 3-14 and 3-15 show existing daily and p.m. peak hour
traffic volumes.
Daily traffic volumes were obtained from WDOT. Traffic Count Consultants lnc. also conducted daily
traffic counts on US HWY 101 (south of Quilcene and south of Brinnon) and Center Road, including
p.m. peak hour turning movement counts at all study intersections in AugusVSeptember 2006 (traffic
counts are provided in Attachment A). Historicaltraffic volumes on US HWY 101 and study intersection
roadways in the project site vicinity indicate a weighted average growth rate of 2 percent per year
between 1998 and 2004. Furthermore, Jefferson County traffic and population forecasts in Quilcene
and Brinnon estimate a 2 percent annual growth rate out to 2024. Therefore, a 2 percent per year
growth rate was used to factor historical daily traffic volumes to estimate 2006 conditions.
At milepost 324.80 on US HWY 101 (approximately 15 miles south of Black Point Road), WDOT
maintains a permanent traffic recorder station. During the peak summer month of August, traffic
volumes recorded on US HWY 101 are approximately one-third higher than the annual average daily
volumes. Traffic counts collected by TENW were collected prior to and during the Labor Day Weekend
in 2006, representing a conseryative period and allowing for evaluation of potential traffic impacts
during a worst-case scenario of peak use of the proposed resort facilities during peak summer traffic
flows in the study area.
3.4.2.3 lntersection Levels of Service
Levels of Service (LOS) serves as an indicator of the quality of traffic flow at an intersection or road
segment. The LOS grading ranges from A to F, such that LOS A is assigned when minimal delays are
present and low volumes are experienced. LOS F indicates long delays and/or forced flow. of
Appendix 6 summarizes the delay range for each LOS at unsignalized intersections. The methods
used to calculate the levels of service are described in the updated 2000 Highway Capacity Manual
(Special Report 209, Transportation Research Board). The measure of effectiveness for unsignalized
intersections, an LOS and estimate of average control delay is determined for each minor or controlled
movement based upon a sequential analysis of gaps in the major traffic streams and conflicting traffic
movements. ln addition, given that unsignalized intersections create different driver expectations and
congestion levels than signalized intersections, their delay criteria are lower. Control delay at
unsignalized intersections include deceleration delay, queue move-up time, stopped delay in waiting for
an adequate gap in flows through the intersection, and final acceleration delay.
LOS standards in Jefferson County are LOS C for rural roads and LOS D for all other roads.
LOS on State Highways is LOS C for US HWY 101 and SR 104.
Pleasant Harbor Marina and Golf Resort
FINAL EIS - (Site Specific Amendment MLA 06-87)
Page 3-42 November 21,2OOl
PROBABLE SIGNIFICANT ADVERSE IMPACT REVIEW OF THE PROPOSAL CHAPTER 3
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Figure 3-14 2006 Existing Daily Traffic Volumes (from WDOT tables)
Pleasant Harbor Marina and Golf Resort
FINAL EIS - (Site Specific Amendment MLA 06-87)
Page 3-43 November 27,2OOj
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Figure 3-15 2006 Existing P.M. Peak Hour Traffic Volumes
Pleasant Harbor Marina and Golf Resort
FINAL EIS - (Site Specific Amendment MLA 06-87)
Page 3-44 November 27,2OO7
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PROBABLE SIGNIFICANT ADVERSE IMPACT REVIEW OF THE PROPOSAL CHAPTER 3
Existing p.m. peak hour LOS at study intersections are summarized in Table 3-6. All intersections
currently operate at LOS B or better. Detailed LOS summary worksheets are provided in Appendix 6.
Table 3-6: 2006 P.M. Peak lntersection Levels of Service
Unsiqnalized lntersections
Control
Tvpe LOS
Average
Delav
#1 - SR 104 at Center Road Ramp EB Left A B
SB B 14
#2 - SR 104 Ramp at Center Road EB B 10
NB Left A B
#3 - US HWY 10i at Center Road EB B 10
WB B 12
NB Left A 8
SB Left A B
#4 - US HWY 101 at Dosewallips Road EB A 10
NB Left A B
#5 - US HWY 101 at Brinnon Lane EB A 10
WB B 10
NB Left A B
SB Left A 8
#6 - US HWY 101 at
Dosewallips Park Entrance Road
EB B 11
WB A 10
NB Left A 8
SB Left A B
#7 - US HWY 101 at Black Point Road WB A '10
SB Left A 8
#B - US HWY 101 at Duckabush Road EB B 10
NB Left A 8
Note: Analysis based on HCS 2000 results using HCM 2000 control delays and LOS
A projecrspecific LOS evaluation update will be required at the time of the preliminary plat application
to identify specific mitigation requirements, but the studies done at this stage show traffic at all levels
and affected intersections operating well within acceptable limits and no significant capacity
improvements are anticipated as a result of the project.
Significant right of way and intersection improvements will be required at the immediate vicinity of the
project to accommodate left turns and the revised access to the master plan area reducing the overall
number of entry points onto US HWY 101 . Design of these sections and WDOT approval for all work
on State Right of Way is required at the time of preliminary Plat approval.
3.4.2.4 Collision History
The frequency and severity of collisions are commonly weighted against speed, volume, and functional
classification of a roadway segment or intersection. These variables are considered in determining if a
certain location has an unusually high collision rate. The average annual collision rate is calculated by
summing the total number of collisions that occurred at a specified intersection or roadway segment
during the past three years and dividing the total by three. Collision data for an intersection is also
measured by collision rates per million entering vehicles (MEV). Collisions per MEV reflect the number
of vehicles traveling through an intersection, providing a different indication of design-related versus
volume-related incidences.
Page 3-45 November 27,2007Pleasant Harbor Marina and Golf Resort
FINAL EIS - (Site Specific Amendment MLA 06-87)
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PROBABLE SIGNIFICANT ADVERSE IMPACT REVIEW OF THE PROPOSAL CHAPTER 3
Table 3-7 summarizes historical collision data as provided by the WDOT for the most recent 3-year
period between January 1, 2003 to December 31, 2005 at all study intersections. There have been no
fatal collisions within the project site vicinity in the most recent 3-year period. There were no reported
collisions at US HWY 101 and Center Road, US HWY 101 at Black Point Road, SR 104 Ramp at
Center Road, and SR 104 at Center Road Ramp. All study intersections have an average annual
collision rate equalto or less than 1.0 and a collision rate per MEV equal to or less than 0.88. None of
the study intersections are considered to be high collision locations.
Table 3-7: lntersectaon 3-Year Historical Collision Rates
Source: WDOT Standard Accident History Detail Report, Provided August 2006 for period between January 1, 2003, to December 31, 2005.
MEV - Million entering vehicles.
As with the traffic volume data, traffic collision data will be reviewed in conjunction with the preliminary
plat to assure the plat is approved based on the most current data. But the table shows no significant
issues that need to be addressed during platting other than the standard road design and ingress and
egress requirements common to plat review and approval, US HWY 101 does have a history of
accidents due to road alignment and grade and due to excessive speed. Caution must be exercised in
connection with any development west of US HWY 101 , particularly development which would increase
crossing movements as the intersection at Black Point road does have severe limits to accommodate
crossing traffic. Alignment of entrances to any development west of US HWY 101 will have to be
viewed by the County in the context of the planned increased traffic from the resort.
3.4.2.5 Public Transportation Services
Jefferson Transit Route 1 provides public transportation services in the area, with a stop on US
HWY 101 at Black Point Road, adjacent to the project site. Route 1 provides Monday to Saturday
service to Brinnon, Quilcene, and the Hadlock/lrondale/Chimacum Tri-Area. Service at US HWY 101
and Black Point Road is provided between 7:10 a.m. until 7:55 p.m. with stops every 2 to 3 hours.
Saturday service is provided at the US HWY 101 and Black Point Road intersection from B:55 a.m. until
7:10 p.m. with stops every 4 to 5 hours.
Pleasant Harbor Marina and Golf Resort
FINAL EIS - (Site Specific Amendment MLA 06-87)
Page 3-46 November 27,2OOl
lntersections Fatal
Collisions
lnjury
Collisions
PDO
Collisions
Total
Co!!isions
Average
Annua!
Collision
Rate
Collision
Rate per
MEV
#1 - SR 104 at Center
Road Ramp 0 0 0 0 0.0 0.00
#2 - SR 104 Ramp at
Center Road 0 0 0 0 0.0 0.00
#3 - US HWY 101 at
Center Road 0 0 0 0 0.0 0.00
#4 - US HWY 101 at
Dosewallips Road 0 0 1 1 0.3 0.31
#5 - US HWY 101 at
Brinnon Lane 0 0 1 1 0.3 0.30
#6 - US HWY 101 at
Dosewallips Park
Entrance Road
0 1 2 3 1.0 0.88
#7 - US HWY 101 at
Black Point Road 0 0 0 0 0.0 0.00
#B - US HWY 101 at
Duckabush Road 0 1 1 2 o.1 0.11
D
PROBABLE SIGNIFICANT ADVERSE IMPACT REVIEW OF THE PROPOSAL CHAPTER 3
3.4.2.6 Non-motori zed Tra nsportati on Fac i I ities
US HWY 101 consists of 3- to lO-foot paved shoulders. Black Point Road provides 1- to 3-foot
grass/gravel shoulders which are generally inadequate to accommodate pedestrian or non motorized
traffic. US HWY 101 does accommodate significant summer bike travel, even though the highway does
not have identified bike lanes. The increased vehicular travel to the resort operates well within LOS
limits for US HWY 101. Riders on US HWY 101 are aware of its limitations in terms of narrow
shoulders and site distances the length of Hood Canal. The internal circulation system of the resort
allows riders to get off US HWY 101 in the resort area and travel through the resort. The resort traffic
does not materially change that situation. The Master Plan description identifies the internal trail
network planned for the resort, which is open to the public and does encourage both walking and
bicycling off the State highway. The compact development of resort facilities is designed to facilitate
internal circulation through nonmotorized means. lf significant development were to occur west of US
HWY 101, consideration should be given to safe pedestrian access, including potentially overpass
crossing due to safety issues crossing US HWY 101 at Black Point Road.
3.4.2.7 Planned Roadway lmprovements by others
Jefferson County's 2007-2072 Transportation lmprovement Program (TlP) identified no transportation-
capacity improvement project that would be impacted by vehicular trips from the proposed project
3.4.3 Transportation lmpacts
The following section describes transportation impacts the proposed Pleasant Harbor development
would have on the surrounding arterial network and critical intersections in the site vicinity. The
discussion includes non-project related traffic forecasts, new trips generated by the proposed
development, distribution and assignment of new project trips, traffic volume impacts, impacts on LOS
at nearby significant intersections, public transportation services, non-motorized facilities, and site
access, circulation, and safety issues.
3.4.3.1 Non-Project Traffic Forecasts
For the purpose of this traffic analysis, year 2017 was selected as the build-out year based upon full
completion and occupancy of the proposed Pleasant Harbor development. As summarized previously,
historical and forecasted traffic volumes indicate an average growth rate of 2 percent per year during
the relevant period. Therefore, existing traffic volumes were factored by 2 percent per year to estimate
year 2017 baseline conditions without the proposed development alternatives.
3.4.3.2 Project Trip Generation
This section summarizes trip generation for the proposal. From a trip generation standpoint, all the
proposed uses under the four EIS Alternatives would involve typical or traditional residential,
commercial, resort, or recreational uses.
Trip generation rates compiled by the lnstitute of Transportation Engineers (lTE) Trip Generation, 7th
Edition,2003, were used to estimate daily traffic and p.m. peak hour traffic that would be generated by
the EIS alternatives. Given the resort nature of the Statesman Alternative, a.m. peak hour trip
generation and the associated background traffic on adjacent streets would not be significant.
Therefore, to evaluate a worst-case scenario, p.m. peak hour vehicle trip generation was considered
assuming peak summer traffic conditions in combination with no reductions for seasonal occupancy
factors.
3.4.3.3 Statesman Plan MPR Alternative Trip Generation
The subject properties under the Statesman Plan [/PR Alternative encompass approximately 250 acres
and would include two main development districts: the Black Point Property and the Maritime Village.
The development involves creation of a Master Planned Resort (MPR) that would include an 18-hole
golf course with a 3,000 square foot refreshment center, 890 residential units, a 60,000 square foot
Pleasant Harbor Marina and Golf Resort
FINAL EIS - (Site Specific Amendment MLA 06-87)
Page 3-47 November 27,2007
PROBABLE SIGNIFICANT ADVERSE IMPACT REVIEW OF THE PROPOSAL CHAPTER 3
resort/retail/spa conference center, a 200-seat (10,000 square foot) community center, a 16,000 square
foot commercial retail Maritime Village, and incorporation of an existing 285-slip marina. Appendix 6
further outlines the supporting documentation and trip generation assumptions related to this
Alternative.
Based upon recommended practices and procedures in the ITE Trip Generation Handbook, a
combination of average trip rates and fitted curve equations for all suites hotel (lTE Land Use Code
311), condominiums/townhouses (lTE Land Use Code 230), recreational homes (lTE Land Use Code
260), golf course (lTE Land Use Code 430), specialty retail (lTE Land Use Code 824), low-rise
apartments (lTE Land Use Code 221), a 2SO-person conference facility (Salish Lodge Expansion
activities-based approachl), and marina (lTE Land Use Code 420) were used to estimatenet new trips
generated by the proposed development.
Table 3-8 summarizes estimated net trip generation by the proposed Statesman Plan MPR Alternative.
An estimated total of approximately 4,100 daily and 363 p.m. peak hour vehicular trips (186 entering
and 177 exiting) would be generated at full build-out and occupancy of the Statesman Plan MPR
Alternative.
Table 3-8: Statesman Plan MPR Alternative - Net Project Trip Generation
Source: ITE Trip Generation Manual,Edition and TENW
Given the anticipated limited buildout of supporting retail uses for resort occupants (owners, guests, or
renters), trip generation rates were selected for resort residential uses that reflect trip making during the
p.m. peak hour for shopping, services, and other such activities to commercial areas outside of the
development. ln addition, as a conservative assumption, it was assumed that 20 percent of all trips
would be internal in nature; therefore, the remaining B0 percent of vehicular trips were considered to be
newvehicle trips generated by the development, impacting the immediate vicinity street system. This
internalization assumption also reflects the potential for additional trip making off-site due to limited
supporting retail services within the resort.
Trip making by resort employment (property management, on-site spa, concierge, laundry/dry cleaning,
golf course, and other resort hotel functions) are inherent within trip generation rates of those noted
commercial or proposed uses.
' Source: Salish Lodge Expansion, Transportation lmpact Study, TENW, November 2001
P.M. Peak
New
LU
Code Units Enter Exit Trips
Daily
Trips
All Suites Hotel 3',l1 154 28 34 62 800
Condominiums/Townhouses 230 216 113 1,2001637
Recreational Homes/Adult Communitv 260 420 109 1,3004564
Golf Course (acres)430 123 12 20048
Specialtv Retail 824 16.5 1B 26 45 700
Low-Rise Apartments 221 100 42 55 6B 700
Conference Facility
(Salish Lodqe -max attendees)nla 250 25 35 60 400
Marina (existino vested use)420 311 35 24 59 900
Gross Total Trip Generation 274 250 523 6,200
Less lnternal Trips - Assume 20% Total -55 -50 -105 -7,200
Marina (Existino Uses)-35 -24 -59 -900
Net Proiect Trio Generation 177 363 4.100186
Pleasant Harbor Marina and Golf Resort
FINAL EIS - (Site Speciflc Amendment MLA 06-87)
Page 3-48 November 27,2OO7
PROBABLE SIGNIFICANT ADVERSE IMPACT REVIEW OF THE PROPOSAL CHAPTER 3
3.4.3.4 Trip Distribution and Assignment
Using standard engineering practices and guidelines, new vehicle trips generated by the proposed
Pleasant Harbor development were distributed and assigned to the surrounding street system based on
local traffic patterns and recent traffic studies conducted in the study area and approved by Jefferson
County. As shown in Figure 3-16, project trip distribution was assumed to follow these patterns from
the proposed site:
35 percent to the east via SR 104 to Seattle and Tacoma.
3 percent to the west via Dosewallips Road and Duckabush Road.
25 percent to the north via US HWY 10'l and SR 104 to the Olympic Peninsula, Port Townsend,
and Whidbey lsland.
30 percent to the south via US HWY 101 to Olympia, Tacoma, and Seattle.
7 percent local to Dosewallips State Park and Quilcene.
a
a
a
a
a
Pleasant Harbor Marina and Golf Resort
FINAL EIS - (Site Specific Amendment MLA 06-87)
Page 3-49 November 27,2OO7
PROBABLE SIGNIFICANT ADVERSE IMPACT REVIEW OF THE PROPOSAL CHAPTER 3
l9r04
I
r04Rd
3
l
Puget Sound
Setttle/
Tacomr
Bhck
Point Rd
Project
Site
To To
Otympic
Peninsuh
To
(Not to
65%
l%
5
50%
5
%
5%
(Local)
2o{o
(LocC)
Figure 3-16 Project Trip Distribution
3.4.3.5 Traffic Volume lmpacts
Traffic volumes were estimated for daily and p.m. peak hour conditions to the year 2017 without the
proposed project and with the four land use Alternatives. Peak hour traffic impacts remain within
Pleasant Harbor Marina and Golf Resort
FINAL EIS - (Site Specific Amendment MLA 06-87)
Page 3-50 November 27,2007
I
\
)
3
&q
)
\
I
)
I
\
{
)
PROBABLE SIGNIFICANT ADVERSE IMPACT REVIEW OF THE PROPOSAL CHAPTER 3
approvable LOS limits at study intersections in 2017 without the project and under all development
alternatives. Detailed traffic volume forecast estimates are provided Attachment A of Appendix 6:
Transportation lmpact Study.
3.4.3.6 Public Transportation lmpacts
Jefferson Transit Route 1 stops approximately onethird of a mile from the project site at the
intersection of US HWY 101 at Black Point Road, providing transit service four times per day to the
main entrance of the Pleasant Harbor properties. The applicant proposes to purchase and maintain a
van or small shuttle bus available for guests and tenants to utilize on an as-needed basis for use in
group trip making, coordinated events, airport shuttle, and other miscellaneous traffic. The applicant
also proposes to work with Jefferson Transit in scheduling and expanding service as necessary to the
resort as well as considering joint opportunities to provide layover or transit service and facilities within
the site.
3.4.3.7 N on-motori zed Tra nsportation I mpacts
US HWY 101 currently consists of 3- to 1O-foot paved shoulders. Black Point Road provides 1- to 3-
foot grass/gravel shoulders. The applicant will be required to fully fund and construct associated
frontage improvements onto US HWY 101 and Black Point Road to accommodate nonmotorized facility
improvements such as sidewalks, improved shoulder widths, or paved pathways internal to the project
and accommodations for bicycle traffic through the intersection with US HWY 101 and project
frontages. The applicant proposes to work with Jefferson County in developing a nonmotorized
circulation system within the site available to the public that would not impact County or State highways
and would provide for pedestrian and bicycle circulation between the two main development districts
(i.e., Black Point Properties and Maritime Village).
3.4.3.8 lntersection Level of Service !mpacts
As summarized in Table 3-9, intersection LOS impacts during the p.m. peak hour were evaluated at
study intersections in 2017 without the proposed project and under all development Alternatives. As
shown, all stop-controlled movements at study intersections would operate at LOS C or better with and
without the development Alternatives in 2017. All intersections would meet adopted local and state
LOS standards.
Pleasant Harbor Marina and Golf Resort
FINAL EIS - (Site Specific Amendment MLA 06-87)
Page 3-51 November 27,2OOl
PROBABLE SIGNIFICANT ADVERSE IMPACT REVIEW OF THE PROPOSAL CHAPTER 3
Without Proiect No Action Brinnon Statesrnan HybridUn3ignalizod
lntersections
Control
Twe LOS Delav LOS LOS Delav Delav LOS Delav LOS Delav
FB I eft I d o I o#1 SR 1O4 at
Center Road Ramo sB C 15 C
.'t 6 C 19 (:))tl ?.1
rB R 11 o 1l B 1'?R 13 B 1:J#2 - SR '104 Ramp
Center Road NII Lefi A 8 A B A ()A (,A B
fB B 11 B 11 R 11 R 11B11
WB B 13 B 13 B 14 C ao (.19
NB I t:ft I 8 I I
#3 - SR 1O1 at
Center Road
5R left I fl A tl
rn R 1o It 1r)R R 1311B,]
:J#4 SR 1O1 at
Dosewallios Road NI] LdI u f_l tl
TB 1t)B
.l
1 B 1)1')B 14B
WB l1 '10 tl 11 ts 12 ts 14 ts 14
NII I uft tJ 8 !l
tf\ SR 1O1 at
Brinnon Lane
SB left o A A tl
rD B 11 ll 12 B 1:3 n 15 C 15
WB 'lo 10 B 11 R 1?B 1?
NB I afr o o tl
fG SR 1O'1 at
Dosewallips Park
Fntrance Road
sts left tj A A tl A A o
lB C 16 L)30
wu B '10 B 1f}?7B13C18C
NRldt B ti
#/ - SR 1O1 at
Black Point Road
SB Left A B A A B A o A
FB B '1 1 D 11 B 1')B 13 B 1:J#A SR 1O1 at
Duckabush Road NB Left A tl A A ft A A tl
WB R 1()B 1()#9 - SR 'lO1 at
N Maritime Site Dr 5'B tcft o ll
WI]B lt B 1?#10 SR 101 at
S lvlaritime Srte Dr SB lefi A I B
tlllalt
Wts Left A A I
A/n !l 1'l R 14 R 13
t11 SR 1O1 at
Proiect Site Drivairray
.sB B B
Table 3-g 2017 PM Peak Hour Level of Service lmpacts
Pleasant Harbor EIS
2O1 7 PM Peak Hour Leve! of Service I
Nots: Analyis bae<l orr HCS 20OO rerlts ukrg HCM 2O0O @rtrol delay! arxl LOS
Pleasant Harbor Marina and Golf Reson
FINAL EIS - (Site Specific Amendment MLA 06-87)
Page 3-52 November 21,2OOl
3.4.3.9 Site Access, Safety, and Circulation lssues
Full build-out and occupancy of the project is anticipated by 2017. Vehicular site access would be
consolidated for the Maritime Village and Black Point Property at US HWY 101 and Black Point Road
under the Statesman Plan MPR Alternative. A right-only driveway from the Maritime Village onto US
HWY 101 would also be provided. All other existing access connections onto US HWY 101 would be
closed and removed.
There are three new site access roadways proposed onto Black Point Road for the Black Point
Property and Maritime Village under the Statesman Plan MPR Alternative, including:
1. A private frontage road that parallels US HWY 101 between Black Point Road and the Maritime
Village. Existing traffic associated with the State of Washington Boat Launch Pleasant Harbor
would intersect this new frontage road in a consolidated access onto Black Point Road.
2. An emergency-only access into Black Point properties, located opposite the proposed private
frontage road on Black Point Road, would also serve a maintenance facility and the proposed
community center.
3. A main entry roadway into the resort on Black Point Road, approximately 0.7 miles from US
HWY 101, that would serve all traffic to/from the Black Point resort property.
PROBABLE SIGNIFICANT ADVERSE IMPACT REVIEW OF THE PROPOSAL CHAPTER 3
The internal roadway within the development would provide adequate on-site, two-way circulation. The
applicant would be required to fully fund and construct the necessary site driveways and associated
improvements onto US HWY 101 and Black Point Road.
As noted in the Section 3.4.2.1, Black Point Road was originally constructed approximately 20 years
ago with a 12-inch Class B gravel base and two shots of bituminous surface treatment. Based upon
increased traffic loads during construction and at full buildout and occupancy, the structural section and
roadway do not meet current road standards for a collector and would be brought up to current
standards during final plat development for the golf course.
3.4.3.1 0 Access Management Standards
Access management standards identified in the Washington Administrative Code (WAC) Chapter 468-
52-O4O-2 - Highway Access Management - Access Control Classification System and Standard were
evaluated in relation to the proposed action. US HWY 101 in the site vicinity is classified as a Class 2
facility under WDOT's access management standards. Based on proposed closure of all existing
access connections into the Maritime Village area, the proposed private access connections would be
located more than 660 feet away from other existing private access connections. Therefore it complies
with minimum access management standards.
3.4.3.11 Marine Resort lnternal Access
The internal circulation road between the Maritime Village and the golf course permits circulation
withouttraversing US HWY 101. All traffic exiting on the one-way street north of the Maritime Village
shall be directed north bound only on US HWY 101 under the current proposal. At the project level
detailed designs for circulation must be approved by both Jefferson County and WDOT.
3.4.4 Matigation Measures Transportation Summary
A review was conducted of vehicular trip generation, public transportation and nonmotorized
transportation impacts, and site access and safety issues of the EIS Alternatives considered under the
Pleasant Harbor DEIS. Based upon this traffic impact analysis, the following mitigation measures will
be required as part of a preliminary plat approval for each project phase.
. Fully fund and construct associated improvements for Black Point Road to meet County
standards from US HWY'101 to the project entrance.
o Provide adequate site distance to the east of the proposed main site driveways onto Black Point
Road and the egress from Maritime Village in US HWY 101 to improve and maximize entering
and exit sight distance.
. At the US HWY 101 and Black Point Road intersection, provide a southbound left-turn lane as
part of project development in all scenarios except the no action alternative. With the
Statesman proposal, the expansion of the existing T-intersection would also provide for a
median refuge area for left turns from Black Point Road onto US HWY 101.
. Provide a northbound rightturn pocket or taper at US HWY 101 at the Black Point Road
intersection under the Statesman proposal.
. Residents of the Maritime Village shall be given access to the golf course resort without
traveling US HWY 101. A detailed traffic design to accommodate traffic on US HWY 101
returning to the resort must be developed, with further traffic analysis and design approval by
WDOT and Jefferson County.
o Reconstruct the Black Point Road approach to US HWY 101 with adjacent left turning lanes, a
widened approach onto US HWY 101, and an "entry treatment" on Black Point Road at US
HWY 101. The proposed site access concept would also include a consolidated intersection
onto Black Point Road with a realignment of the WDFW boat launch at Pleasant Harbor.
Pleasant Harbor Marina and Golf Resort
FINAL EIS - (Site Specific Amendment MLA 06-87)
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PROBABLE SIGNIFICANT ADVERSE IMPACT REVIEW OF THE PROPOSAL CHAPTER 3
. Provide all access roads and internal roads available for public use to County road standards.
Private drives may be to a lesser standard approved by the Pubic Works Department and
emergency service providers during the preliminary plat phase if desired by the applicant.
o Provide an internal pathway and circulation system within the site that would not impact County
or State highways, would provide for pedestrian and bicycle circulation between the two main
development districts, and would allow US HWY 101 bicycle traffic bypass through the resort
(i.e, Black Point properties and Maritime Village).
ln addition, the preliminary plat approval for the golf course portion of the resort should evaluate trip
management plans as an alternative to simple roadway expansion. Such plans may include:
. Provide a van or small shuttle bus for guests and tenants to utilize on an as-needed basis for
use in group trip making, coordinated events, airport shuttle, and other miscellaneous traffic. All
such services shall be coordinated with Jefferson Transit to schedule expanded service as
necessary to the resort as well as consider joint opportunities to provide layover or transit
service and facilities within the site.
3.4.5 Transportation: Responses to DEIS Comments
Responding to comments by Jefferson Transit (228), Jefferson County Public Health (284), Germaine
(129); Beattie (733), Mitchell (212), Peterson (260), Moore-Lewis (305), Lopez (272), Hendricks (270).
Transportation: Additional public transportation links would be required as noted by Jefferson Transit.
Transit-related issues are part of the project-level review for each phase and would be addressed
based on projecrspecific proposals.
The emergency access is for the resort and does not affect other homes in the area served by public
roads outside the resort.
lncreased boat traffic: The commentator is correct that the resort provides a magnet for marina use.
Early on there was discussion of increasing the size of the slips. At the present time, however, there is
no plan to make any changes to the size or configuration of the slips in the marina. Existing facilities
would be upgraded to repair obsolete or contaminated floats and walkways (Tunicate eradication
program). A marina operations plan is required to identify responsibility for mitigation programs,
including enforcement of no discharge rules, boater education. and the harbor monitoring and adaptive
management program all provide a basis for ongoing monitoring and adjustment to address issues that
may arise.
Van or shuttle service could certainly serve local residents as well as the resort. This is a program to
be explored at the project level as such services are identified.
The specifics of the shuttle service have not been addressed at the planning stage, but would be part of
the permit-approval process. The issues identified (JCHD #6) would certainly be part of the
consideration.
There are no present plans for flight, chafter, or helicopter service. At the project level, if facilities are
proposed to facilitate such services, detailed environmental review of the specific proposal would be
required.
Road runoff is a concern to potential pollution. The new impervious surfaces at the resort are governed
by County and state water quality manuals that require capture and treatment. At Pleasant Harbor, one
benefit of the proposal is the capture and treatment of road runoff presently traveling untreated to the
bay.
Details as to truck traffic and construction traffic would be addressed in the phasing plans and the
specific operational plans as the details of a specific proposal are reviewed at the project level. Specific
mitigation can then be addressed to fit conditions at the time the traffic is anticipated. Concerns about
Page 3-54 November 27,2OO7Pleasant Harbor Marina and Golf Resort
FINAL EIS - (Site Specific Amendment MLA 06-87)
PROBABLE SIGNIFICANT ADVERSE IMPACT REVIEW OF THE PROPOSAL CHAPTER 3
increased traffic due to the bridge closure, and the remote nature of the resort relative to supply
sources have been identified and would be issues in any phase of traffic impact assessment.
The limitations of US HWY 101 for bicyclists are noted. The road does not provide adequate
shoulders. The resort provides a refuge and safe transit within and through its facility.
It is reasonable to assume that some traffic from the facility may transit to Clallam County, as well as
Mason and Kitsap Counties. The project-level traffic impact analysis for each phase will address
specific traffic patterns anticipated in the context of the demands from the phase proposed as well as
the overall impacts.
The FEIS acknowledges that there have been fatalities on US HWY 101 and that WSDOT is making
repairs and using speed limits, safety warnings, and other traffic control devices to manage traffic on
USHWY101. Theroadisthesoleaccessinandoutof Brinnon,andtheresortdoesoperatewithinthe
LOS levels established by the State for utilization of the state highway system, including US HWY 101.
Specific turn lane analysis is a function of projecrlevel traffic design and will be taken into account at
that time.
3.5 Public Services (including tax burden, rescue services, and health
services)
The County Scoping Notice addressed three issues for examination under the Public Service section
(1) fire, (2) police, and (3) schools.
3.5.1 Fire Protection and Emergency Medical Services (EMS)
Black Point and Pleasant Harbor are located within Jefferson County Fire Protection District (JCFPD)
#4. which provides both fire protection and EMS. District #4 serves approximately 131 square miles
and operates out of three strategically located fire stations. lt is staffed by 1 full time paid Fire Chief
and 2l volunteer firefighters, including firefighters with emergency medical training (EMT).
3.5.1.1 Equipment and Resources
Station 41 serves as Fire District #4 headquarters and administrative offices and is located on School
House Road in Brinnon proper. All district administration is conducted from this location. This station is
staffed by the Chief Monday through Friday - 9 to 5pm. ln the event of an emergency, the primary
response unit will come from station 41. Volunteer crew members respond from their residences to
their assigned stations. Emergency equipment at this station includes the following:o 5,000 gallon Tanker Trailero 2000 GPM Rescue Pumper. ILS Ambulance (intermediate life support). Type 1 Brush Unito Chief's Car. fvlarine Unit (18 foot boat)
Station 42 is located at the south end of the District adjacent to the Duckabush River at 51 Shorewood
Drive. This station is located just south of the project site. Equipment at this station includes:o i 500 gpm Class A Pumpero ILS Ambulance (intermediate life support)
Station 43 is located at the north end of the district at the base of NIt. Walker on Bee Mill Road.
Equipment housed at this station includes:. 1,000 gallon Pumpero BLS Ambulance (basic first aid)
Pleasant Harbor Marina and Golf Resort
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PROBABLE SIGNIFICANT ADVERSE IMPACT REVIEW OF THE PROPOSAL CHAPTER 3
District#4 also has mutual aid agreementswith surrounding jurisdictions, fire districts, and emergency
health service providers. Mutual aid agreements are in place with the following Fire Districts and
emergency providers:
Fire: East Jefferson Fire & Rescue (JCFPD #1)
Port Ludlow Fire & Rescue (JCFPD #3)
Quilcene Fire Dept. (JCFPD #2)
Discovery Bay Fire Dept. (JCFPD #5)
Mason County Fte #17
EMS: Port Ludlow Fire & Rescue (JCFPD #3)
Mason County Medic One
Olympic Ambulance
Airlift North West
Quilcene Fire Dept. (JCFPD #2)
Discovery Bay Fire Dept. (JCFPD #5)
East Jefferson Fire & Rescue (JCFPD #1)
ln addition, District #4 can draw on resources from fire districts in Clallam County, Kitsap County, and
Mason County through an inter-local agreement and the Olympic Peninsula Mobilization agreement.
3.5.1.2 Demand for Emergency Services
Table 3-10 below summarizes the emergency call volumes received in District #4 by type from 2003
though July 2007. Note that this does not include service calls for such things as patient assists,
investigations, and complaints. Average response time from the Brinnon Fire Station 41 is between two
and three minutes.
Table 3-10 EMS Demand
Fire EMS Transports
2003 B1 144 95
2004 43 149 73
200s 63 151 95
2006 84 188 102*
2007 51 114 60
. Total as of June 2007
Emergency call volumes increase significantly with the summer season. This increase begins in April
and May with the return of people from out of state who have summer homes in the Brinnon/Black Point
area. lt continues with the end of the school year as families in-state take extended vacations on their
local properties, and as more people come to the area to take advantage of the State parks and other
recreation opportunities. lt should be noted that the State park system eliminated parking fees in 2006,
and as a result there has been an immediate increase in the use of local State parks. This will likely
result in a permanent incremental increase in the number of summer season emergency calls.
On average EMS calls account for approximately twothirds of the yearly volume. A majority of these
calls involve people who are 55 years of age and older. The Brinnon/Black Point area has an aging
population, both in the permanent residents and those that own seasonal residences. This trend is
expected to continue as more vacation homes are developed and as people retire to live in the area.
Emergency calls from this age group typically result from such things as someone falling, a reaction to
changes in medication, and heart attacks. lt is expected that these types of calls will increase as more
people in the 55 years and older age bracket are added to the local population.
Pleasant Harbor Marina and Golf Resort
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PROBABLE SIGNIFICANT ADVERSE IMPACT REVIEW OF THE PROPOSAL CHAPTER 3
District #4 crews must bring their own water when responding to a fire anywhere in the district. The
water is transported in the tanker and/or pumper noted above in the list of equipment. Both of these
vehicles are standard size fire vehicles, including the two pumper vehicles used to extinguish fires.
This places two limitations on District #4 crews. First, narrow steep roads can make it extremely
difficult for these vehicles to get to a fire and maneuver once there. Second, since the water must be
transported, there is a limited amount of water on hand to fight a fire. ln the event of a very large fire,
the water supply could quickly run out. ln these situations, District #4 crews would have to be assisted
by adjacent fire districts. An additional limitation is that existing equipment will only allow crews to
mount rescue and fire fighting operations on buildings two stories in height.
NFPA standards callfor 1.5 times building height for a collapse zone and 10-15 foot ladder approach to
all buildings. Final designs shall incorporate fire code requirements with approval of the local fire
authority.
The proposed development utilizes a number of large water containment areas onsite. This water is
Class A treated water used for irrigation (recharging the aquifer), the Firewise program for spray
irrigation of natural areas, and non-potable water for toilet flushing. The ponds are excellent resources
in emergency situations for drafting sites and/or dry hydrants for fire operations.
3.5.1.3 Pleasant Harbor Marina
The existing Pleasant Harbor Marina complex poses a particular challenge for District #4 firefighters.
The marina's piers and slips were constructed in two parts. The newer, northern portion has concrete
piers and a dry stand-pipe, to which fire crews can connect and pump to the existing dock fire main
system. The stand-pipe system needs to be projected throughout all modification and upgrades to the
site and extended to the whole marina as docks are replaced.
ln addition, the existing access road into the marina complex is very narrow, steep, with tight
switchbacks and no turnaround capabilities. There is only one way in and out. As a result, there is no
effective access for the water tankers and pumpers to reach the marina. Fire crews would have to
station these vehicles above the complex and run hoses down slope and between buildings to reach
fires in the marina and lower parts of the property.
The proposed development has greatly improved the access/egress capabilities for emergency
vehicles, including fire hydrant connections with hose access on north and south sides.
3.5.1.4 lmpacts
lncreased Emergency Services and Facilities
Development of the Master Plan will add an additional B0 permanent residential units to the community
and 52 staff apartments. Transient population is estimated to be an additional 1500 people at any
given time to the service demands on District #4. The average age of the permanent and seasonal
occupants is likely to be in the 40s or older, and it is expected there would be a corresponding increase
in the number of EMS calls coming from the proposed resort population.
The building envelope constructed at the resort will be larger than the predominantly single-story
homes and the few smaller two-story structures found in the rest of the District. Simply put, larger
buildings create the potential for larger fires. Without adequate onsite fire flow, a large fire in one of
these buildings could quickly exceed the District's current capabilities. ln addition, the proposed
Condo-tel/conference center building would be three stories from the north exposure, but five stores on
the golf course side.
All buildings will meet lnternational Building Fire Code requirements, as well as state standards where
applicable. Fire service will be appropriate to building type and shall address fire suppression, access,
and fire safety for the project.
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The water system designed for the proposal will be required to establish adequate and sustainable fire
flow as part of its approval. Site planning, emergency vehicle access, roadway design, and hydrant
locations will follow applicable fire access standards and District #4 local fire authority needs
assessment.
An emergency service memorandum of understanding shall be entered into with the service provides
and address specifically how EMS services shall be provided to the resort facilities.
To address the emergency access issues at the existing marina complex, the redevelopment of the
Maritime Village will include a new road to this part of the proposal (see site plan at Figure 3-17). The
entry would be at Black Point Road and run one way northeast parallel to US HWY 10i and on the
upland side of the proposed buildings, exiting onto US HWY 101 immediately north of the Maritime
Village (see Figure 3-1 7). This would eliminate the existing narrow road and allow emergency vehicles
direct access to each of the proposed buildings. The site will also be designed to allow fire crews
access between buildings. Since the water system will extend to this part of the proposal, fire hydrants
will be installed at the marina consistent with local fire authority approval. For the golf course portion of
the site a secondary emergency access point is proposed for emergency vehicles only, and the closed
ends of all cul de sacs will be connected or linked with proposed pathways of 10 foot width and
controlled knock out ballards to permit fire access to all buildings from two directions.
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AI,E R4d (2_!nEy)
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nlr R6d (1.n6y)
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Figure 3-17 Private lnternal Road Network
lncreased Equipment and Facilities
The winter or permanent population is projected to increase 200 to 300 people as a part of the resort
development, which would translate into a few additional calls, but is well within the capacity of the
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existing facilities and services and anticipated area growth. During the summer, the resort population of
between 1500 and 2000 people will strain existing personnel and services and equipment for which
specific mitigation will have to be provided.
A condition of any final plat approval for the resort facilities will be a memorandum of agreement with
Fire District #4 to assure adequate funding facilities and personnel to address the increased need
created by the resort. The memorandum shall take into consideration the increased tax revenue to the
system provided by the resort and the means of providing an agreed upon incremental personnel
facilities or equipment not covered by the increased revenue.
3.5.1.5 Fire Protection and Emergency Service Mitigations
Any preliminary plat for the development of a portion of the resort shall require the following:
. Ensure the onsite water system will provide for adequate sustainable fire flow.
. All resort buildings to include internal sprinkler systems with FDC connections.
o lncorporate Firewise site design standards in the layout of the proposed resort, as appropriate
and approved by the local fire authority.
o All subsurface parking will have to provide fire systems, including air handling, water, and
emergency access and egress.
. lnstall hydrants, two portable fire pumps with hoses and related fire suppression equipment at
the marina and maintenance area as approved by the local fire authority.
. Develop an "emergency action plan" with the Fire District in conjunction with predevelopment,
development, and operation to assure clear lines of responsibility and response in the event of
any incident requiring emergency response.
. Any development of the existing marina complex as part of an MPR shall include improving
emergency vehicle access to this portion of the resort.
o Through a memorandum of agreement with District #4, provide the equipment necessary to
mount rescue and fire fighting operations on any structure over 18 feet from ground level,
including but not limited to the Condo-tel/Conference Center Building.
o Enter into an "action plan" with the local fire authority at District #4 to assure coordinated control
of additional services necessary to achieve an adequate level of service to the resort.
o Provide a back-up electrical power supply to the resort to ensure continued operation of
emergency systems and water supply during any outage.
. Comply with the provisions of a memorandum of agreement with local service providers to
address service equipment and personnel needs created by the resort, taking into consideration
increased tax revenues from the resort activity.
o Enter into a memorandum of understanding with the local fire authority to address the following
issues:
o "Firewise" design standards
o "Emergency action plan" for predevelopment and operational service for each phase of
development
. Provide necessary facilities to mount rescue and fire fighting operations in all phases of the
resort
. "Action plan" for coordinated control and additional services
3.5.2 Police Protection
Police protection is provided by the Jefferson County Sheriffs Office, which serves all of the
unincorporated areas of the county. The Sheriff's Office is located at the Justice Center in Port Hadlock
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PROBABLE SIGNIFICANT ADVERSE IMPACT REVIEW OF THE PROPOSAL CHAPTER 3
and also maintains an office at the Courthouse in Port Townsend, a substation in Clearwater, and an
annex in Quilcene. Personnel include 47 full-time positions, 12 reserve deputies, and 20 volunteers.
LOS standards for police facilities in the County Brinnon Subarea Plan [/PR Alternative, indicates that
staffing and facilities are adequate to serve the increase in population under all three Alternatives.
Deputies are dispatched to the Brinnon/Black Point area from the Justice Center in Port Hadlock or
from the annex in Quilcene on days that it is staffed. The Brinnon/Black Point area is in the Sheriff's
patrol district 55. ln 2005 the Sheriff's Office reports responding to 403 calls in the district, accounting
for 6"/o of all calls in unincorporated Jefferson County. lt appears that the majority of calls involved
traffic violations, DUI arrests, and burglaries.
The Sheriff's Office also maintains a Marine Division that is currently staffed by one full-time sergeant
and one patrol deputy, and can also call on three reserve deputies. Through a contract with
Washington State Parks and the United States Coast Guard, the program receives annual funding,
which covers the costs of manpower, training, equipment, and other expenses. The Marine Unit utilizes
one 24' patrol boat, which is fitted with equipment and electronics required for inter-agency coordination
with multiple types of emergencies, and provides a platform for the Sheriff's dive rescue/recovery team.
The proposed resort development will maintain onsite security staff.
3.5.2.1 Emergency Services lmpacts
The population projections for emergency services apply equally well to the need for additional police
services. The resort is located at the southern end of the County and coordination to address the need
for additional services will be important. Provision of police response to the community is a function of
the County Commissioners and the County Sheriff and is most commonly a budget issue. ln
recognition of the increased property tax, sales tax. and other revenues from the resort, and the
resulting economic benefit to the community planned by the County in attracting and providing for a
resort in this area, the County needs to address the application of those revenues to provide additional
services to the area. The resort has made available an office at the Maritime Village for a Sheriff staff
member as determined necessary.
The applicant has proposed a development agreement with the County and the State of Washington to
assure some of the funds created by the resort will be retained in the Brinnon area to provide police
and other services.
3.5.2.2 Mitigation
Project Level: Permit approval for both the marina and the golf resort shall address security-related
issues, and shall include specific mitigation which may include:
. Controlled access at the entry and exit points of the resort and docks.
o Onsite security and surveillance systems for the protection of resort guests, residents, and
property coordinated with local service providers to assure appropriate communication and
control systems are in place.
Community level: Explore the use of a development agreement or other assurance to provide a
mechanism for the County to provide some public safety funding to the Brinnon area from the revenues
received from the resort to assure that the funds will not be diverted to the more populous north county.
3.5.3 Health Services
The Brinnon/Black Point area does not currently have a medical facility in the local community. The
area is served by Jefferson General Hospital in Port Townsend and Mason General Hospital in Shelton.
A medicalclinic has been established north in Quilcene, supported by Jefferson General Hospital. This
clinic may be expanded to include counseling for mental health, substance abuse, and other related
services.
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The proposal includes 500t square feet of clinic space in the development of the Maritime Village for a
certified nurse and/or a general practitioner. Selected staff will also be provided with basic emergency
medical training.
3.5.3.1 Mitigation
Projecrspecific mitigation shall be addressed in the public services memorandum of understanding
(MOU), which shall address reasonable site needs and the means of providing and paying for services.
The MOU shall be in place prior to issuance of building permits for development of resort facilities.
3.5.4 Schools
The Brinnon/Black Point area is located within the Brinnon School District #46 and serves grades K
through B. Students of high school age have choices of schools in adjacent districts. The Brinnon
School has four regular classrooms, two portable classrooms, and a computer room, along with a
library, gym, and administrative offices.
ln 2000 the school district had a total enrollment of 74 students. This declined to a low of between 30
and 40 students in 2005, but rose to 56 during the 2005-2006 school-year. School enrollment for 2006-
2007 was 49, and the expected enrollment for the 2OO7-2OOB schoolyear is 45.
Seasonal recreational homes are not expected to add students to the school district, so no impacts are
expected from that component of the resort population. Since the proposed apartments are intended
for both resort staff and Brinnon residents, it is expected that some of these units would be occupied by
families with school age children.
The Capital Facilities Element of the County BSAP MPR Alternative has established an LOS standard
for the Brinnon School of 23 students per classroom. With four regular classrooms and two portable
classrooms, the school can accommodate up to 138 students based on the established LOS. For the
last six years the school has had excess capacity and the coming school year will only reach 48% of its
capacity.
The resort development phase is not anticipated to provide any additional school age children since the
construction crew camp is temporary quarters and most families will attend school in their home
districts. As the permanent population increases (both staff and permanent residents), some increase
in school age population is anticipated, though minor. Staff increases significantly for the summer and
this staff tends to be single or families without children. The longer term resort families tend to be over
55 and thus have limited children of school age, particularly K-8. There is also significant turn-over in
Staff positions. As a result, for planning purposes this EIS estimates a potential school age increase of
5-10 students in any given year for the Brinnon schools, and the high school age increase may only be
one or two students in any year. Specific mitigation agreements with the School will be addressed as
part of the preliminary plat process for the golf course.
3.5.5 Economy, Housing and Employment
3.5.5.1 Economy
ln the last several decades the traditional resource-based industries have declined to the point that the
south county area has seen some of the highest unemployment rates and lowest average incomes in
Jefferson County. The area is in a rich natural setting close to State and National Parks and has
numerous recreation opportunities such as hiking, sailing, and bird watching. lt is estimated that over
500,000 people visit the Olympic Peninsula each year, but there are few tourist accommodations in the
south county to attract this market. County policies and development code support the growth of a
viable tourist industry by allowing limited development of small-scale tourist facilities, designating areas
as Rural Village Centers, such as Brinnon, and for the development of an urban-scale resort through
the MPR on Black Point.
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The intent of the MPR designation at Black Point is for the creation of a destination resort that would act
as a catalyst for the local economy by providing visitors a package of amenities developed in a
contained setting to ensure compatibility with the surrounding rural setting. z
PROBAELE SIGNIFICANT ADVERSE IMPACT REVIEW OF THE PROPOSAL CHAPTER 3
3.5.5.1.1 Construction Period
The resort is expected to provide more than $300,000,000 in local construction and development costs
to build the necessary facilities. Neither the Brinnon subarea nor Jefferson County as a whole has the
resources or expertise to provide the construction materials and services to build on this scale. Thus,
much of the material purchased on a wholesale basis will be obtained elsewhere and delivered to the
site. But the County will benefit from the payroll of the project from the construction crews housed in
the area and local subcontractors and laborers will certainly play a major role in the overall
development program. Payrollfor 100 employees during construction is estimated to run approximately
$6 million per year onsite during construction and $2 million per year (2007 dollars) thereafter during
operations. Much of that money can be expected to be spent in the Jefferson, Kitsap, and Mason
County area. Some of the local markets may seek to expand to meet the increased demands, and
additional services and supplies may be purchased in Port Townsend, Shelton, or the Kitsap cities,
which are the nearest metropolitan areas.
3.5.5.1 .2 Operational Period
Property Taxes
Property taxes provide a consistent and significant revenue stream to the local governments. The
resort is expected to carry an assessed value in excess of approximately 5300,000,000, which would
generate annual propefty taxes of approximately $3 million per year to the community, which is divided
among the districts on the following basis:
County (including roads) 25.7%
Local schools 22.7o/o
State levy 25.3%
Special Districts (including Fire District #4) 26.30/o
Sales Taxes
The construction costs of the project are expected to generate nearly $20,000,000 in sales tax revenue,
of which approximately 25o/o goes to Jefferson County.
While it is difficult at the conceptual stage to quantify the additional revenue impacts, the staff salaries,
and the local expenditure of funds by tourists (projected to be between $80 and $100 per day per
family) also provide ongoing additional support for services and utility services once the resort is
operational.
The ongoing revenue stream from the project from property, sales, and specialty taxes (including a
hotel/motel tax on tourist facilities (presently 2%o) provide a revenue stream by which general and
special public services are provided. These funds must be taken into account during the permitting
approval process when addressing the need for additional mitigation impact fees or revenues.
2 Socioeconomic impacts are not required to be addressed in environmental documents, but may be pursuant to
WAC '197-11-448(2)(4). The materials are included because the County Comprehensive Plan and BSAP address
the master planned resort as an employmenUeconom ic development proqram for south Jefferson County
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lnput to the Economy
Economic forecasts at the conceptual stage are necessarily estimates. But materials from both
Washington state and the U.S. National Park Service provide estimates or guidelines of economic
activity fiom the proposed development.3
Occuoancv Assumotions :
85% occupancy for PRIME Season [757 units]
50% occupancy for lr/lD Season [445 units]
30% occupancy for LOW Season [267 units]
PRIME Season = 92 days (lvlid June to Mid September)
MID Season = 92 days (May to Mid June & Mid September to end October)
LOW Season = 181 days (November - end April)
Total spending estimated at $560 per day per unit spent in the area; including the $295/day
accommodation fee. Thus: $265 for expenses other than accommodation.
Accommodations
$295 per unit per day at 890 residential units (2.2 people per unit)
PRIME Season
757 units x $295 = $223,315 per/day x 92 prime season days = $20,544,980 per/annum
MID Season
445 units x $295 = $i31 ,275 perlday x 92 mid season days = $12,077,300 per/annum
LOW Season
267 units x $295 = $78,765 p/d x 181 low days = $14,256,465 per/annum
Total Accommodation Per Annum: $46,B78,745
Food/Meals
$150 per unit per day at 890 residential units (2.2 people per unit)
LOW Season = 181 days (November - end April)
PRIME Season - Food
757 units x $150 = $1 13,550 per day x 92 days = $10,446,600 per annum
MID Season - Food
445 units x $150 = $66,750 per day x 92 days = $6,141,000 per annum
LOW Season - Food
267 units x $150 = $40,050 per day x 1B'l days = $7,249,050 per annum
Total Food/Meals Per Annum: $23,836,650
Alcohol
PRIME Season - Alcohol
757 units x $15 = $11,355 per day x 92 days = $1,044,660 per annum
MID Season - Alcohol
445 units x $15 = $6,675 per day x 92 days = $614,100 per annum
3 Economic lmpacts suggested below are based on the National Park Service Money Generation Model.
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LOW Season - Food
267 units x $15 = $4,005 per day x 181 days = $724,905 per annum
Total Alcohol Per Annum: $2,383,665
Transoortation
PRIME Season - Transoortation
757 units x $35 = $26,495 per day x 92 days = $2,437,540 per annum
MID Season - Transportation
445 units x $35 = $15,575 per day x 92 days = $1,432,900 per annum
LOW Season - Transportation
267 units x $35 = $9,345 per day x 181 days = $1,691,445 per annum
Total Transportation Per Annum: $5,561,885
RetailTrade
PRltvlE Season - Retail
757 units x $65 = $49,205 per day x 92 days = $ 4,526,860 per annum
MID Season - Retail
445 units x $65 = $28,925 per day x 92 days = $2,661,100 per annum
LOW Season - Retail
267 units x $65 = $17,355 per day x 181 days = $3,141,255 per annum
Total Retaal Trade Per Annum: $10,329,215
Wholesale Trade
PRIME Season - Wholesale
757 units x $32 = $24,224 per day x 92 days = $2,228,608 per annum
MID Season - Wholesale
445 units x $32 = $14,24O per day x 92 days = $1,310,080 per annum
LOW Season - Wholesale
267 unitsx $32 = $8,544 perdayx 181 days = $1,546,464 perannum
Total Wholesale Trade Per Annum: $5,085,152
While any specific operation may vary from the estimates, an operating resort in the area is a significant
source of economic activity that will necessarily involve the local community and county.
Employment
During construction it is estimated that approximately B0 to 125 people will be employed onsite
periodically at any one time through the five-year construction period. lt is expected that much of this
basic work force can be found within the County, though certain specialized skills may require workers
from outside the immediate region. The Company proposes to upgrade the existing RV facilities on a
temporary basis (presently approved for 60 units) to provide temporary housing for construction
workers. The number of additional workers needed in the more skilled trades is difficult to estimate and
would likely come from the surrounding area and region.
Statesman estimates that upon completion, the resort would create 40 permanent new jobs. The
number of seasonal employees is estimated to be 50. Therefore, during peak season there will be an
estimated 90 employees. The staff housing (52, 2-bedroom apartments) will provide onsite residences
for the project. Currently 310 people are in the local workforce. The jobs created by the proposal
would represent a 3oo/o direct increase in local employment. lt is anticipated that seasonal employees
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would typically be students with the advantage to local students who can work the shoulder seasons
but students from all over the country who may wish to spend a summer working in the Pacific
Northwest. Full-time employees are expected to be younger people attracted to the prospect of
growing with a new business. Statesman has indicated there would be opportunity for advancement
and career growth for motivated individuals.
Given the potential amount of direct expenditures in the local area, it is anticipated other employment
opportunities would be created. With a predictable seasonal population and new attractive amenities
on Black Point, new businesses are expected to form or locate in the immediate area. These could
include such things as B&Bs, convenience gas and grocery, tour and guide services, small galleries
and other art and craft facilities, restaurants and cafes, and a variety of other tourist-oriented
commercial uses.
Brinnon
Brinnon proper has been designated a Rural Village Center (RVC) by the Jefferson County
Comprehensive Plan. The purpose of the designation is to acknowledge the concentration of
commercial and public uses, and logical boundaries were identified to allow for the infill of commercial
and higher density residential uses to meet future economic and affordable housing goals.
The UDC allows a variety of retail, commercial, and residential uses within the RVC designation. Bulk
and scale are controlled by limiting the footprint of individual buildings to 20,000 square feet or less, a
maximum height of thirty-five feet (i.e. three stories), and no more than 60% onsite impervious
surfaces. There are approximately 19 acres vacant within the 66-acre RVC designation. Development
is limited by flood plain and other limitations, but Brinnon does have land within the RVC which would
expect additional development. Water supply and septic limitations are the significant limiting features
in the area and County health department and State requirements for adequate water supply will limit
overall total development. That said, Brinnon does have room for increased retail, business and mixed
use development which could reasonably flow from the proximity to a major resort.
The Rural Village Center provides the locale for additional commercial and service businesses to
locate, consistent with the size and scale of a rural village, to accommodate increased demand for
supplies and services by the traveling public. ln addition, some recreation and service-related
businesses are expected to benefit from the location of the Master Planned Resort as a result of its
location in the Brinnon Subarea. None of the expected facilities would necessitate any expansion of
the existing Brinnon Subarea, but rather simply reuse or add onto existing facilities.
3.5.6 Affordable Housing
The BSAP area of Jefferson County has a mixture of affordable, moderate income, and estate-type
housing and properties. Of the developed residential properties, nearly half are seasonal or vacation
residences and are typically not part of the rental market. Approximately B0% of the remaining are
owner occupied, leaving little in the way of rental housing stock. ln addition, land use regulations
establish minimum lot sizes of 5, 10, and 20 acres. Large lots reduce affordability and current
regulations in most cases do not allow for higher density developments in rural areas. Higher densities
make individual units more affordable. While the RVC designation would allow for limited higher
residential densities, this area of Brinnon is located within a mapped floodplain, limiting the size and
use of septic systems and drain fields to support denser housing.
The rental housing market is particularly limited, outside the occasional vacation rental of homes on
Hood Canal. Since most of the construction crews are expected to live out of the area, Statesman
proposes to use the existing 60-unit RV facility onsite for construction housing. This facility would be
temporary and must be in place prior to commencement of construction of the infrastructure for the
project.
The creation of new permanent and seasonaljobs will impose an added demand for affordable housing
locally. To offset this demand, Statesman proposes building 52 units of new multiple-family apartments
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on site. Much of the staff support for the resort is seasonal or part time. Providing affordable units as
part of the proposal addresses both the increased demand represented by the proposal and provides
the infrastructure to support the higher densities necessary to address affordability.
3.5.7 Rural Character and Aesthetics
3.5.7.1 Rural Character
ln accordance with the provisions of the GMA, the Jefferson County Comprehensive Plan Goal LNG
18.0 states t}:,al "Rural character is defined by local rural lifestyle, opportunity to live and work in rural
areas, local rural visual landscapes, resource productivity, environmental quality, and significant areas
of open space." Subsequent policies make it clear that significant amounts of open space and
continued environmental quality are key components of preserving local rural character. Rural
character is also to be preserved by not allowing the conversion of rural lands into suburban or urban
densities or into uses inappropriate for a rural setting. The rural setting also includes development for
tourist and recreational facilities and the allowance of planned resorts, urban uses in otherwise rural
settings. The Brinnon Subarea Plan confirmed that the Black Point Pleasant Harbor is an area of
significant amenity and could accommodate a planned resort as part of the overall rural area
development.
A key element of any allowed urban use in rural areas such as master planned resorts is that the resort
and its facilities not allow the extension of urban or non rural uses outside the resort area. As such
local guidelines require: "All necessary supportive and accessory on-site urban-level commercial and
other services should be contained within the boundaries of the MPR, and such services shall be
oriented to serve the MPR " (JCC 18.15.126(5)).
The section must be read in the context of the Brinnon Subarea Plan and Comprehensive Plan, which
suggest facilities available in the RVC of Brinnon. School facilities are in Brinnon, as are fire and
emergency services. These facilities would serve the resort. The emergency services facilities may
add "urban level" equipment to enable them to address the more complex challenges presented by a
large resort facility The urban sewer and water facilities in the resort may not, however, be used outside
of the resort area, except to serve identified emergency health needs. They may not be used to serve
any development in excess of allowed rural uses or densities.
Zoning around the proposal is residential in the form of 5-, 10-, and 20-acre minimum lot sizes for future
subdivision. With few exceptions, allowed uses in these residential zones are housing and those
activities that can be conducted within a residential lot, such as home occupations or those rural scale
activities serving the local or tourist population.
Here, rural character is retained by scaling the size of the residential structures consistent with local
construction (less than 35 feet in height); clustering the more intense development internal to the
project site and at the marina where dense activity already occurs and a suburban shoreline
designation suggests higher levels of anticipated activity on the shoreline; locating the hotel and
Maritime Village topographically so the buildings are set into the hill and do not project above the
average tree height; retaining the buffer on the shoreline; locating the bulk of the housing away from
local roads and out of site from US HWY 101 except the node at Black Point Road; retaining a tree
buffer along US HWY 101 adjacent to the marina; and devoting more than half of the site to open space
(including the golf course), wetlands, buffers and natural areas all reduce the visual impact of the resort
on the surrounding community and help retain the overall rural character of southern Jefferson County.
3.5.7.2 Densities
While the existing rural residential zoning is low density with large lots, there are pockets of residential
development on and near Black Point that are more suburban in nature due to platting prior to current
regulations. As a result, there is a mix of residential densities in the immediate area of the proposal.
Hood Canal residential development, both north and south of the project site, has residential densities
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that average 3.5 units per acre. At the northeast of Black Point around Rhododendron Lane, density is
approximately 4 units per acre. Adjacent to the southwest portion of the golf course there is a small
subdivision with a 7-unit per acre density.
Overall gross density for the proposal of 890 units on 256 acres is approximately 3.5 units per acre.
The densities contemplated for the majority of the proposal are less but not dissimilar to some of the
existing densities found in the immediate area. The primary difference is that the vacation residences
proposed for the resort are clustered into a number of townhouses or attached structures, rather than
single homes on individual lots. The scale of construction is similar to the residential scale locally,
however, as the residential structures are one and two story and adhere to the overall 35 foot height
limits when viewed from outside of the project. Measured from the North Elevation, most units have
parking under the building to reduce impervious surfaces and will have a total height not greater than
35 feet to the eave line (as will the terraced lofts that includes the major conference center, but by
blending these facilities into the topography, the overall look to the north exposure is of a series of low
buildings surrounded by large areas of open space).
The combination of bluffs and protected native vegetation area along the southern shoreline means the
site will have little, if any, visibility from US HWY 101 or the water along Hood Canal.
The typical single-family home in the area has between35% and 50% impervious surface to totalarea.
By contrast, the clustered development of this project, with the protection of the wetlands and riparian
buffers, and the dedication of a significant portion of the site to open space means the overall
impervious surface coverage for the site is anticipated to be 2O%o or less.
3.5.8 Aesthetics
Aesthetics refers to the visual components of rural character: rural landscape and open space. The
local rural landscape has a predominance of natural open spaces over the built environment. To be
compatible with its surroundings, design and layout of an MPR needs to be done in a manner that
minimizes the visibility of structures when viewed from outside of the site. The RV campground is
marginally visible from the south as one travels north on US HWY 101 and from portions of the
subdivisions at the mouth of the Duckabush River, and is the largest part of either of the MPR
alternatives. This portion of a proposed MPR has the greatest potential for visual impact to the rural
landscape.
MPR buildings on those properties adjacent to US HWY 101 would not be readily visible from the
highway. Resort buildings should be constructed of natural materials and have architectural features
such as pitched roofs and modulated facades for greater compatibility with the rural setting.
There is also the potential for light and glare to interfere with the character and enjoyment of the night
sky, and impact adjacent properties. Lighting in any MPR alternative will be required for both safety
and security. Required lighting should be the minimum necessary and shielded to eliminate glare onto
adjacent properties both on and off site. Lights should be kept lower to the ground where possible and
use low wattage lamps to reduce impacts to the night sky.
3.5.9 Potential lmpacts and Mitigation Summary
The unavoidable impact of the proposal is that it would add complexity and intensity to the Black Point
area, including visual elements, densities, and land uses. The area has historically had resort-type use
on a different scale, which failed. The policy intent of the Jefferson County and Brinnon Subarea plans
is to site a resort in this location to stimulate the local economy, while being sensitive to local
environmental conditions and sensibilities.
The construction camp facility to accommodate construction crews in an RV camp using the Bed and
Breakfast and Kaufman Home, will minimize the construction period impact on the local population and
housing.
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Once completed, the proposal will directly add many new permanent jobs and should indirectly
stimulate additional employment. The proposal also includes 52 new units of affordable housing, which
should make it possible for others to live and work in the immediate area. The onsite visual landscape
will change, but a significant amount of the proposal will be in some form of open space. The golf
course itself is open space and the areas between the fairways will be preserved, planted, and
maintained with native trees and understory. Forested open spaces are dedicated along the bluff of
Black Point. Wetland areas are also preserved and enhanced as necessary.
The dedicated open space along the bluff, along with the stands of native trees and understory
between fairways, will reduce the visibility of structures in Black Point when viewed from the south.
Buildings in Pleasant Harborwill not be readilyvisible from US HWY 101. While multi-level stories in
height, the buildings are located on sites that slope down towards Pleasant Harbor. Their bulk and
scale will be reduced when viewed from the highway since they are set back not less than 100 feet
from the highway with natural trees shielding view lines. Buildings are visible from a south exposure of
Pleasant Harbor,
The key to the provision quoted is that the Master Planned Resort not lead to suburban or urban level
development in the surrounding area and that result is achieved through several techniques:
o The retention of rural area zoning on the lands outside of the Master Planned Resort.
. The additional public services shall serve the urban levels of intensity within the Master Plan
area, the RVC level services in the RVC area, and the rural development in the surrounding
area, and allow extension of urban level sewer utilities only in the event of a health hazard. The
purpose of the regulatory restriction is to prevent a fundamental change in the overall
development patterns planned for the area. lncreasing the quality or quantity of services in
such area as a result of the development is one of the economic benefits.
o A water facility may serve both urban and rural uses as a water system is preferable to
individual exempt wells. The water system shall not be used to serve uses in the rural area in
excess of that allowed by County codes for rural area development.
o The number of proposed residential units shall be no greater than 890 units, including both the
resort residences and staff/affordable housing.
o The proposal shall maintain natural open spaces along the shoreline bluffs along site
perimeters as is practical with golf course layout, between fairways, and the upper portion of
the development.
o The proposal shall ensure retention of selected stands of significant trees along the bluff of the
golf course to reduce the visibility of the site from the south.
o The proposal shall provide landscaping between US HWY 10'1 and the new access road
proposed on the upland side of the Maritime Village.
o With the exception of the Condotel/conference center, with terrace lofts and the Maritime
Village, all structures shall be kept to a maximum of two stories in height from higher grade
elevations.
o The overall project approval shall address light and glare to reduce the projection of evening
lights off the golf course and marina properties. (Reduction does not mean lights cannot be
seen, but that through shielding and proper placement and orientation, the offsite impacts are
minimized.)
o The proposal shall provide construction period housing and housing specifically dedicated to
staff and local service personnel to reduce the impact on local housing.
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3.5.10 Public Services: Responses to DEIS Comments
Responding to concerns raised by Jefferson County Public Health (284), WDOE (287, 387, 375 and
376), Stephens (127), Thompson (736), Dimino (193), Mitchell (272); Beattie (310).
The resort is located in a rural area and medical services are limited as indicated. The proposal
contemplates some form of onsite facilities. but the precise nature and how such facilities would be
incorporated into the local service network is an issue addressed at the project level and phasing plans.
The public service Memorandums of Understanding would address the issues raised at the project-
approval level.
Comment from WDOE noted-Recycling is to be a big part of "green development" for the project site
and given the location and potential waste issues, ways to manage and reduce waste loads will be an
appropriate part of project-level review.
The project is required to work with the schools on identified issues. The FEIS requires an MOU with
affected agencies to be addressed at the time of project approval to assure adequate facilities are
provided concurrently with demands, and to address specific needs created by the resort phase.
The projected growth of other recreation facilities in the area is a testament and response to the
significant increased demand for public access to public facilities. lncreased traffic on trails, beaches,
and other public lands is projected by all resource and recreational agencies. Responsible public
agencies have and are updating management plans in place to address the additional use. The resort
is required to provide educational materials regarding proper use of public facilities.
The resort power needs will be addressed at the project level, by phase. Preliminary estimates identify
adequate capacity for service to the area to meet the needs of the project.
3.6 Shorelines
The County's scoping notice identified four concerns directly affecting shorelines: (1) stormwater, (2)
shellfish, (3) surface water, and (4) public access.
3.6.1. Shoreline Designation
All of the salt water shorelines of the Master Plan area are shorelines of the state and shorelines of
statewide significance under the Washington State Shoreline Management Act, and the Shoreline
Master Program for Jefferson County.
The Brinnon area shorelines are "suburban" for Pleasant Harbor and "conservancy" for the southern
bluff shoreline along Hood Canal.
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ffisuuruan
Ifry'l urtrn
fFll{atunl & Gootrvaoc*l5,Jtrt d+ilrlEr r elridrr r,r
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Figure 3-1 8 Shoreline designations
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3.6.2 Shoreline Guidelines
The lvlaritime Village area is located within the basin and shoreline jurisdiction of Pleasant Harbor. The
Harbor is designated "suburban" which is a shoreline zone that contemplates a relatively intense level
of shoreline development to promote use and enjoyment of the shoreline. Historic development and
expansion of the marina and the boat launch, as well as the intensity of residential development on the
Black Point arca arc reflective of the development contemplated by this zone. The Maritime Village
improvements described in the project proposal are reflective of that intensity.
A shoreline substantial development permit will be required for all development within the Maritime
Village, including both marina-related commercial and limited resort housing in the waterside area.
The golf course is set back more than 200 feet from the south shore conservancy shoreline of Hood
Canal, which is a significant shellfishery area. ln the master plan this shoreline is dedicated to open
space and no structures or golf facilities are to be constructed in the shoreline area. Site-specific
wetland mitigation plans may provide for water features and wetland mitigation areas at or in the outer
100 feet of the shoreline area to enable the creation of a wetland forested edge mitigation wetland
should such designs prove warranted and feasible during permit review. Any site-specific issues of
such a feature would be reviewed under the project-specific environmental review for the shoreline
permit required and a specific construction/operation mitigation plan shall be approved prior to
construction. The dock replacement program is also subject to project-specific review.
The present degraded road/trail access to the conservancy shoreline is cut off in the MPR for safety
and environmental reasons and a shoreline permit would be required for all such construction to assure
safety in the area. Public access to the shorelines in the resort is limited to the marina area's
"suburban" shore where the more intense use is anticipated and public facilities to safely accommodate
that access are provided.
3.6.3 Stormwater
Stormwater as an environmental issue has been addressed in detail elsewhere in the report. See
Shellfish/water quality section supra aL Section 3.2.
The golf course area is designed to retain the shoreline jurisdictional area (ordinary high water plus 200
feet) in a natural condition. No project stormwater is to be discharged into Hood Canal. The existing
stormwater facilities along the highway are inadequate by today's standards and require upgrading to
protect water quality in Pleasant Harbor and Hood Canal. All development within the shoreline area of
the harbor is required to be captured and treated prior to discharge into the harbor. As a result, with
modern stormwater management and treatment mechanisms, the net discharge to the harbor is
cleaner, with less turbidity, solids and potential pollutants (road runoff) than currently exists.
3.6.4 Shellfish
As noted in the water quality section on shellfish, shellfish harvesting in the harbor is prohibited. The
significant shellfish beds are in the Hood Canal locale, both north and south of the project.
To protect fish and shellfish resources, the Master Plan application has pulled all development back
from the southern shoreline (including closing the current dangerous trail access) to retain the natural
condition and minimal use of the southern shoreline. This closure to direct public access reduces the
potential for harm to the significant shellfish beds located to the south. ln addition, all stormwater on
the golf course is collected, treated, and discharged on site with no direct offsite discharge of any water
from impervious or golf course surfaces. ln addition, a 200 foot riparian buffer of trees and native
vegetation is retained along the shoreline edge to retain the natural condition to the extent possible and
provide native plant treatment for stormwater falling outside the developed area. The purpose is to
retain the natural filtration component of the riparian edge to retain the natural condition for stormwater
runoff from the undeveloped areas.
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As noted in the section on Shellfish generally (Section 3.2), the Pleasant Harbor area has been closed
to shellfish harvesting due to the concentration of single-family homes and onsite disposal systems, as
well as the two marinas. No shellfish harvesting in the harbor is affected by the development of the golf
course area or Maritime Village. All stormwater from developed areas is collected and treated prior to
discharge in accordance with adopted stormwater guidelines for the region. The Master Planned
Resort will significantly upgrade current systems and project a better water quality situation than
presently exists.
3.6.5 Surface Water
The surface water on the site includes three small wetlands on the golf course area and five small (non
fish-bearing streams) on the marrna side. As discussed in detail in the section on critical areas (Section
3.10), the centralwetland is to be filled to become part of the water and irrigation management system,
with onsite mitigation provided as required by County critical area requirements. The other wetlands
are protected from potential impact by retaining the hydrology supporting the wetland, but capturing and
treating all stormwater and irrigation water in approved systems in advance of discharge to the
wetlands. Class A recycled water is available to assure adequate hydraulic flows are maintained to
protect wetland functions and values.
The streams carry both stormwater from the state highway and intermittent freshets in the wet season.
As with the wetlands retained on the golf course area, the streams will be left in their native condition,
buffered, and all stormwater will be captured and treated for both solids (turbidity) and water quality
prior to discharge. As result, the flows will be maintained and water quality improved as a result of the
project.
3.6.6 Public Access
Public access to publicly-owned shorelines is a specific policy of the Shoreline Management Act. On
the south side of the Master Plan area where the property is designated "natural," the shoreline area is
owned by the developer, not the public, and the sensitive nature of the area and potential for damage to
shellfish beds in the bay to the south support closing this shoreline to public use.
On the marina side, where DNR owns the tidelands and has leased the shorelines to the applicant for
use as a marina, the recreational access opportunities are maximized. The marina is already approved
and will not be increased in overall size or capacity. The owners, in cooperation with WDFW, are
proposing a float replacement program to eliminate the Tunicate, which is an invasive species presently
found along the wooden docks. The Maritime Village provides an expanded opportunity for the public,
both boating and non-boating, to enjoy the shorelines. The impacts of public use are already present
due to the marina and its related activities. The Shoreline Master Program designation of "suburban"
shows the area was planned by the County as an area where an added level of public activity
associated with the public use and access to the shoreline is expected. The mitigation for such areas
of increased activity is to assure that water quality concerns are met during the permitting process, and
that the County specifically adopts noise regulations respecting the fact that a portion of the harbor is
commercial and a portion is residential. The residential noise regulations at Chapter 173-60 WAC
provide an accepted level of noise versus protection, which is adequate to regulate commercial
activities adjacent to residential areas and should be incorporated into any shoreline permit.
The resort may also provide some additional use of the harbor by Kenmore Air, which is another
component of public access to publicly-owned shorelines. The air service may now fly into any marina
area on an occasional or charter basis. As such, the use is already a permitted use (or at least not
prohibited) and provides a reasonable means of accommodating the limited number of guests in a year
who may wish to use the site on a charter basis, as they do now. lf a proposal is made for regularly
scheduled service on any basis, a new shoreline permit would be required and the impacts and
limitations of such use discussed at that time. There is no proposal in the current application for
increased air service to the site. See Section 3.11.1 for further information on float plane traffic.
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3.6.7 Shoreline Mitigation Summary
o Public access and facilities shall be provided at the marina and Pleasant Harbor
a
a
Public access to the southern shoreline should be curtailed and direct access eliminated
All stormwater generated in the upland marina area shall be captured and treated to County
standards before discharge to the aquifer.
All surface water on constructed surfaces in the golf course area shall be captured and
treated for recycling or treated in accordance with adopted county stormwater manuals, and
infiltrated on site. Zero discharge to Hood Canal from the developed golf course/resort area
is required.
3.6.8 Shorelines: Responses to DEIS Comments
Responding to comments by Jefferson County Public Health (284), WDFW (306)
The southern beaches are to be closed and possibly incorporated into a conservation easement for
permanent protection. The development on the marina side is within the footprint of the existing
development and is providing public access and priority shoreline uses in areas of existing
development. Hood Canal is under pressure from increasing recreational and residential use, raising
concerns for water quality. Project-specific mitigation is designed to address and mitigate projected
impacts. Jefferson County land use plans, including rural regulations surrounding the resort area,
septic, road, and other building and development regulations are in place to address planned
development intensity. The County is currently updating its Shoreline Master Program, which is to be
completed in 2009. The Pleasant Harbor area is already developed with marinas and residences. The
Jefferson County septic upgrade program is one response to the issue of older septic systems, as is
the requirement to readdress the adequacy of septic facilities at sale or transfer. The resort proposal is
in response to the growing popularity of Hood Canal and the increased demand for facilities in the area,
as well as an economic center that could create additional pressure to locate (at rural levels) in the
atea. Enforcement of the County GMA, health, land use, critical area and shoreline regulations all
provide mechanisms to address the increasing demands for use and activity in the South Jefferson
County area. Public information programs are required to inform the public of these limitations.
The cut and fill activities contemplated for the resort are well back from the water's edge and adjacent
bluffs, and the fill is targeted to existing kettles. Project-specific grading plans will assess the specific
needs of the project, but preliminary review of the site by geotechnical engineers indicate the site stable
and suitable for the fill. The concerns for the stability of the bluff are an area of concern for the entire
project and will be the subject of specific consideration during project review for all phases.
The site is adjacent to two designations, "Conservancy" and "Suburban," with a natural designation just
south at the mouth of the Duckabush River. The only development near shorelines is located adjacent
to the suburban shorelines.
3.7 Fish and Wildlife
The County Scoping Notice addressed Fish and Wildlife as a separate consideration and specifically
requested the project site be analyzed for several items: (1)endangered species, (2) specific terrestrial
animals (eagles, elk, osprey, bears, and frogs), (3) specific water-dependent animals (seals, porpoise,
shrimp, geoduck, oysters, clams, stickleback, salmon, and orcas), and (4) a construction stormwater
management plan.
3.7.1 Endangered Species and Listed Species
The site analysis was done for endangered species and listed species and the results were detailed in
a site-specific Fish and Wildlife Habitat Assessment, July 20,2006, contained at DEIS Appendix 7.
a
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The endangered species potential was evaluated and determined that the project would not affect
terrestrial species. The fringe riparian area along the south boundary provides significant protection for
wildlife using the bay and the forested edge, as well as snags that eagles and other raptors may use for
perching and feeding and these areas are to be protected in the plan.
The forested fringe left in the current application is significantly larger and provides habitat protection
and use for a wide range of species. At the project level, a habitat inventory should be taken of specific
significant trees to ensure that habitat protections are maintained.
3.7.2 Hood Cana!-Based Species
The marine/estuarine species of Hood Canal (shrimp, clams, geoducks, oysters, Dahl's porpoise, and
orcas) are not expected to be impacted from the development, due to the protection of the southern
bluffs from human intrusion and the treatment of water to avoid contaminated discharge from the site.
The water quality in Pleasant Harbor, as it pertains to the proposed development, will be monitored and
adaptive management programs will identify additional mitigation as required.
3.7.3 Terrestrial Species
The site was evaluated for terrestrial habitat. The site is cut off from the balance of the peninsula by
US HWY 101 , but is still used by a variety of species, including birds, deer, and coyote. Large animals,
including elk, may occasionally visit the site, but there is no evidence of regular use due to the highway.
The site was examined for use by threatened or endangered species, but no nesting sites were found.
The riparian edge, wetlands, and buffers do provide good habitat and will be protected. See generally
Appendix 7, Fish and Wildlife Habitat Assessment.
3.7.4 Habitat Mitigation
o The riparian edge along the south shore shall be identified and protected prior to any
construction
Existing wetland buffer vegetation surrounding protected wetlands shall be marked and
protected prior to any construction
All proposals shall maintain a 50-foot buffer of riparian vegetation along streams a-f except
where crossing a and b.
The aforementioned mitigations shall be required for all such actions in the construction
stormwater management plans for all phases
3.7.5 Fish and Wildlife: Responses to DEIS Comments
Responding to comments by Jefferson County Public Health (2Ba), Skokomish lndian Tribe (365),
WDFW (306), Mitchell(212), Luckett (318), Lopez (272), Russell (282).
The proposal recognizes that Hood Canal is home to six federally-listed threatened or endangered
species (Puget Sound Chinook Salmon, Hood Canal Summer Chum Salmon, Puget Sound Steelhead,
Bull Trout (Coastal Puget Sound), Southern Orca Whales, and Stellar Sea Lions). Further, both the
Duckabush and Dosewallips Rivers are considered important systems in the maintenance and
rehabilitation of affected runs. The property planned for the resort drains to Pleasant Harbor on the
north and at the mouth of the Duckabush River to the south. lvlitigating measures identified in this FEIS
will be implemented to protect the southerly beach adjacent to important tidelands and the mouth of the
Duckabush River, which is important not only for shellfish, but for all stages of salmon and fish life
cycles.
The Dosewallips River is located northerly of the site and out of any direct runoff or physical impact.
The impacts there are secondary, with increased public use of facilities in Brinnon and the public
a
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beaches. The fi/PR is required to coordinate with state agencies on educational programs and
techniques to assure proper use of public lands.
The resort is located in an area of existing development, minimizing intrusion of such a facility on the
undeveloped and more significant habitat to the east, and away from the shoreline, minimizing direct
impact to the southern beaches.
The applicant is proposing to save substantial natural and open space on the site and to achieve the
riparian buffers noted. The construction of a Master Planned Resort will inhibit use of the site by larger
mammals, but as noted particularly the elk are not noted in the Black Point area, but farther north in the
river plains. Any Master Planned Resort of a size and scale to support sewer and no offsite discharge
would require significant site development and is an unavoidable consequence of the development of
the site. Project-level review is directed to protection of riparian habitat on the south boundary, the
vegetation buffer along US HWY 101, appropriate vegetation and tree buffers along the Pleasant
Harbor shoreline, and the maintenance of functions and values of the wetland and stream critical areas
in the appropriate sub basins.
An adaptive management program to address water quality and upland issues is planned to be part of
the marina water quality program at the project level to address issues as they may arise in the future.
The Duckabush River delta is considered an important shrimp nursery area, and important habitat and
nursery for juvenile stages of Dungeness crab. The sensitivity of the area for shellfish and sea life of all
kinds reinforces the importance of maintaining a riparian buffer along the southern shoreline, assuring
retention and treatment of all water affected by construction or development to assure water quality of
all waters and seeps on the peninsula affecting or affected by the development. The sensitivity of the
area was also the rationale for closing any efforts to access or use the southern beaches.
Reference is made to an Osprey nest in the Pleasant Harbor area. Plans to protect the nest, as
appropriate, will be addressed at the project level if the nest is still active or capable of providing
support to local populations.
No evidence of eagle nesting or roosting was identified onsite. The retention of a significant riparian
area on the south shore will retain existing snags for perching.
3.8 Rural Character and Population (including housing density, mixed retail
and renta I affordabi I ity)
3.8.1 Characterization
Rural character on Hood Canal includes a mixture of open spaces and more densely packed residential
and tourist areas, including both public and private facilities. The Maritime Village and golf resort area
occupy areas that have historically been tourist oriented with a great deal of tourist activity, particularly
during the summer. The resident population is estimated to be between 200 and 300 people, given a
mix of staff (including summer staffl and limited permanent population, a summer residency of between
1200 and 1500 people at peak summer occupancy, and about one-fifth that number during shoulder
and slow periods.
A number of very popular campgrounds, including Dosewallips State Park located a few miles north,
contribute to local summer activity as it has nearly 400,000 visitors per year.
The overall density of the resort is approximately 3.5 units per acre, similar to the historic density of
Black Point, but with much greater open space. The provision of RV housing for construction workers
and staff rental housing is designed to reduce pressure on the limited housing availability in the Brinnon
subarea.
The resort is expected to create an increased interest in the Brinnon area of the canal for residential
development. But outside the resort area, such demand is at rural levels of density and services as
defined in the Brinnon Subarea Plan. The resort is prohibited from providing urban sewer and water
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services to the rural areas, except for areas of identified health problems. (For example, the
development of the Master Planned Resort sewer system would provide Black Point residents with
failing septic systems an alternative where the failing system is at risk of contaminating Hood Canal, but
such limited use of the sewer system is only for solving existing problems and not in enabling new
development.) The County is developing a shellfish protection district to address water quality and the
sale of existing homes will trigger review and probably upgrade of older septic systems.
The resort is proposed to have limited onsite retail capability (as distinguished from the BSAP model
which has a significant retail component in a resort village west of US HWY 101). This decision was
intentional to achieve the objective of the BSAP for the resort to provide an economic boost for Brinnon
businesses, as well as simply providing a fully self-contained resort. The resort is expected to bring
additional small commercial and service businesses to Brinnon, consistent with the Brinnon Subarea
Plan, and subject to project-specific, site-specific environmental reviews and mitigation.
3.8.2 Rura! Character and Population: Responses to DEIS Comments
Responding to comments from Hood Canal Environmental Council (275 and 385), Jefferson County
Public Health (284), Murdoch (139), Von Christierson (148), Dimino (193), Mitchell (212), Peterson
(260), Russell (245 and 304), Russell (282), Mitchell (297).
Rural character concerns principally address the impact of a large facility on a rural community,
including changing the character of the area, impacts to a rural way of life, and the economic
consequences of increased valuation on existing populations,
Preference is expressed for a much smaller facility, which could fit under the "no action" alternative.
But such facility would not be the urban "Master Planned Resort" that the County envisioned through
the Brinnon Subarea in the Brinnon Subarea Plan. The Plan sets out a concept and detailed
description of why a Master Planned Resort is appropriate at Black Point.
Vision:
For over a century, Brinnon served as an outdoor recreation based
retirement and tourist community. This plan serves as a road map ... to
make the changes necessary for Brinnon's future success.
BSAP at p. 1.
Master Planned Resorts: See BSAP at pp. 45, 46, including
Resort-could be comprised of the former NACO Campground and RV
Park property, an 1B-hole golf course, with clubhouse facilities and
hotel/inn with conference and health/athletic facilities; with on-site
advanced stormwater and wastewater treatment systems integrated into
the golf course.
BSAP at p. 45
The Statesman proposal provides the golf course and athletic amenities in a hotel resort with 890
rooms in cabin, villa, and townhouse settings, for tourist and conference use. Statesman did not add
the 25 residential units along the south water's edge as suggested by the conceptual master plan,
preferring instead to have that area dedicated to open space and riparian buffer. Likewise, the
Statesman proposal limits the commercial retail development suggested for the 7 acres on the east of
US HWY 101 and did not incorporate the properties west of US HWY 101 into the Master Planned
Resort, respecting the potential for significant traffic issues at that location if substantial additional traffic
were added to the proposed resort site.
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The hotel resort facilities need to be of sufficient size to support the sewer water treatment and
stormwater capture and treatment requirements imposed to protect the environment of the area and
achieve the advanced onsite stormwater and wastewater treatment systems incorporated into the
proposal in response to the policy guidelines. The Statesman proposal was reduced to 890 units
through the preliminary review process. At this level, the project can fund both the construction and the
operation of the major facilities required. Reduction in size would prevent the facility from achieving the
economies necessary to construct and operate such facilities.
The suggestion that the County should revert to the "no action" alternative is contrary to the goal to
"promote recreational and tourist development consistent with the character of Brinnon," BSAP Goal
G1.0, p. 48, and the policy of achieving that goal:
P1.i Encourage the proposal of a Master Planned Resort for Black
Point to foster economic development in Brinnon consistent with
the vision illustrated in this Subarea Plan.
BSAP at p. 48.
The applicant is required to develop a "buy local" program to give local vendors the opportunity to
participate at both the construction and operation supply level. Details of such a program will be
worked out with the EDC and WSU extension program to facilitate local participation at the time of
specific Master Plan approval,
The Subarea Plan envisioned the resort as an economic boost to the Brinnon Subarea and identified
Brinnon as a Rural Village, providing services and facilities to the area. Brinnon does have challenges
with respect to the flood hazard areas and lack of services. The County regulations need to assure that
new development is in areas safe and able to accommodate new growth. The Brinnon rural village
would provide a range of services and facilities that complement the MPR.
lncreasing boat pressure, increasing population pressures, and increasing tourist pressures are all
projected for the area, and cumulative impacts will occur. The purpose of the detailed project-level
planning and permitting process is to identify how the resort may facilitate the pressure and mitigate
impacts properly attributable to the resort's development. The potential for cumulative impacts is
acknowledged, but is also a product of the increasing demand for facilities and services, independent of
the resort, and the competing goals of improving economic development and increasing public access
to public lands on the one hand and the need to make sure environmental protection is assured on the
other. The project permitting phase is identified as the best way to achieve these goals in context of
specific proposals and mitigations.
The rural character of Brinnon is based upon historical build out patterns in an area of large river
watersheds and attractive Hood Canal waterfront. Future characteristics are determined by the County
Comprehensive Plan and implementing regulations. The Plan did acknowledge the potential for a
Master Planned Resort in the area and has the tools to continue to regulate development in an
environmentally appropriate manner within its current regulatory framework. The present land use
designations anticipate growth in the area at 1-5, 1-10, and 1-20 units per acre and other allowed rural
uses. That development is anticipated to occur with or without the resort, but may occur more rapidly
as a result of the resort. The other alternative, however, is that pressure on the larger tracts may be
reduced, as those who desire to use the area would have resort and short-term rental housing
available, reducing the need to purchase and develop property to eryoy the area on a regular basis.
The project does propose an onsite temporary housing program to address the issue of worker housing
and limited rental resources in Brinnon. At project-level approvals, the specifics of the number and
timing of workers and worker housing and other demands will be addressed.
cumulative and community impacts are difficult to assess, but it is fair to say that the inclusion of a
resort at Brinnon will have a direct and marked effect on the overall character of the community.
Beginning in 1998 the Jefferson County Comprehensive Plan specified efforts to create an economic
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change in the South County. The Brinnon Subarea process was commenced and the community vision
expressed in that document was for a Master Planned Resort.
The plan contemplated a series of changes that were viewed as being in the pubic interest, and the
Statesman Master Planned Resort is only a first step in what could be a larger implementation of that
vision.
Other property owners in the MPR area shown in the Brinnon Subarea Plan, may elect to join the
Master Planned Resort, by amendment, and could upgrade their current rural facilities to urban facilities
in conjunction with upgrades to the Master Planned Resort sewer, water, and other facilities. (These
facilities may not serve rural uses outside the resort, as the urban services are to be "fully contained.")
Alternatively, property owners in the area, under current rural rules may seek to develop compatible
rural-scale facilities under rural tourist and small business regulations, without becoming part of the
Master Planned Resort. Both types of activity may bring the additional economic and employment
resources to Brinnon envisioned by the Subarea Plan. How such development plays out is speculative
at this juncture, until the other property owners make specific plans for their individual properties. Any
new plan or project is subject to environmental review under regulations in place, including SEPA
environmental review.
Concerns about sustainability and the relationship with Brinnon also pose a range of issues that may be
foreseen generally, but the specific execution of plans and projects await individual property owner's
responses. The Brinnon Plan envisioned an increase in economic and housing activity in the Brinnon
Subarea, principally within the guidelines of rural village and rural development outside of other
property owners choosing to join the Master Planned Resort, now or in the future.
The FEIS does address job and temporary housing, recognizing it as an issue, and providing
mechanisms for specific review and approval at the project level.
The project does not guarantee that employees must live onsite, and in fact the integration of resort
staff and local residents into a single community, and not the "we-they" of competing factions, is an
objective of both the proposal and the Brinnon Subarea Plan. One objective of the resort is to create
the critical mass to bring additional facilities and services to the community, located consistent with
standards for appropriate development in the area.
Questions about enforceability of covenants and conditions are addressed at the project level. The
FEIS, the development regulations established if the Comprehensive Plan amendment is approved,
and finally the specific mitigation and conditions of approval at the project level all provide a matrix and
framework for the community to realize the controls necessary to achieve the goals set forth for the
project.
There is a high level of community sentiment both for and against the resort. The community vision is
captured in the Brinnon Subarea Plan, which looks to a non discharge resort that can provide
recreation and resort opportunities, as well as economic development. The scale is at a level within
allowed traffic levels of service, and is limited by need for adequate water and sewer facilities as
approved by state and local agencies. The location is an area with Canal tracts to the south, the rural
village of Brinnon to the north, and significant pre-GMA development in the Black PoinUPleasant Harbor
area. At an average density of less than four units per acre, and retention of many trees and buffers to
substantially shield much of the resort from public view, the scale of the proposal fits the general area
while providing the desired amenities meeting the Comprehensive Plan's objectives.
The Master Planned Resort needs to be an economic entity large enough to support the many
amenities and protections demanded by the community for approval. Character and scale are
protected by preserving open space and buffers, and keeping overall density at below four units per
acre (the low end of urban range and within line of the existing development along Hood Canal in the
area).
PROBABLE SIGNIFICANT ADVERSE IMPACT REVIEW OF THE PROPOSAL CHAPTER 3
3.9 Archeological and Cultural Resources
3.9.1 Characterization
Archeological and cultural resource interests resulted in coordinated meetings with local tribal interests,
The site was examined and the details are set forth in the Cultural Resource Assessment, at Appendix
B. The result of the search identified no specific sites in either the marina or golf course area. The
southern shoreline abutting Hood Canal is a significant environmental and cultural area due to the need
to protect adjacent fishing and shellfish grounds. As noted previously, the master plan proposes to
close this beach to resort use.
3.9.2 Archeological and Cultural Resources: Responses to DEIS Comments
Responding to comments of the Skokomish lndian Tribe (365, 372, and 374), Germaine (729).
Projecrlevel work, and specifically land clearing and grading plans will be required to have a cultural
resources monitoring program in place to coordinate review for potential artifacts or sites of cultural
significance and a program of appropriate response should such sites be identified. The discussions
with the tribes reflected in the cultural resources section of Tribal comments continue to reflect the
project proponent's planned approach.
3.10 Critical Areas
The Scoping Notice asked the applicant to examine the five listed critical areas under the County
critical area ordinance, which include (1) wetlands, (2) aquifer recharge areas, (3) fish and wildlife
conservation areas, (4) frequently flooded areas, and (5) geologically hazardous areas.
Critical areas are governed by the County's critical area requirements. The purpose of the master plan
review and the required development agreement is to assure that critical area regulations are followed
in the development of the master plan, and that the master plan is approved with a single set of
guidelines to assure that the overall plan is carried out under a single set of rules. Development
agreements are commonly used to provide a degree of continuity for long-term projects. The
Legislature has given authority for such agreements (RCW 36.708.170) and the County details are at
JCC 18.15.126(2) and 18.40.850-.890. The key requirements are that the plans be consistent with
regulations, in place at the time of approval, and that the agreement specify the duration for the
implementation of such rules.
3.10.1 Wetlands
A detailed wetland assessment was made and the results are contained in the Wetland Delineation at
Appendix 9. The site has three wetlands on the golf course side and none on the marina side. The
confirmed wetlands in the golf course area are identified as Wetlands "8," "C," and "D." The wetlands
are Category ll and no specific threatened or endangered species were found during the wetland
delineation process. The site critical areas/wetlands are shown on Figure 3-'19.
The wetlands to be protected have well established native buffers that need to be protected at all times.
The wetland to be removed does have some vegetation, but is also affected by vestiges of logging,
roads, and infrastructure and as such is disturbed, marginal habitat in places, and susceptible to
modification and restoration to improve both function and value.
Wetland "8," which is approximately 0.475 acres (see wetland report, Appendix g),is proposed to be
converted from a wetland to a control pond for treated process water from the wastewater treatment
system and irrigation return flow to provide a source of water reuse and golf course irrigation to reduce
the overall water consumption of the site. Wetlands "C" and "D" will remain unaltered.
The criteria for wetland protection and mitigation are set forth in the County Code for critical areas
which governs replacement ratios and buffer management.
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The Scoping Notice requested the applicant address wetlands as an element of review. The wetlands
have been reviewed and delineated (Appendix 9) and by issuance of a March 27, 2001 letter, the
USCOE has made a determination that the wetlands are not jurisdictional for purposes of USCOE
permit review.
Wetlands are regulated as a critical area under the state's Growth lVlanagement Act, RCW 36.704.060,
and local regulations are to assure that functions and values of the wetland system are maintained.
Court and Growth Board cases make it clear that wetlands may be altered or moved to accommodate a
specific project, so long as the actions are reasonably necessary and the overall subbasin functions
and values are retained.
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As described in Appendix 9, site investigations have confirmed three Category ll wetlands: "B," C," and
"D" as depicted on the map in App. D to the Wetland Report and further described therein on pp. 9-11.
Wetlands "C" and "D" are to be retained, and "B", which has only seasonal ponding in a large glacial
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depression known as a kettle, will be filled to provide adequate storage on site for the wastewater
treatment system, and the functions and values replaced, on site, in a fashion to ensure the functions
and values are retained as provided by the County Code. The onsite wetlands were delineated using
the updated (2004) wetland rating manual as required by JCC 18.15.325(1)(2). Standard wetland
bufferwidths are currently 100 feet from a Class ll wetland and 50 feetfrom a Class lll wetland (JCC
18.50.340(5)).
Since the Master Plan is proposing to use Wetland "B" as a part of the water treatment recycling center
program, the wetland at the botom of this kettle will be filled, and an appropriate mitigation plan will be
developed in accordance with Jefferson County Code. The general standard for mitigation is found in
the Code which states:
The overall goal of mitigation shall be no net loss of wetland function,
value and acreage.
JCC 18.15.350.
The projected impacts to wetlands could occur both during construction and during operation of the
resort. During construction the hydraulic and structural integrity of wetlands and buffers to be saved
must be marked and protected. Water quality entering wetlands and buffers must be protected to avoid
turbidity. Water quantity entering wetlands and buffers must be assured to avoid a change in function
and value for wetlands being preserved.
The wastewater treatment and water use and recycling detailed in Section 3.3 above demonstrates the
preferred approach to water management on the site. With water conservation and recycling as a
major component of the proposed mater plan, the use of the kettle area as a storage basin for water the
water recycling process is unavoidable to retain necessary water onsite.
Wetland "8" is the only area on the site capable of holding the water and providing necessary storage
for the system to function. As such, the project would be reviewed per the compensatory mitigation
requirements of JCC 18.15.350(2):
Table 3-11
Required Replacement Ratios for Compensatory Wetland Mitigation
Wetland Category Creation and Restoration(1)Enhancement(z)
12"1
ll or lll
o Forested
. Scrub-Shrub
. Emergent
3:1
2:1
2:1
6:1
4:1
4:1
IV 1.25:1 2.5:1
Notes:(1) The first number in the ratio specifies the acreage of wetlands to be created, and the second number specifies the
acreage of the wetlands proposed to be altered or lots. The replacement ratios are derived from Department of Ecology
Publication No. 97-112 (1 998): "How Ecology Regulates Wetlands"
(2) Enhancement of existing wetlands may be considered as compensation, but above ratios must then be doubled.
JCC 18.15.350(2), Table 3-5 (current version).
ln considering wetland mitigation, preserving the existing functions and structure of wetlands "C" and
"D" will be important. Alternate sites for wetland mitigation need to be identified and demonstrated. lf
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enhancement of these wetlands is the selected mitigation procedure, doubling of the replacement ratios
is required or the creation of new wetlands and buffers on site consistent with the County code
requirements and the more general charge that there be no net loss of critical area function and value
when replacing habitat lost by development.
Another mitigation alternative exists to offset the loss of the isolated Wetland "B." Wetlands may be
created as water features and incorporated into the golf course design with ecological considerations.
The Trophy Lake Golf Course in Kitsap County is a good example to illustrate how this can be
accomplished. By using a sand cap over the entire golf course, water is collected in the grass root
system and directed toward the rough areas where a sand berm filters the water prior to allowing the
runoff to flow downslope into created wetland areas (see attached figures from AES, 19994).
Monitoring of the Trophy Lake Course has proved that fertilizer loading was stopped after the second
year of grow-in and with proper golf course maintenance and operation, pollutant loading can be
avoided which saves money and time for the golf course (AES 20015). Wildlife features can also be
added to the golf course as described by Audubon lnternational. More information on this organization
can be found at: (http://www.auduboninternational.org/programs/signature/signaturelevels.htm).
Jefferson County has adopted the King County model for golf course maintenance and the resort will
be required to demonstrate compliance with the King County model or substantial equivalent in the
management and operation of the golf course facility.
A wetland mitigation plan will be developed in conjunction with the detailed design phase of the project
and will be required at the outset of the grading plan in advance of final plat approval and project
development when details of the construction will be available. lt is common that mitigation plans be
implemented prior to the planned filling activity, such as that of Wetland "B".
The site has only two areas suitable for enhancement to provide the necessary mitigation and these are
both upland sites adjacent to wetlands. The uplands are disturbed as both were in the area of the RV
camp that existed for many years. Natural topographic conditions may be enhanced to promote
hydrology to support. ln addition, site runoff can be collected, treated, and then released into created
wetlands to further maintain hydrology and wetland characteristics and also to support onsite infiltration.
JCC 18.15.350(3)(f).
An alternative approach may be a cooperative compensation project for a significant wetland project in
the area, but no such program presently exists, and would require participation by state agencies and
the County. Absent a specific proposal from a governmental agency, the onsite solution appears to be
the most feasible. Approval of site specific wetland mitigation plans will be required as pag of the
preliminary plat approval.
3.1O.2 Aquifer Recharge Areas
The County critical area regulations impose specific limits on projects that are designated (mapped) as
critical area aquifer recharge areas. The Black Point property is mapped as an aquifer protection
district, and the Master Planned Resort best management practices are taken from aquifer protection
guidelines in the County to assure any potential impact to the aquifer is eliminated or minimized.
The Black Point residential area is served by ground water, and prohibited uses in significant aquifer
recharge areas are detailed as JCC 18.15.240-.255. None of the prohibited uses are to be included in
the development of the golf course area, and the Master Plan approval requires the project to meet
best management practices for use, treatment, and discharge of all waters used on the golf course.
4 Applied Environmental Services, lnc. '1999. Trophy Lake Golf Course & Casting Club Storm Water Quality
Design Report. Prepared for OB Sports and Kitsap County Public Works Department. September 13, 1999.
" Applied Environmental Services, lnc. 2001, Trophy Lake Golf Course & Casting Club 2001 Water Quality
Monitoring Report. December 11,2OO1. Prepared for Trophy Lake Golf & Casting Club and Kitsap County Public
Works Department.
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The fueling facilities at the marina are in areas that are not part of a well dependent water supply and
no impact to potable water aquifer is anticipated.
County rules do have special provisions for golf courses, which will be followed, and the Class A
recycling regulations also have rules concerning existing potable water sites that will be incorporated
into the reuse/recycling treatment and discharge plan for the site to be approved by WDOE as part of
the water rights/wastewater discharge permit approval process.
3.1O.2.1 Aquifer Protectaon Mitigation
The stormwater management plan for the golf course shall demonstrate compliance with the County
requirement for golf courses and stormwater management on aquifer protection districts. An approved
preconstruction aquifer protection plan shall demonstrate retention of sheet flow water and ground wilts
onsite.
3.10.3 Fish and Wildlife Conservation Areas
The County critical area regulations, at JCC i8.15.283-.320, provide for setback from streams,
including nonsalmon bearing streams. Several intermittent or seasonal stream channels have been
identified on site (Type 5 under the County classification system). The streams are steep in gradient
and blocked from fish passage due to structural barriers (see Fish and Wildlife Habitat Assessment at
Appendix 7, p. 3). The project is to be developed with full buffers retained for all Type 5 streams.
Stream crossings (a and b) will require mitigation to meet County standards. The creation of a
complete and modern treatment system for stormwater on the developed portion of the marina site will
reduce the discharge of turbidity or potential untreated or contaminated stormwater to the stream
system and the net effect should be an improvement in water quality discharge. A SO-foot native
vegetation buffer is required for all streams.
The riparian edge along the southern shore is nearly 100 feet above the shoreline and does provide a
heavily forested, natural edge for the shore, which is the preferred treatment for sensitive or relatively
undisturbed shoreline edges.
3.10.4 Frequently Flooded Area
The site has no flood plains or frequently flooded areas and these provisions do not apply
3.10.5. Geologically Hazardous Areas
The site has been reviewed with a thorough geologic hazard analysis. See DEIS Appendix 4.
The principal geologic hazard feature on the site is the steep bluffs along the southern shore. The
County ordinance requires setbacks for any structures or development from tall bluffs of at least 100
feet. The project is retaining a 200-foot vegetated edge along the steep slopes and eliminating
potential road and trail traffic down or along the bluffs. The plan fully complies with all requirements
and provides an extra margin of safety. The stormwater management plan shall require that all water
from developed areas be captured in areas sufficiently removed from the bluff edge and are sized
sufficiently to avoid discharge to or destabilization of the bluff in the event of wet seasons or upset.
3.10.6 Critical Area Mitigation Measures
. Wetlands shall be protected from development (except Wetland B used for reuse and recycling)
and a wetland buffer and mitigation plan shall be developed which demonstrates, under best
available science principles, that the wetland functions and values of the resort area have been
maintained through a combination of retained, enhanced, and constructed wetlands and buffers.
The plan shall demonstrate no net loss to overall wetland area function and value.
. An approved preconstruction wetland mitigation plan must demonstrate how loss of wetland
habitat is offset, protection measures for water quality and quantity maintenance, and buffer
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CHAPTER 3
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protection. Such protections must be in place prior to commencement of any grading onsite.
The wetland mitigation report for Wetland B shall be approved and demonstrate how the overall
system will operate, both during construction and operation to assure overall no net loss of
function and value for the resort area wetland system.
r The stormwater management plan for construction shall require all wetland areas (existing and
new) meet the no net loss test and are in place prior to the removal of the Wetland B wetland.
. The three northerly streams shall be set aside in a natural area, and development shall be
limited to that necessary to provide adequate access and road right of way, All culverts carrying
streams shall be fish passable where the stream has the potential to be fish bearing.
o The two southerly streams shall be protected during construction and road crossings shall
comply with adopted standards.
o The resort shall be required to annually collect water quality monitoring data form the state
water quality sampling station at Pleasant Harbor and submit a summary water quality report to
the County. ln the event that water quality shows any sign of deterioration, the County shall
consult with the resort, the local residents, and the State (both WDOH and WDFW) concerning
the source of the change. The resort permits shall require the resort to implement any
mitigation measures determined necessary by the County to alleviate any water quality issues
emanating from the resort properties.
3.10.7 Critica! Areas: Responses to DEIS Comments
Responding to comments of the Hood Canal Environmental Council (275 and 385), WDOE (3Bl),
Jefferson County Public Health (284), WDOE (281 and 375), Hal Beattie (733).
Wetland B will be affected by construction of the large retention kettle. Wetlands C and D are not
expected to be impacted by the proposed project. Wetland mitigation will be conducted to comply with
state and local permitting requirements and will be based on no net loss of function and value. The
FEIS requires a wetland mitigation plan to be in place and approved at the project level prior to
construction on the site. Details as to the size, location, and nature of mitigation wetlands and buffers
are required and will be addressed at the project-level review, under requirements of Jefferson County
Code.
The DEIS failed to mention the WDOE responsibilities in wetland modification. WDOE also has a
permitting role in supervising and approving changes to waters of the state, including wetlands, and
through their cooperative permitting process with Jefferson County, they will also be involved in the
evaluation and approval of the wetland modification and conditions.
An old heron rookery site was identified on State lands south and east of Pleasant Harbor. Projecr
specific plans will include identification of the site and mitigation if necessary consistent with the habitat
management guidelines from washington State Department of Fish and wildlife. The entire area of the
proposal will be evaluated at the project level to identify specific needs to protect fish and wildlife.
The project may use special permits to adjust buffer widths consistent with County requirements to fit
the state and local conditions.
Floodplains. The project site does not have floodplains, but incidental development either in Brinnon or
in the watersheds of the Duckabush or Dosewallips Rivers could affect or be affected by floodplains.
Project-level review looks at both direct and indirect impacts and will be looking at related flood hazard
issues.
The Public Health Department pointed out that US HWY 101 does cross flood hazard areas, steep
slopes, and other critical areas. Project-specific development review includes critical areas and direct
and indirect impacts attributable to the project and proper mitigation where necessary and appropriate.
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3.11 Other lssues
During public discussions several issues were raised which do not fall neatly into the format of the
scoping notice but which should be addressed.
3.11.1 Existing and Proposed Float PIane Traffic in Pleasant Harbor
It is possible that float plane traffic in Pleasant Harbor may increase as a result of the proposed
development from people coming to visit the resort and attractions in the Hood Canal area, through
various marketing endeavors and population growth in the general Hood Canal region. Currently, the
average annual number of float plane flights into Pleasant Harbor by Kenmore Air is 5. ln comparison
to other resorts in the area, Alderbrook experiences approximately 30 flights per year and Port Ludlow
at 20 flights per year, all serviced by Kenmore Air on a Chartered Service Package.
The demand for float plane travel to destination resorts is limited and represents a very small niche
market. Both Alderbrook and Port Ludlow serve a wider permanent population than Pleasant Harbor.
While some resort-oriented travel may occur, it is expected to be incidental and not significantly greater
than the present levels of service.
3.1',.2 Military Operating Areas
This is to acknowledge existing and proposed military operating areas near the proposed development.
Notification and adherence to notices is imperative and will be strictly enforced by the US Navy.
The Navy needs to extend the Northwest Range Complex operating area to provide multiple in-water
environments that meet the evolving operational requirements for manned and unmanned vehicle
testing in Washington State. The Northwest Range Complex is comprised of three marine ranging
areas in the Pacific Northwest(Washington state): (1)The Dabob Bay Military Operating Area (MOA),
two Hood Canal MOAs and the connecting waters known as the Dabob Bay Range Complex (DBRC);
(2) the Keyport MOA; and (3) the Quinault Underwater Tracking Range (QUfn1 MOA which is located
within the Navy MOA W237A.
The range extension is required in order to provide adequate testing area and volume in multiple
marine environments to fulfill the NUWCDIVKPT mission of providing test and evaluation services in
both surrogate and simulated war-fighting environments for emergent manned and unmanned vehicle
program operations.
The DBRC is the Navy's premier site for proofing, research, and development of underwater systems
such as torpedoes, countermeasures, targets, and ship systems. No testing of explosive warheads
occurs, or is planned to occur, in the DBRC; explosive warheads are never placed on test units.
Primary operations at the DBRC provide production acceptance (proofing) tests of underwater systems,
research and development test support, and fleet tactical evaluations involving aircraft, submarines,
and surface ships. These tests and evaluations of underwater systems from the first prototype and pre-
production stages up through fleet operations (inception to deployment) ensure reliability and
availability of underwater systems and their components to the fleet. The site also supports
acoustic/magnetic measurement programs. These programs include underwater vehicle/ship
noise/magnetic signature recording, radiated sound investigations, and sonar evaluations. ln the
course of these operations, various combinations of aircraft, submarines, and surface ships are used as
launch platforms. Appendix 10 includes a figure outlining the Proposed DBRC Site Extensions
and Typical Notice to Mariners.
ln order to provide compliance and mitigate for the military operations and activities that will occur near
the proposed development, notices will be posted at the Maritime Village and marina. ln addition,
information regarding the military operating areas and examples of notices will be provided to
purchasers and users at the resort.
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3.11.3 Other lssues: Responses to DEIS Comments
Responding to comments by Stephens (127), Ross (732), Mitchell (272), Peterson (260), Hood Canal
EnvironmentalCouncil (275 and 385), John McDuff (97); tan ArlcFall (137), WDOE (287, 275,276,387).
Project control and assuring the objectives of the plan are met in fact. The FEIS identifies a series of
mitigation requirements that will be implemented through a combination of specific zoning regulations
and a development agreement on phasing and project controls (to be developed if the Comprehensive
Plan amendment is adopted) and then project-level review with supplemental environmental review
based on specific engineering and technical issues and standards.
Permit conditions and requirements run with the land and are conditions on any operator, should
Statesman elect to transfer all or a portion of the facility to other owners.
Questions are raised about the carbon footprint. The resort is a response to increasing demand for
facilities to enjoy the natural amenities available in the area. Thus, on the one hand, it brings a
significant number of people to the area who may not otherwise come. But it also provides a local area
for those who want to enjoy the area and would otherwise have to drive in on a daily basis, or use
public facilities and campgrounds without the sewer and water facilities present at the resort. The
resort is committed to a green approach to development and operation, consistent with the area and
feasible approaches for a sustainable resort. The issues are of concern and will be addressed in both
the design and operation of the resort. Reducing impervious surfaces, providing shuttle and integrated
public transit, and low energy utilization facilities all contribute to reducing the carbon footprint.
The objective of the EIS was to identify potential adverse environmental impacts of the proposed
amendment and identify whether the project meets the goals of the Comprehensive Plan and can
adequately address the avoidance, minimization, or mitigation of identified environmental
consequences. Through the DEIS and comments, the potential issues have been raised and means to
address adequate mitigation at the project level are in place.
One frequently addressed concern is that the resort provides only "low paying jobs" and as such would
not be of any economic benefit to the community. The economic benefits are detailed in the ElS, and
include:
o Property Tax receipts from more than $300,000,000 in physical improvements to the Black Point
property.
Sales tax receipts, B & O tax receipts, and hotel/motel tax receipts from the resort operations
and from increased sales in the area.
Mitigation and impact fees paid by the applicant to address pubic service and public facility
needs.
The creation of more than 100jobs during construction and 200jobs during operation.
Construction typically provides "family wage" jobs, and the resort has senior management and
responsible positions in conference center, food service, facilities, marina management, and
golf management that also fit the "family wage" jobs designation, as well as the seasonal and
part-time jobs that provide employment opportunities for youth and for those who prefer the
flexibility allowed. The assertion that "only low paying jobs" are present is simply not true.
The project is required to have a job and contract posting program that will provide opportunities
for local vendors to compete for projectjobs and contracts.
The memorandums of understanding with local agencies will provide some assurance that
funds to mitigate concerns in the South County will be spent in the South County.
Pleasant Harbor Marina and Golf Resort
FINAL EIS - (Site Specific Amendment MLA 06-87)
a
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Page 3-85 November 27,2007
a
PROBABLE SIGNIFICANT ADVERSE IMPACT REVIEW OF THE PROPOSAL CHAPTER 3
The site is undergoing voluntary clean up by the present owners, which should be completed shortly
after the end of the year and is a prerequisite to Statesman taking title. Contact information is accurate.
57 577 -0001 /L E G AL1 37 24220.1
Pleasant Harbor Marina and Golf Resort
FINAL EIS - (Site Specific Amendment MLA 06-87)
Page 3-86 November 27,2OOl
E
DESCRIPTION OF ALTERNATIVES REVIEWED AND IMPACTS CHAPTER 4
CHAPTER 4 - DESCRIPTION OF ALTERNATIVES
REVIEWED AND IMPACTS
This section describes the Alternatives evaluated under the DEIS. Relevant background pertinent to
the planning process is included under the appendices. The alternatives to be considered are "no
action" (assuming the Master Plan proposal is withdrawn or denied, and the area develops under
current zoning), the Brinnon Subarea plan (BSAP), and the Hybrid plan. The Brinnon Subarea plan
and Hybrid plan look to the development of the balance of the property within the area indicated in the
Subarea Plan as appropriate for inclusion in a proposed Master Planned Resort.
The Brinnon Subarea plan alternative assumes that the entire area is included within the Master Plan,
and as such is subject to the Master Planned Resort limitations on resort-based urban development.
The Hybrid proposal presumes that the lands outside the Statesman proposal develop under the
current zoning, but that such development may be accelerated under the current proposal and
developed on a timetable in concert with the Master Planned Resort.
ln evaluating the alternatives, many of the consequences of onsite development are similar. For
example, the proposal, the Brinnon Subarea plan, and the hybrid model all presume significant resort
development on the Black Point MPR property. The means of addressing development and
environmental protection will be the same for issues such as overall site impacts, water and wastewater
service and treatment, and protection of stormwater and critical areas and resulting protection of fish,
shellfish, critical areas, water quality, cultural resources, and other scoped issues.
The BSAP resort and hybrid alternatives east of US HWY 101 are all urban uses presuming urban
water, wastewater, and stormwater control systems serving an urban intensity development. The
location, configuration, and topography of the site allow for little variation for intense development. The
BSAP alternative has urban uses west of US HWY 101;the Hybrid alternative examines rural tourist
uses that may be permitted under current zoning if the Statesman proposal is constructed across the
street.
The no action alternative presumes the resort features do not get constructed and the proposal area is
developed with a more locally-oriented development consistent with existing and allowed uses in rural
zones.
The review in the alternatives sections examine the differences, where impacts may be greater, lesser,
or simply different from the proposal to permit an adequate evaluation of the land use choice and
consequences of the proposal and alternate programs.
The purpose of the alternative section is to examine reasonably probably alternatives, not maximum
ach ievable densities or worst-case scenarios.
4.1 No Action Alternative
ln this No Action Alternative (Figure 4-1) Black Point would continue to develop as a single-family
residential area, consisting of both year-round and seasonal residents, the latter gradually decreasing
as more people take up permanent residence. However, as noted above, for purposes of comparison
in this DEIS it is assumed that Black Point will fully develop with fulltime residents.
The underlying zoning for Black Point is rural residential, with minimum lot sizes of 5, 10 and 20 acres
per dwelling unit. Of the 710 acres on Black Point, approximately 382 acres are in 1:5 zoning, '188
acres in 1:10, and 140 acres in 1:20.
Pleasant Harbor Marina and Golf Resort
FINAL EIS - (Site Specific Amendmenl MLA 06-87)
Page 4-1 November 27,2007
DESCRIPTION OF ALTERNATIVES REVIEWED AND IMPACTS CHAPTER 4
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The golf course area of the master plan includes about 160 acres zoned RR 1-10; 31 acres zoned
RR1-20; and the balance zoned 1-5, but already divided into smaller lots by previous platting and the
County road.
The Maritime Village area is zoned RR 1-5, but is already more heavily developed with the marina and
existing lots smaller than one to 5.
The No Action Alternative on the golf course site assumes a planned rural residential development with
a golf course. See Figure 4-2.
Pleasant Harbor Marina and Golf Resort
FINAL EIS - (Site Specific Amendment MLA 06-87)
Page 4-2 November 27,2007
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The no action alternative assumes that the golf course and marina area continue development under
the provisions of the Jefferson County Code now in place.
The residential development in the golf course area would likely occur predominately along the
southern shoreline, served by the existing water system and water rights, with approximately 24 new
residential houses, and a small 9-hole golf course serving the local area similar to the Bayshore Golf
Course in Mason County, as allowed in County Rural zones through a Planned Rural Residential
Development (PRRD) process. The Tudor and Jupiter property across US HWY 101 to the west could
develop as currently planned, with a 5,000 square foot, small-scale rural tourist facility (small
restaurant, gift shop, and office) and the Jupiter site with a rural gas station and service facility for RVs
and other vehicles.
Pleasant Harbor Marina and Golf Resort
FINAL EIS - (Site Specific Amendment MLA 06-87)
Page 4-3 November 27, 2007
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The marina area has several (6) existing lots that could be developed under the current zoning and
shoreline program into single-family residences, for a total of 30 new residences for the Master Planned
Resort area.
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The U.S. Census shows that the average number of people in each household is 1.9 within the Brinnon
Subarea Plan. While many of the homes on Black Point and the nearby Hood Canal area are seasonal
or second homes, the ratio of second homes to permanent residences is dropping as retirees choose to
make Jefferson County their permanent home. Assuming that the split between seasonal and
permanent homes for the new development would be approximately 50%, one half would be second
homes. Under that circumstance, if all of the remaining lots on Black Point were developed with
residences, it would result in an increase of a total of approximately 30 homes, but a permanent
population increase in the area of only 15-20 people.
Pleasant Harbor Marina and Golf Resort
FINAL EIS - (Site Specific Amendment MLA 06-87)
Page 4-4 November 27, 2007
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The boat launch, beach, parking area, and approximately 30 acres of forest owned by the WDFW
would remain and likely see a modest increase in use commensurate with local population growth
trends and regional increases in tourism.
It is assumed that the cottage businesses in the immediate vicinity would continue operations, including
the B&8, real estate office, vehicle/boat maintenance and repair shop, welding service shop, and
vehicle and boat storage facility. Pleasant Harbor Marina would also continue operation and remain
relatively unchanged, providing moorage and fuel services, and limited shopping and food service. The
only new traffic would come from the PRRD development of the golf course area and the addition of a
5,000 square foot office and tourist service center on the Tudor property. The Jupiter property would
have a service station and RV repair to serve tourists.
Water for Black Point and Pleasant Harbor would continue to be provided either by the existing
community wells or individual wells, and sewage and wastewater would continue to be treated by
individual septic systems and drain fields.
The alternative certainly has a significantly lower density and intensity from the Master Planned Resort.
Looking at the overall impacts and differences in impacts from the Master Planned Resort, the impact
of the no action alternative on the factors addressed in the scoping notice may be summarized as
follows.
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Pleasant Harbor Marina and Golf Resort
FINAL EIS - (Site Specific Amendment MLA 06-87)
Page 4-5 November 27,2007
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4.1.1 Shellfish
The no action alternative would permit the development of individual lots along the southern shore of
the master plan property, where homeowners would seek shoreline access and significant views.
When compared with the proposed resort the overall impervious surface coverage would be much less
for single-family homes and the small community golf course. Development under this alternative
would be served by septic tanks, which have historically been a potential problem on Hood Canal.
Mitigation for water quality in Hood Canal to protect fish and shellfish would have to be accomplished
through buffers and setbacks. Under the PRRD model, which has been identified as a reasonable
approach to development of such a large parcel, the lots would be long enough and deep enough
Pleasant Harbor Marina and Golf Resort
FINAL EIS - (Site Specific Amendment MLA 06-87)
Page 4-6 November 27, 2007
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(approximately 2 acres average size) to accommodate the house and related structures well back from
the top of the bluff to permit retention of a band of native vegetation to help control runoff, and the
septic tanks may be located well inland (within the smaller golf course property) to retain separation
between the septic tanks and the beach.
The residences would most likely retain ownership and access to the beach and would upgrade the
present beach access at least for pedestrian access. The reestablishment of beach access to serve
the plat and its residents would lead to some additional beach use adjacent to the Duckabush
tidelands, over the proposal, but the shellfish beds have been operational adjacent to much higher
existing density along US HWY 101 to the west over the past decades and the addition of 24 homes,
with septics well upland, should not pose an additional problem if properly situated and maintained.
The County's proposed shellfish protection district provides additional attention and potential conditions
to assure protection of water quality.
There is no shellfish harvesting in the harbor, due to the presence of the marina. New homes would
have to be located on septics and the current [Varitime Village would remain on septic. This is a less
desirable alternative than the sewer system, but authorized under both state and County regulations.
Any sale of the homes or upgrade of the marina facilities would entail inspection of the septic tanks and
drainfield systems and requirements for upgrade for those found inadequate.
The no action alternative is not expected to have any discernable impact on shellfish if properly
permitted. Mitigation to achieve shellfish protection under the no action alternative would include
requirements to retain a vegetated buffer to protect the southerly bluff to control stormwater, and a
requirement that septic tanks and drainfields be upgraded to meet current water quality protection
standards.
4.1.2Water
The site presently has 28 acre feet of water rights per year remaining from past practices, which is
sufficient to serve the proposed no action alternative. The pumping of that water to allowed limits has
not created salt water intrusion risk in the past and given the water profile for the area (see Water
Supply and Groundwater lmpact Analysis at Appendix 5), no impact from the water use for domestic
purposes is anticipated. The small golf course on the reserve tract would require approximately 31
acre feet of additional water rights, but the hydrologic report suggests that such water rights could be
available for the site to achieve permitted uses.
The additional lots within the MPR area, both on the waterside and west across US HWY 101 will be
served by individual wells and septic tanks and would have to locate such tanks well away from the
shoreline in the marina area. The topography and proximity to the water make it likely that such
development would occur on drainfields centrally located on Black Point away from the shorelines or
streams to avoid potential contamination to the harbor. Both the Tudor and Jupiter sites would be
served by individual exempt wells for residential purposes, but would have to secure a small water right
to serve rural tourist, small-scale commercial uses. The hydrology report suggests that such water
rights may be available to permit the development of these limited rural tourist uses.
No significant adverse impact to the area water supply system or water quality is anticipated through
the no action alternative. No additional mitigation is required beyond keeping septic systems well away
from the water's edge and requiring WDOE confirmation of existing water rights and approval for new
water rights for the anticipated uses. See Table 2 of Water Supply and Groundwater lmpact Analysis at
Appendix 5.
4.1.3 Transportation
The no action alternative is the alternative with the least traffic impact.
lntersection controls at Black Point Road and US HWY 101 will need to be addressed to create safe
turning movements for the anticipated additional traffic, the no action property, and the Black Point area
Pleasant Harbor Marina and Golf Resort
FINAL EIS - (Site Specific Amendment MLA 06-87)
Page 4-7 November 27, 2007
n
DESCRIPTION OF ALTERNATIVES REVIEWED AND IMPACTS CHAPTER 4
as a whole. ln addition, any plat approval requires the abutting Black Point Road to be brought up to
County standards, so the no action alternative would be expected to upgrade the existing roadway
deficiencies.
Such a plat would have little if any internal circulation (except a common pathway to the beach along
the existing trail/roadway serving the plat).
The Maritime Village area would remain essentially unchanged, since the lots in existence are already
less than allowed in the district and no subdivision upgrades would be expected. As such,
development review in the Maritime Village area for new houses would be limited to individual septic
and water source requirements under the County Health Code.
The small-scale commercial services proposed on the Tudor and Jupiter properties along US HWY 101
would seek individual access points on US HWY 101 that are offset from Black Point Road. The State
Highway Department controls access to US HWY 101 and any permit approval would require safe site
distance and separation between the entrances. The offset access points eliminate any direct cross
US HWY 101 movement, and the small size of the uses proposed would limit pedestrian or non
motorized access to the very occasional crossing, as now occurs elsewhere generally along US HWY
101.
Table 4-1 No Action Alternative: Trip Generation
LOS comparison is at Table 3-9
4.1.4 Public Services
The public service demands from an increase in the overall housing density of 30 units in the Master
Planned Resort area ate significantly less than the planned resort, but with correspondingly less
revenue from the development to support additional services. On a prorata basis, the addition of 30
homes is approximalely 4-5o/o of the people in the overall service area and a corresponding increase in
public service calls. Such increase is within the overall planned growth of the area through normal
groMh and attrition and no special action impacts have been identified and no specific mitigation is
identified at this plan level. The analysis holds true for police, fire, emergency services, and schools.
Pleasant Harbor Marina and Golf Resort
FINAL EIS - (Site Specific Amendment MLA 06-87)
Page 4-8 November 27,2007
LU PM Peak Daily
Exit Trim TripsNewCodeUnitsEnter
300Golf Course 430 9 11 14 25
Sinqle Family Unit 210 ?r)'19 1'1 30 300
814 5 f)o 14 200Specialty Retail
27 21 54 700Gas Station with Convenience Store 945 4
Less Passby Trips (56%)15 15 30 400
48 44 92 1,100
10 I 1B 200
38 36 74 900
Gross Total Trip Generation
I ess lnternal Trips Assunte 7O% Total
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DESCRIPTION OF ALTERNATIVES REVIEWED AND IMPACTS CHAPTER 4
All new development (except single-family homes on existing lots) requires environmental review and
as such public service demands on a project basis are reviewed and addressed.
4.1.5 Shorelines
The Rural zone on Pleasant Harbor would limit the residential development to 5-6 additional homes
only on existing lots. Special care needs to be taken with septic siting for such homes to assure a fully
functioning system does not adversely affect Pleasant Harbor. No additional pressure on the shoreline
other than that already present with the existing lots would be anticipated on the Pleasant Harbor side.
The siting of individual homes by owners for their own use does not require a shoreline permit and as
such, if the lots are simply sold (which requires no regulatory oversight), the lots could be developed
simply with the controls of a building permit, which does address setback requirements, and septic and
water approval through the health department.
The "conservancy" shoreline to the south has a much lower density allowed than the marina area, but
the no action PRRD alternative is achievable under the County zoning that fronts the southern shore on
the Master Planned Resort side. The homes would need to be set well back from the bluffs edge to
meet geologic hazard limits and Hood Canal water quality concerns, and as such the biggest impact
likely is the removal of additional vegetation along the shore to promote views and yards.
The impact of additional buildings on the separate lots on the harbor may lead to a demand for
additional single-purpose docks, and the shoreline trail on the south shore will require adequate design
and controls to assure that it does not lead to contamination of the abutting shellfish beds. Shoreline
permits are required as part of any subdivision development of the shoreline and would be able to
i m pose appropriate construction and post-construction m itigation.
4.1.6 Fish and Wildlife
Patches of natural habitat (trees and shrubs) remain on the lt/aritime Village side and can be protected
to provide riparian protection for the existing intermittent stream beds. The old campground site was
substantially disturbed during the RV resort use for nearly 20 years, but has regrown and provides
habitat for small mammals, deer, and birds, but has no primary association with endangered species.
See Fish and Wildlife Habitat Assessment, Appendix 7. The existing wetlands and buffers provide
isolated wetland habitat, which in the no action alternative would be left undisturbed.
The small 9-hole golf course will have more open space than the 18-hole course and will retain more
open space and wetland buffers than the proposal.
The alternative would have some greater impact on the natural habitat on the southern beachfront
riparian edge. The no action alternative may have greater impact to Hood Canal front habitat and less
impact in the central area. Given the zoning, however, and proximity to Hood Canal, development and
resulting habitat impacts are to be expected. It/itigation would occur through project review and habitat
mitigation plans. The fishery is not expected to be affected, assuming septic tanks are maintained well
inland, and provision is made in the plat approval to avoid direct runoff to the bay of untreated storm or
landscape water (conditions required of the Master Planned Resort).
4.1.7 Rural Character/Population
The loss of the Master Planned Resort limits the economic development potential for the area as the
key large parcel that could be devoted to major economic development will be turned over to very low
density development. The losses would be felt in significantly reduced tax revenues, reduced demand
for local services and supplies, reduced employment opportunities, and an inability to realize the vision
of the Brinnon Subarea Plan of a major resort providing an economic center for the south county region
to replace lost resource-related industries.
Pleasant Harbor Marina and Golf Resort
FINAL EIS - (Site Specific Amendment MLA 06-87)
Page 4-9 November 27,2007
DESCRIPTION OF ALTERNATIVES REVIEWED AND IMPACTS CHAPTER 4
4.1.8 Archeological and Cultural Resources
The Master Planned site has been examined for archeological and cultural resources, and no
significant resources were found. The creation of 24 home sites and a small golf course will cover
much of the same area, so project-level observations will be maintained during construction, but the
likelihood of significant adverse impact is considered remote. No specific mitigation requirements
would be required other than notification of appropriate offices should any new evidence be identified
during construction. Such condition would be imposed during the plat approval phase for any no action
proposal.
4.1.9 Critica! Areas
4.1.9.1Wetlands
The development of a PRRD subdivision with shoreline lots and an internal golf course allows the
development to retain the existing wetlands and buffers on the MPR site following the priority
preference to avoid impacts to wetlands, rather than modification and mitigation which is required by
the resort-based alternatives. No wetlands were identified on the marina, Tudor, or Jupiter sites.
Stormwater control plans would assure protection of a buffer and water regime to maintain functions
and values. Restoration would be possible through removal of invasive weeds and a weed protection
program.
4.1.9.2 Aquifer protection
The residential and septic use are permitted uses under the no action alternative in areas designed to
serve as groundwater recharge areas and compliance with local health rules about setbacks from
wellheads should be sufficient to avoid any material impacts.
The stormwater and critical area rules will provide some protection for the small intermittent streams on
the marina side, but additional capture and treatment facilities are required to avoid the direct runoff of
untreated storm water that is now occurring. Such upgrades to stormwater control would be piecemeal,
added in concert with the development or redevelopment of each site. This is considered a
disadvantage over the proposal, which provides a comprehensive treatment, but over time the sites
would be required to meet current stormwater requirements as properties develop or redevelop.
No additional area-wide mitigation would be available where the property builds out on individual lots,
unless the County elects to install public facilities.
4.1.9.3 Steep slopes
New homes on the south shore would need to be set back the minimum distance to assure safe
construction under the County geologic hazard regulations. On the marina side, existing lots may be
developed, even where steep lots exist, where engineering reports demonstrate safety. No significant
adverse impact is expected. The Tudor and Jupiter sites can be developed without material steep
slope issues, but would be required to comply where slopes do exist.
4.1.9.4 Fish and wildlife habitat
This has been addressed above.
4.1.9.5 Flood hazard
Not present.
4.1.10 Community lmpacts
Under this Alternative, the local economy would continue its current trends of modest growth from
tourism as the Puget Sound region as a whole grows. A variety of new businesses are allowed such as
home businesses, cottage industries, and small-scale tourist recreation uses under the existing UDC.
Pleasant Harbor Marina and Golf Resort
FINAL EIS - (Site Specific Amendment MLA 06-87)
Page 4-1 0 November 27,2007
T
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DESCRIPTION OF ALTERNATIVES REVIEWED AND IMPACTS CHAPTER 4
New business development would respond to resident town growth. The area would require
substantially less in the way of public services and facilities, but would be more dependent upon
residential property taxes due to the absence of a commercial tax base.
4.1.11Summary of lmpacts and Mitigation lssues under the No Action Alternative
1. The plat for the golf course side will require a native vegetation setback from the steep bluffs, a
setback into the reserve area for septic tanks, a construction and operation plan for the trail to the
south shore to protect shellfish beds, and approval of new water rights for the golf course.
2. The Maritime Village area will be required to upgrade stormwater control facilities as new
development occurs, and to site structures consistent with the shorelines and steep slope setbacks.
On-site wells would serve new uses, but septic facilities would have to be located off site, away
from the shoreline to protect water quality in the harbor. Building permits and shoreline permits will
provide adequate controls for the piecemeal development under the no action alternative.
3. The Jupiter and Tudor sites will be required to secure access permits for US HWY 101 to serve the
new development and new water rights secured for commercial uses.
Pleasant Harbor Marina and Golf Resort
FINAL EIS - (Site Specific Amendment MLA 06-87)
Page 4-1 1 November 27, 2007
DESCRIPTION OF ALTERNATIVES REVIEWED AND IMPACTS CHAPTER 4
4.2 Brinnon Subarea Plan Alternative
The Brinnon Subarea Plan (BSAP) Alternative (Figure 4-6) includes the entirety of the area identified in
the Brinnon Subarea plan as potentially suitable for a Master Planned Resort.
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The area in question is 310 acres in size and would also include the RV campground properties, the
existing Pleasant Harbor Marina complex and marina to the north, and the Tudor and Jupiter properties
west of US HWY 101 parcels opposite and immediately south of the Black Point Road intersection.
Pleasant Harbor Marina and Golf Resort
FINAL EIS - (Site Specific Amendment MLA 06-87)
v
Page 4-12 November 27, 2007
DESCRIPTION OF ALTERNATIVES REVIEWED AND IMPACTS CHAPTER 4
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This alternative assumes that all ownerships agree to participate in a Master Planned Resort program,
and thus have the properties limited to the uses permissible under the Master Planned Resort
provisions of the GMA and the County regulations.
ln many ways the Brinnon Subarea development would resemble the current proposal as the marina
and resort would be upgraded and served by sewer and a central water system. The biggest change
Pleasant Harbor Marina and Golf Resort
FINAL EIS - (Site Specific Amendment MLA 06-87)
Page 4-13 November 27, 2007
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would be on those properties outside of the present proposal, which could build out at urban resort
densities and not be limited to rural-scale development identified in the no action and hybrid
alternatives.
For comparison purposes, the resort area has been reconfigured to a hotel-centered resort with density
and intensity appropriate to the size and topography of the site. The marina expansion at Pleasant
Harbor mirrors the expansion planned in the Master Planned Resort, as the site is very confining and
few alternatives are available. Similarly, the marina to the north is constrained and little additional
development is anticipated. The most significant change would be that both would move from wells
and individual septic tanks to central water and sewer facilities, and on-site stormwater treatment and
disposal would be substantially upgraded over the current conditions.
Another change would be in the allowance of urban uses west of US HWY 101 on the Tudor and
Jupiter properties (approximately 24 acres). Here the provision of sewer and water allows resort-level
intensity of development and the provision of sewer and water, but also limits all uses to those
appropriately serving the resort and its customers.
The specifics area as follows:
o Development of an 18-hole golf course, with an associated clubhouse and pro shop. The
layout would be substantially similar to that of the Master Plan proposal due to topographic and
criticalarea limits.
o Construction of a 200-room hotel that would include a conference center, health/athletic
facilities, restaurant and gallery. This facility would be located in approximately the same area
as the central facility in the Master Plan proposal due to access and topographic concerns.
. Six bed and breakfast units at the waterside lots.
. Construction of 25 single-family and duplex units on 15lots along the southern shore, which are
the premium lots and would be used for the seasonal residents.
. The marina complex would be remodeled to approximately 7,000 square feet of small retail
spaces, with 20 hotel units above the retail, and the existing B&B would be retained and
expanded to provide a more intimate inn-type setting for small groups.
o The existing real estate office area would be developed into a 2,500 square foot gift shop and
office and tour center, which would be the hub for local tours and third party vendors.
o The parcel to the west across from the US HWY 101/Black Point Road intersection would be
integrated into the Master Planned Resort and provide a resort village and the commercial
center of the resort, including:
o 20,000 square foot village center building (on the Tudor property) with restaurant, grocery,
convenience, and gifts, as well as resort management and real estate sales office.
. A 2O-unit lnn on the highest point, providing views over the entire complex and a degree of
privacy for smaller groups, 20 town houses near the village center, and a village gas and
service facility (on the Jupiter site).
o The 30 acre WDFW site would be included, with modest upgrades to the existing boat launch.
Any proposed MPR would have to respond to the same site constraints and opportunities (e.9.
topography, land forms), so it is expected that the design and layout of the golf course would be
relatively similar to the Statesman proposal. Access to the golf course portion of the MPR would also
necessarily be located in the northeast corner of the site, where it abuts Black Point Road.
Pleasant Harbor Marina and Golf Resort
FINAL EIS - (Site Specific Amendment MLA 06-87)
Page 4-14 November 27, 2007
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DESCRIPTION OF ALTERNATIVES REVIEWED AND IMPACTS CHAPTER 4
Elements in common with the Master Plan proposal:
. Water quality and protection of Hood Canal would be of the highest priority.
. Protection of the traveling public and safety on US HWY 101 will be of the highest priority
A public water system and public sewer system with Class A recycled water system for irrigation
would be required with no off-site discharge. (This is a requirement of the Brinnon Subarea
Plan, which provides a Master Planned Resort is appropriate with an on-site system.)
Stormwater would need to be retained, treated to Puget Sound water quality standards (2005
Manual) and infiltrated on site to avoid offsite discharges.
Water rights would have to be secured, though the quantity would increase due to the increased
urban service area and uses.
. Traffic would require a controlled intersection or grade separation at US HWY 101. With the
additional uses on both sides of the highway, increased right of way width and controls would be
required to provide both pedestrian and vehicle safety.
r The Pleasant Harbor Marina would build out on sewer and water. Marina activities would be
within the framework of current approvals, but the facilities would be significantly upgraded to
eliminate the Tunicate infestation and to improve storm water controls.
Elements different from the Master Plan proposal:
. Sewer and water service could be extended to the marina facility to the north and to the Tudor
and Jupiter sites to the west, enabling urban levels of intensity, not rural as would exist under
the no action, lttlaster Plan/Hybrid proposal, where such lands are excluded from the urban
services available inside the approved resort Master Plan.
r The overall population, traffic, and intensity of development would be increased by the
development of the resort village west of US HWY 101. Such facilities make the resort more
self sustaining (that is, services and supplies may be obtained in the resort rather than in
Brinnon), which may reduce some traffic trips, but may also divert tourist dollars from Brinnon to
the resort.
. The full build out model in the BSAP proposal takes advantage of the waterfront lots potentially
available along the Canal shoreline for the seasonal tourist, and would require special attention
to protect water quality in the Canal.
Where the Tudor and Jupiter properties are included in the Master Planned Resort, the intensity west of
US HWY 101 takes on a distinctly urban feel as the area becomes the commercial village center. A
detail of the development which could occur under such model is shown in Figure 4-8.
The specific elements of the scoping notice can be reviewed, then, in the context of the differences
between the Brinnon Subarea Plan under review and the Master Plan alternative.
4.2.1 Shellfish
The BSAP alternative within the Master Plan alternative would have substantially the same foot print as
the Master Plan proposal and would be subject to the same conditions to eliminate off-site discharge
and protect shellfish. The biggest difference would be the addition of housing along the southern
shoreline. The use of this area as increased density and impervious surface would require plat and
shoreline conditions to control storm water, including a 1O0-foot setback from the top of the bluff for any
structure, and a 50-foot native vegetation strip to control stormwater discharge.
The additional density west of US HWY 101 will significantly increase impervious surface and sewer
and water use, but as long as all stormwater is infiltrated onsite and all waste water is treated to Class
A recycled standards, no additional impact from the physical development is anticipated on shellfish.
Pleasant Harbor Marina and Golf Resort
FINAL EIS - (Site Specific Amendment MLA 06-87)
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Page 4-15 November 27,2007
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DESCRIPTION OF ALTERNATIVES REVIEWED AND IMPACTS CHAPTER 4
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Construction period impacts, including cuts and fills and grading, would mirror the Master Plan proposal
east of US HWY 101, and would be increased west of US HWY 101. The additional grading west of
US HWY 101 is not anticipated to be material as most of the area has previously been logged and
stormwater can be controlled prior to crossing US HWY 101 to provide protection to the waters of the
harbor and Hood Canal.
The increase in impervious surfaces and potential for increased storm water runoff will require that all
stormwater from the new development be treated so no contaminated or turbid stormwater from the
Hybrid areas enter the storm discharge ditches crossing the highway and entering the harbor. The best
way to achieve this result is to require all stormwater within the BSAP alternative to be infiltrated onsite
and eliminate off-site discharges, except the marina, where treatment is required before discharge.
The mitigating conditions would be the same as the proposal, but the scope of coverage would be the
Pleasant Harbor Marina and Golf Resort
FINAL EIS - (Site Specific Amendment MLA 06-87)
Page 4-'16 November 27,2007
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DESCRIPTION OF ALTERNATIVES REVIEWED AND IMPACTS CHAPTER 4
full 31O-acre site. These conditions will be enforced at the time of BSAP area development through plat
or site plan review controls.
4.2.2Waler
The BSAP area would be under the water system and sewer system limits of the Master Plan. Water
rights would be a limiting factor as the addition of a restaurant and shops and would increase the
overall water demand. Here again, as with the Master Plan alternative, the total water demand would
be reduced by the use of a reuse recycling wastewater treatment facility, and the adaptation of
rainwater harvesting techniques to limit total consumptive use to much less. According to the
hydrogeology reports, the ground water in the area could accommodate the use without affecting other
senior rights, or creating the risk of groundwater intrusion. Both points would be required to be
demonstrated during the plat approvalfor any phase of the Brinnon Subarea Plan.
The BSAP alternative provides the benefit of creating well locations farther upland than the Master Plan
alternative if appropriate well locations can be sited west of US HWY 101 and such action would reduce
any limited risk of salt water intrusion as a result of the increased water demand of the larger BSAP
model. See Table 2 of Water Supply and Groundwater lmpact Analysis at Appendix 5.
4.2.3 Transportation
The biggest impact of extending the resort both north to the northerly marina and westerly across US
HWY 101 is a significant increase in local trafficatthe Black Point intersection. US HWY 101 access
points will have to be limited to a single access point for the westerly properties at Black Point Road
and speed and turning controls instituted to assure that the overall LOS of "C" is retained, as is
adequate sight distance and queuing room. Provision must also be made for pedestrian crossing and
to accommodate both crossing and through non motorized traffic (particularly bicycles).
The configuration of US HWY 101 at this location, togetherwith the inability to install a signal at this
location, suggests that the only way to accommodate traffic successfully would be to prohibit a crossing
movement and use an overpass to achieve east side west side connectivity.
The traffic report shows the BSAP proposal as an overall matter can be accommodated by the existing
roads and highways without the need for significant off-site changes.
Table 4-2 Brinnon Subarea Plan Alternative: Trip Generation
LOS comparison is at Table 3-9.
4.2.4 Public Services
The BSAP alternative would decrease the overall population at the resort and increase the commercial
service areas by about 100%, adding proportionally to the EMS, fire service, public health and safety
demands, but not significantly different for schools and other services. Adequate potable water and fire
flow will be required for all of the new structures and the Memorandum of Understanding (MOU)
process identified for the Master Plan proposal would be in place to address the size and frequency of
Pleasant Harbor Marina and Golf Resort
FINAL EIS - (Site Specific Amendment MLA 06-87)
LU PM Peak Daaly
New Code U nits Ents Erit Trips Trips
Golf Ccrx 430 1B 2)?B 49
All furtc! I lotcl 311 20o 44 8U 1.(ruO
Conftrcrcc Facilitv (Salish Lodoc)[/a 25t)25 35 60 40(]
5inulc Ianrilv I lnit 21(J 'I ti
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146 166 312 3,800
29 JJ 62
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Page 4-17 November 27,2007
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DESCRIPTION OF ALTERNATIVES REVIEWED AND IMPACTS CHAPTER 4
public service needs and would have to be approved prior to preliminary plat approval. The differences
in the level of activity required are viewed as differences due to increased demand, but not different in
kind from the Master Plan program, and the MOU process is an appropriate means of addressing
specific mitigation requirements in view of specific plans proposed consistent with the Master Plan.
4.2.5 Shorelines
The BSAP development looks to increased development on the west side of US HWY 101 and as such,
with the stormwater, well, and sewer controls discussed above no significant adverse impact to the
shorelines are anticipated. Both marinas would operate within previously approved permit levels and
as such no material impact would be expected over the Master Plan proposal.
lncremental use of the shoreline would be promoted by the introduction of additional residential units
along the southern shoreline, which would be similar to the residential uses in the hybrid alternative and
would require similar conditions. Access to the beach areas would be increased, which is a Shoreline
priority, but careful controls would have to be imposed through the shoreline process to assure that
water quality would be protected. The harbor shorelines would be subject to development very similar
to the Master Plan proposal and no material differences, or different conditions would be anticipated.
4.2.6 Fish and Wildlife
Fisheries-related issues are protected by the requirement to maintain and protect water quality through
managed stormwater, water system, and sewer system developments that eliminate off-site discharge
of water on the site.
Much of the BSAP area has already been logged, cleared, and otherwise used for tourist and public
use activities. As with the Master Plan proposal, the site has occasional use by local wildlife. Further,
the proximity to US HWY 101 makes the site a hazard for wildlife crossing, so development that
discourages wildlife in this particular area (with a busy intersection) would not have a material impact
on wildlife migration or habitat areas. As with the Master Plan program/Hybrid alternative, the
Tudor/Jupiter property development west of US HWY 101 would be required to provide buffer and
screening from excess noise and light to adjoining undeveloped areas and would need to create and
enforce a waste and garbage disposal program reflecting the fact that bears are found in the area.
Such conditions would be imposed at the plat, binding site plan, and conditional use permit review
period.
4.2.7 Rural C haracter/Po pu lation
The Pleasant Harbor Master Planned Resort provides the basic economic boost to the community
anticipated in the comprehensive plan and discussed in more detail in conjunction with the proposal.
The BSAP alternative provides a different employment and revenue boost to the community, with
substantially less resort development and the shift of commercial sales from Brinnon to the resort
village center. The BSAP model would provide an employment base to serve the resort village similar
to the proposed alternative, but here again, the increase in employment onsite would be offset by a
reduction of employment in the facilities which would otherwise serve the project in the RVC and overall
no significant net increase in overall population would be anticipated.
The principal difference between the proposal and the BSAP model is that the proposal is financed by
owners who purchase units and have them managed in a resort pool. The BSAP is dependent upon a
single owner manager with a much smaller residential base to support the facility. Such facilities are
much more susceptible to market swings and thus less likely to be funded in the first place and more
likely to be closed in a significant economic downturn than one which has multiple owners in more than
800 units.
Pleasant Harbor Marina and Golf Resort
FINAL EIS - (Site Specific Amendment MLA 06-87)
Page 4-'18 November 27 ,2007
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DESCRIPTION OF ALTERNATIVES REVIEWED AND IMPACTS CHAPTER 4
4.2.8 Archeological and Cultural Resources
The BSAP sites added to the Master Plan would have to be examined as a prerequisite to building, but
as no significant resources were found on the Master Planned Resort site, no change to cultural
resources is expected under the BSAP proposal.
4.2.9 Critica! Areas
4.2.9.1Wetlands
No wetlands are identified on the west side of US HWY 101 and thus no wetland impacts are expected.
The golf course for the BSAP alternative will skirt the wetlands on the east side of US HWY 101 and the
topography of the site, together with the need for a major pond to retain storm and recycled waters,
mean that the conversion of one of the kettles to the waste water management and irrigation systems
would likewise be required. As such, the wetlands impacts would be the same and similar mitigation
requirements to replace lost wetlands and buffers would be imposed. Under County rules one
difference is that the BSAP proposal which includes development of the south shore as a residential
area, would not be able to create the larger patch buffer proposed for the Master Plan and would rely
more on linear wetlands and buffers. A detailed wetland mitigation plan to identify specific impacts to
wetlands and a demonstration that wetland and buffer replacement under County guidelines are
feasible would be a requirement of preliminary plat approval.
4.2.9.2 Aquifer protection
The addition of the west side properties allows the potential for wells to be located even farther from the
water than those in the Master Plan proposal, increasing the ability to pump the aquifer without creating
any risk of sea water intrusion. The golf course management under King County rules recognized by
the County, or substantially equivalent, will also reduce the likelihood of ground water contamination
and would be substantially similar to the Master Plan proposal. The elimination of septic tanks for the
marina to the north, and for the Tudor and Jupiter properties, would have the benefit of eliminating
septic facility impact to the aquifer, harbor, and canal. Such use would be beneficial to the marina, but
of limited benefit to the Tudor and Jupiter properties, which are already substantially removed from the
water's edge. No material impact to the aquifer different from that of the Master Plan proposed is
anticipated for aquifer protection.
4.2.9.3 Steep slopes
The development of the south shore for residential purposes will require steep slope limitations on any
development to protect the bluffs and public safety. The BSAP would recommend a building setback
from steep slopes of 100 feet (closer than the Hybrid alternative due to the additional activity on the
site) and the same native vegetation strip to control drainage. For the balance of the BSAP property,
the County steep slope buffers would control development, whether under Master Plan, no action
BSAP, or Hybrid alternatives. The principal constraint is a requirement to set back from the top of
banks, which can be accommodated under all of the alternatives, including the BSAP proposal.
4.2.9.4 Fish and wildlife habitat
This has been addressed above.
4.2.9.5 Flood hazard
Not present.
Pleasant Harbor Marina and Golf Resort
FINAL EIS - (Site Specific Amendment MLA 06-87)
Page 4-19 November 27,2007
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DESCRIPTION OF ALTERNATIVES REVIEWED AND IMPACTS CHAPTER 4
4.2.10 Summary of impacts and mitigation requirements under the BSAP Alternative
o All of the conditions of the proposed Master Plan would be included.
o Additional services from the increased tourist area would be addressed in the MOU program,
which must be in place by the time of preliminary plat approval.
. The area would benefit from the northern marina being added to the sewer service area,
eliminating a commercial septic from the harbor area.
Summary of different impacts:
. The traffic impacts of the greater commercial development west of US HWY 101 will be
substantially greater as additional right of way, pedestrian, and traffic safety improvements will
be greater than the Master Plan proposal and would likely require overpass crossings for both
pedestrians and vehicles, a significantly limiting factor.
. The property value reduction and shift of commercial revenues from the Brinnon commercial
area to the resort owners reduces the efforts to expand commercial activity in Brinnon.
o Water use is likely to be no impact, as in the proposal, as rainwater harvesting/recycling can
serve the facility on a zero net increase to the aquifer.
. Critical area protection, habitat protection, shellfish protection, and cultural resources will remain
the same as the proposal.
4.3 Hybrid Plan
The Hybrid Alternative (Figure 4-9) is the proposal with the balance of the properties and particularly
those west of US HWY 101 developing under the County RR1-5 guidelines. RR-1-5 guidelines are
restrictive with one unit per five acre the base density for residential purposes with very limited business
allowed and multifamily prohibited. The land west of US HWY 101 is in a series of ownerships and is
compressed against US HWY 101 with limited access possibilities due to the need to align intersections
with Black Point Road and the general limitation on state highway access.
Assuming approximately 24 acres in size, the range of alternatives for the Hybrid development west of
US HWY 101 would be as follows:
Four residential units with accessory units available for rental, one or more of which could be a small
bed and breakfast to serve the traveling public. The area could include a small tourist information
center, which could include a small gift shop as accessory use. Lands located off the US HWY 101
frontage may be developed into a small RV park to accommodate the small number of RV users who
still use the Black Point site and will be displaced by the resort, and the RV park could have a small
restauranUconvenience center associated with the RV park and generally rural, recreational, and tourist
USES.
The hybrid alternative looks at the development of the area, including the Master Planned Resort, so
the Master Planned Resort impacts and mitigation previously discussed would be part of the analysis.
The incremental impact of the Hybrid alternative is discussed below. As the Hybrid alternative is not
part of the Master Planned Resort, the utilities and facilities must be rural, not urban, in nature, and any
such development would be on individual wells and septic tanks.
Pleasant Harbor Marina and Golf Resort
FINAL EIS - (Site Specific Amendment MLA 06-87)
Page 4-20 November 27,2007
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DESCRIPTION OF ALTERNATIVES REVIEWED AND IMPACTS CHAPTER 4
-
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Figure 4-9 Hybrid Alternative - West of US HWY 101
4.3.1 Shellfish
The hybrid alternative would be west of US HWY 101 and therefore have no direct contact with the
harbor or Hood Canal. Nevertheless, the increase in impervious surfaces and potential for increased
stormwater runoff will require that all stormwater from the new development be treated so no
contaminated or turbid stormwater from the hybrid areas enter the storm discharge ditches crossing the
highway and entering the harbor. This condition will be enforced at the time of Hybrid area
development through plat or site plan review controls.
Pleasant Harbor Marina and Golf Resort
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Page 4-21 November 27,2007
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DESCRIPTION OF ALTERNATIVES REVIEWED AND IMPACTS CHAPTER 4
4.3.2 Water
Under the Hybrid program the Master Plan would operate as identified in Chapter 3. The Hybrid area is
outside the Master Planned Resort and thus limited to 5,000 gallons per day for residential uses (per
existing lot or project) or approximately 10,000 gallons per day with the Hybrid area developed by two
separate owners. A small public water supply would be required to serve the RV park and any
environmental review of the park requires the applicant to demonstrate (1) adequate water is in fact
available from wells at the time of development and (2)that such withdrawal will not affect the aquifer or
create a potential for salt water intrusion. (Environmental review at the time of plat or binding site plan
and conditional use approval would require supplemental reports on both topics before development
approval would be granted.)
The Hybrid facilities would not have access to the MPR sewer system and would be limited to septic
tanks under the control and standards of the County Health Department. The Hybrid areas are several
hundred to 1,000 feet away from the shoreline and properly functioning septic systems should pose no
material health or safety issues.
As with the Statesman and BSAP alternatives, there is a negligible aquifer impact due to the Hybrid
alternative. Once water harvesting rights are acquired, there will be a slight positive impact to the
aquifer as it will receive greater recharge than under predevelopment conditions. See Table 2 of
Water Supply and Groundwater lmpact Analysis at Appendix 5.
4.3.3 Transportation
The key transportation issue is US HWY 101, which carries high levels of traffic during the summer
time, though well within the allowed "C" levels of service required for State highways. The key
mitigation will be a controlled intersection with left turn and passing lanes at an intersection serving both
the resort and the westerly development, with both sides then served by frontage roads or internal
circulation. lmplementation of this condition will be through plat, binding site plan, and conditional use
controls atthe time of development. Even with these controls, the inabilityto signal US HWY 101 at
Black Point Road will be a limiting feature. A pedestrian overpass would likely be appropriate,
reflecting the amount of non-motorized traffic anticipated between the west areas and the resort, and
road access points carefully sited to avoid crossing movements and providing adequate queuing for
turning movements. Traffic access may well be a limiting factor in the hybrid alternative unless an
overpass is provided as with the BSAP alternative.
With the hybrid model proposed, the LOS for key intersections still remains within acceptable levels,
assuming the intersection issues at Black Point Road are properly addressed.
Pleasant Harbor Marina and Golf Resort
FINAL EIS - (Site Specific Amendment MLA 06-87)
Page 4-22 November 27, 2007
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DESCRIPTION OF ALTERNATIVES REVIEWED AND IMPACTS CHAPTER 4
Table 4-3 Hybrid Alternative: Trip Generation
Land Use
ITE Land
Use Code Size
P.M. Peak Daily
TripsEnterExitTrips
Resort Rentals - ITE All Suites Hotel 311 154 28 34 62 800
Condominiums/Townhouses 230 216 76 37 113 1,200
Recreational Homes/Adult
Community
260 420 45 64 109 1,300
Golf Course 430 123 4 8 12 200
Specialty Retail 824 16.5 18 26 45 700
Low-Rise Apartments 221 100 45 22 68 700
Conference Facilitv (Salish Lodoe)nla 250 25 35 60 400
Madna (existing vested use)420 311 35 24 59 900
RV Park 416 50 13 6 19 200
Recreational Homes 260 4 0 1 1 10
Gas Station with Convenience Store 945 4 27 27 54 1,000
Less Pass-by Trips (56%)-15 -15 -30 -600
Gross Total Trip Generation 301 269 570 6,800
Less lnternal Trips - Assume 20% Total -60 -54 -1 14 -1,400
Marina (Existinq Uses)-25 -35 -60 -400
Net Proiect Trip Generation 216 180 396 5,000
LOS comparison is at Table 3-9.
4.3.4 Public Services
The public service demands of the Hybrid alternative would add additional tourist facilities to the
community, which imposes police, EMS, and fire service demands, but not significantly different than
the facilities presently in place in the Brinnon area being displaced by the Master Planned Resort.
Adequate potable water and fire flow will be required for all of the new structures. Binding site plan
conditions would identify the full scope of necessary services, but the increased demand is well within
the planned development for the area and poses no new or unanticipated demands on the County
system. The MOU approach used by the proposal to address public service demands is suggested for
the hybrid approach as specific public service demands are very program dependent. The MOU
provides a regulatory tool to assure that mitigation is appropriate and proportionate to the new
demands created by the hybrid options.
4.3.5 Shorelines
The Hybrid development looks to development on the west side of US HWY 101 and thus, with the
stormwater, well, and septic controls discussed above, no significant adverse impact to the shorelines
are anticipated.
lncremental use of the shoreline would be promoted by the Hybrid alternative, but the additional use
brought to the area by a 50-unit RV park is not considered material in light of the number of camping
spaces already in the area through both the state park and national park system.
4.3.6 Fish and Wildlife
The Hybrid area is characterized by some clearing and logging with patches of trees. No critical areas
were identified from review of air photos. (See Figure 4-9.)
The Tudor site does have trees onsite that provide habitat for common species (deer and birds). The
sites are sandwiched between Mt. Jupiter Road and US HWY 101 and as such are not considered
Pleasant Harbor Marina and Golf Resort
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DESCRIPTION OF ALTERNATIVES REVIEWED AND IMPACTS CHAPTER 4
prime habitat. Development of the Hybrid alternative would reduce tree cover and would introduce
activity for the RV park and commercial center.
Site-specific wildlife assessment would be required, but the site does have the ability to buffer
surrounding lands and topography creates a physical separation for activity on the lower shelf on the
Tudor property from the less developed areas to the west. The Jupiter site is substantially cleared and
little additional impact is expected.
Much of the Hybrid area has already been logged and cleared on site. Further, the proximity to US
HWY 101 makes the site ahazard should wildlife populate the area, so development that discourages
wildlife in this particular area (with a busy intersection) would be a general benefit, rather than
detriment. The RV park needs to provide buffer and screening from excess noise and light to adjoining
undeveloped areas and needs to create and enforce a waste and garbage disposal program reflecting
the fact that bears are found in the area. Such conditions would be imposed at the plat, binding site
plan, and conditional use permit review period.
4.3.7 Rural Character/Population
The Pleasant Harbor Master Planned Resort provides the basic economic boost to the community
anticipated in the comprehensive plan and discussed in more detail in conjunction with the proposal.
The Hybrid, non-resort rural development expected to develop in concert with the resort, but under rural
rules, provides an incremental employment and revenue boost to the community, but at a very small
scale (less than a dozen employees likely).
4.3.8 Archeological and Cultura! Resources
The Hybrid sites would have to be examined and as no significant resources were found on the Master
Planned Resort site, no change to cultural resources is expected.
4.3.9 Critical Areas
4.3.9.1 Wetlands
No wetlands are identified on the Hybrid side of US HWY 101 and thus no wetland impacts are
expected.
4.3.9.2 Aquifer protection
The residential and septic uses are permitted uses in areas designed to serve as groundwater recharge
areas and compliance with local health rules about setbacks from wellheads should be sufficient to
avoid any material impacts.
The stormwater and critical area rules will provide some protection for the small intermittent streams on
the marina side, but additional capture and treatment facilities are required to avoid the direct runoff of
untreated storm water that is now occurring.
4.3.9.3 Steep slopes
Access in the northern Hybrid area is affected by steep slopes (see Figure 4-5), but access and the
frontage roads may be designed to avoid the steep slopes and achieve the necessary protection
required by the critical area ordinance. These conditions would be imposed at plat, site plan review,
and conditional use permit proceedings.
4.3.9.4 Fish and wildlife habitat
This has been addressed above.
4.3.9.5 Flood hazard
Not present.
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DESCRIPTION OF ALTERNATIVES REVIEWED AND IMPACTS CHAPTER 4
4.3.10 Summary of Impacts and Mitigation Requirements under the Hybrid Alternative
o The area east of US HWY 101 is subject to all mitigation outlined in Chapter 3.
. The uses west of US HWY 101 must be limited in scale to uses consistent with small-scale
resort and tourist service use under the rural zones of the Jefferson County Code.
. The uses west of US HWY 101 shall be limited to onsite well and wastewater disposal and may
not hook to urban utilities from the Master Planned Resort.
. All development west of US HWY 101 shall be subject to development conditions identified in
an approved stormwater management plan, wastewater disposal plan (septic approval under
Jefferson County Health Code), and Public Works Department standards for roads and road
frontage improvements.
o All traffic access to US HWY 101 shall be supported by a detailed traffic study and approval of
WSDOT and Jefferson County Department of Public Works for motorized and nonmotorized
transportation.
57 57 7 -000 1 I LEG AL1 37 2421 0. 1
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DESCRIPTION OF ALTERNATIVES REVIEWED AND IMPACTS CHAPTER 4
Pleasant Harbor Marina and Golf Resort
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Page 4-26 November 27,2007
FEIS MITIGATING CONDITIONS FOR SUBSEQUENT PROJECT REVIEW, TECHNICAL COMMENTS
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CHAPTER s-FEIS MITIGATING CONDITIONS FOR
SUBSEQUENT PROJECT REVIEW TECHNICAL
COMMENTS, AND COMMENT LOG
5.1 Conditions for Permit Approval in Any Phase of the Approved Proposed
MPR
The mitigation requirements of the FEIS are set forth below and shall be subject to review and approval
as appropriate at all project permit phases.
Pleasant Harbor Marina and Golf Resort
FINAL EIS - (Site Specific Amendment MLA 06-87)
Shellfish. DEIS Section 3.2, pp. 3-2 - 3-11
Water Quality Mitigation, for Shellfish, as specified in DEIS at Section 3.2.7
. During construction (all permits).
o Construction period NPDES general permits will need to be obtained from WDOE and conditions
followed to control stormwater during construction to assure no offsite discharge.
o All construction shall be covered by a stormwater management plan from Jefferson County to
show how stormwater shall be collected and infiltrated to prevent any turbidity, sediment, or
other contaminants from reaching the harbor or waters of Hood Canal.
o All stormwater crossing newly constructed surfaces shall be captured and treated onsite before
discharge, including the golf course side, where irrigation and stormwater shall be captured
treated, retained, and infiltrated onsite with no offsite discharge.
o A stormwater site plan that includes a construction stormwater pollution prevention plan shall be
developed by the proponent and reviewed and approved by Jefferson County prior to conducting
land disturbing activity on the site.
. During operation (Maritime Village permits)
o All stormwater from impervious surfaces shall be captured and treated to Puget Sound Water
Quality standards (2005 edition) before discharge.
o There shall be no discharge of sewage or contaminated bilge waters at the marina. Pump out
facilities shall be provided and operational at all times.
o Cleaning of fish or sea life shall be prohibited within the controlled access areas of the marina.
o The Project perrnits shall incorporate shellfish protection district guidelines.
o The marina shall contract for the right to inspect any vessel that in the opinion of management
may jeopardize water quality.
o The marina shall develop and manage an active boater education program appropriate to the
marina setting to supplement the County program developed as part of the shellfish protection
district.
Page 5-1 November 27,2007
FEIS MITIGATING CONDITIONS FOR SUBSEQUENT PROJECT REVIEW, TECHNICAL COMMENTS
AND COMMENT LOG CHAPTER 5
Pleasant Harbor Marina and Golf Resort
FINAL EIS - (Site Specific Amendment MLA 06-87)
a
o All fueling operations shall be brought up to current codes and protection against leaks, and
unauthorized discharges shall be provided as part of any permit issued for work on the marina
side of the resort. This is a first priority for the project. Fueling permits for facilities shall also
require a refueling plan approved by the local Fire Code official as part of the first permit and in
place prior to the issuance of any certificate of occupancy for work at the marina or Maritime
Village.
o Fuel storage or transfer shall be prohibited on marina floats, docks, piers, and storage lockers.
o Jefferson County will require a marina management program enforced by the operator that shall
provide:
o No storage shall be permitted on docks, including storage of oily rags, open paints, or other
flammable or environmentally hazardous materials except emergency equipment as
approved in the Emergency Service MOU.
o Painting, scraping, and refinishing of boats shall be limited to minor repairs when in the
water, which do not result in any discharge to the waters of the harbor.
o Any minor repairs must employ a containment barrier that prevents debris from entering the
marine waters.
o Cleaning of fish or sea life shall be prohibited within the controlled access areas of the
marina.
o Notification and information about shellfish conditions, licenses, and limits will be available at the
proposed development at specific locations, such as the marina, [i/aritime Village, and
Conference Center.
o The marina operations shall incorporate mitigation requirements appropriate under the County
Shellfish Protection Plan, and shall integrate a boater education program into a marina public
education plan, which shall be implemented and maintained for as long as the resort is in
operation, as part of a resort habitat management plan.
o The marina operations shall collect water quality data (from State sources as long as available or
from approved testing plan should the state sources move or not accurately reflect Pleasant
Harbor conditions), and shall be required to participate with the County Public Works Department
in an adaptive management program to eliminate, minimize, and fully mitigate any changes
arising from the resort and related Pleasant Harbor or Maritime Village.
During operation (Black Point Golf Course Lands)
o Construction and grading permits shall require stormwater management plans to demonstrate no
discharge to waters of Pleasant Harbor or Hood Canal of any contaminants, turbid waters, or
sediments as a result of operations.
o The stormwater management system for all phases shall capture, treat, and infiltrate or store for
reuse all stormwater from impervious surfaces of the improved golf course areas.
o The golf course shall be operated in accordance with the best practice standards of the King
County golf course management guidelines, or substantial equivalent, including, but not limited
to, American Golf Association standards.
o The golf course/resort facilities will be required to participate in any adaptive management
programs required by the County as a result of the water quality monitoring program described
above and any changes caused by the resort operations.
o A pet management plan shall be required to address pet waste issues.
Page 5-2 November 27,2007
FEIS MITIGATING CONDITIONS FOR SUBSEQUENT PROJECT REVIEW, TECHNICAL COMMENTS
AND COMMENT LOG CHAPTER 5
Additional Shellfish-related Gonditions or Considerations ldentified in DEIS:
. The marina is permitted for 285 slips.
. Existing Marina permit conditions and mitigations from Shoreline Substantial Development Permit
SDP96-0009 are retained. $3.2.1.1
o Have spill prevention plans and spill containment facilities in place. S3.2.1.1
. Replace existing septic system for marina with a sewage treatment system that will provide irrigation
water to golf course. S3.2.1.1
. Developer will work with State to facilitate and perform the work necessary to eradicate Tunicates
where possible in the marina. $3.2.2
. Limit construction grading on the Marina side to new road alignment, development pads, and
parking areas. 53.2.6
Additional Shellfish-related conditions ldentified in Appendix 2 - Marina lmpact Analysis:
. There shall be no discharge of sewage in U.S. waters. Boat owners shall use holding tank pump out
and potty-dump stations located at the marina. The marina shall have restroom and shower facilities
on shore for marina residences.
Water Resources (Use, Reuse, Management, Treatment, and Disposa!).
DEIS Section 3.3, pp. 3-11 - 3-33
Water Summary and Conditions, as specified in DEIS at Section 3.3.8
. Sewer service (onsite system)
o Any project approval for the golf course area will require construction and operation permits for a
wastewater treatment system for the project by WDOE and an operational plan in place as a
condition of final plat approval and construction of any structures for occupancy or residency.
o Any project approval for the Maritime Village remodel and upgrade shall include a demonstration
that existing facilities can adequately serve the remodel areas. No additional residential units
would be approved until the sewer system is installed and operating.
Water supply, groundwater, and rainwater harvesting
o Any project approval for the resort shall contain a condition that the applicant demonstrates
entitlement to sufficient water rights to serve the approved phase from WDOE (water rights,
transfer, and/or rainwater harvesting rights and use conditions) prior to preliminary plat approval
and construction of any facilities on the property.
Water quality
o Stormwater management plans for clearing and grading and for construction and operation
phases must be approved and systems in place prior to land disturbing activities to assure
control of the stormwater as provided above.
o The golf course project approval shall require the adoption of best management practices for the
management of stormwater onsite and the reuse of water as irrigation water, with a condition
that the system demonstrate no direct discharge to Hood Canal of any stormwater from
impervious or golf course surfaces, and that the grass management program include specific
BMPs to assure proper management of all elements of the qolf course manaqement system
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a
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a
consistent with best available technology for management in aquifer sensitive areas or its
substantial equivalent.
o Approval of any permits for the marina redevelopment area shall be conditioned upon the
approval of a stormwater management plan that intercepts and treats all stormwater from
existing or new impervious surfaces to Puget Sound water quality management standards prior
to discharge, and that the Maritime Village has a plan and facilities in place to deal with any
upland upset that may threaten pollutant discharge to Pleasant Harbor.
o The Project Engineer shall be responsible for ensuring that State and County stormwater
management standards are met. Clearing, grading, implementation of the Construction
Stormwater Pollution Prevention Plan, and construction of roads and stormwater management
facilities shall be conducted under the supervision of the Project Engineer. The Project Engineer
shall submit weekly reports to Jefferson County while construction is in progress.
Grou ndwater protection and saltwater i ntrusion
o Preliminary plat approval for the golf course resort that requires water use in excess of current
approved water rights. Preliminary plat approval shall require a hydrogeological report
demonstrating that the additional water use does not pose a threat of saltwater intrusion to
existing wells or sources of water supply. A hydrogeological report is required for each
construction or development phase to demonstrate compliance with this condition.
o Surface water and particularly irrigation water and potential migration to the harbor or Hood
Canal were addressed in the section on water quality above.
Fire fighting flow
o Adequate and sustainable fire flow will be provided by the Class A water system. The Class A
water system will provide this level of service at all times.
AdditionalWater Resources-related Conditions or Considerations ldentified in DEIS:
. Construction site stormwater runoff for the project is to be regulated at the state level by WDOE
through the 2005 Stormwater Management Manual for Western Washington and at the local level by
the Jefferson County Stormwater Management Plan. 53.3.7
. A Construction General Stormwater Permit is required for all development activities where more
than one acre will be disturbed and stormwater will be discharged to surface water or to storm drains
that discharge to surface water.
. The project will require a construction Stormwater Pollution Prevention Plan (SWPPP). 53.3.7
. Low lmpact Development - all water on the site will be collected and either used appropriately
onsite, routed to the storage ponds, or infiltrated to the groundwater aquifer - a zeto discharge
criterion, except at the Maritime Village where zero discharge cannot be achieved because of
topography. 53.3.7
Additional Water-Resources-related Conditions or Considerations ldentified in Appendix 5 -
Water Supply and Groundwater lmpact Analysis:
. The project will develop susceptibility ratings for the site and develop adaptive management
procedures to maintain groundwater quality and quantity.
. Groundwater and water quality monitoring will be performed at monitoring wells installed along the
bluff and interior of the project site.
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Transportation. DEIS Section 3.4, pp. 3-34 - 3-49
Mitigation Measures Transportation Summary, as specified in DEIS at Section 3.4.4
. The following traffic mitigation measures will be required as part of a preliminary plat approval for
each project phase.
o Fully fund and construct associated improvements for Black Point Road to meet County
standards from US HWY 101 to the project entrance.
o Provide adequate sight distance to the east of the proposed main site driveways onto Black
Point Road and the egress from Maritime Village onto US HWY 10'1 to improve and maximize
entering and exit sight distance.
o Atthe US HWY 101 and Black Point Road intersection, provide a southbound left-turn lane as
part of project development in all scenarios except the no action alternative. With the Statesman
proposal, the expansion of the existing T-intersection would also provide for a median refuge
area for left turns from Black Point Road onto US HWY 101 .
o Provide a northbound right-turn pocket or taper at US HWY 101 at the Black Point Road
intersection under the Statesman proposal.
o Residents of the Maritime Village shall be given access to the golf course resort without traveling
US HWY 101. A detailed traffic design to accommodate traffic on US HWY 101 returning to the
resort must be developed, with further traffic analysis and design approval by WDOT and
Jefferson County.
o Reconstruct the Black Point Road approach to US HWY 101 with adjacent left turning lanes, a
widened approach onto US HWY 101, and an "entrytreatment" on Black Point Road at US HWY
101. The proposed site access concept would also include a consolidated intersection onto
Black Point Road with a realignment of the WDFW boat launch at Pleasant Harbor.
o Provide all access roads and internal roads available for public use to County road standards.
Private drives may be to a lesser standard approved by the Pubic Works Department and
emergency service providers during the preliminary plat phase if desired by the applicant.
o Provide an internal pathway and circulation system within the site that would not impact County
or State highways, would provide for pedestrian and bicycle circulation between the two main
development districts, and would allow US HWY 101 bicycle traffic bypass through the resort
(i.e. Black Point properties and Maritime Village).
. ln addition, the preliminary plat approval for the golf course portion of the resort should evaluate trip
management plans as an alternative to simple roadway expansion. Such plans may include:
o Provide a van or small shuttle bus for guests and tenants to utilize on an as-needed basis for use
in group trip making, coordinated events, airport shuttle, and other miscellaneous traffic. All such
services shall be coordinated with Jefferson Transit to schedule expanded service as necessary
to the resort as well as consider joint opportunities to provide layover or transit service and
facilities within the site.
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Page 5-5 November 27,2007
FEIS MITIGATING CONDITIONS FOR SUBSEQUENT PROJECT REVIEW, TECHNICAL COMMENTS
AND COMMENT LOG CHAPTER 5
Public Services (includes Fire, Police, Medical Emergency; Schools; Economy, Housing,
Employment). DEIS Section 3.5, pp. 3-49 - 3-62
Fi re P rotecti on and Emerqen c\Lselylce Mitigation, as specified in DEIS at Section 3.5.1.5
Any preliminary plat for the development of a portion of the resort shall require the following:
. Ensure the onsite water system will provide for adequate sustainable fire flow.
. All resort buildings to include internal sprinkler systems with FDC connections.
o lncorporate Firewise site design standards in the layout of the proposed resort, as appropriate and
approved by the local fire authority.
o All subsurface parking will have to provide fire systems, including air handling, water, and
emergency access and egress.
o lnstall hydrants, two portable fire pumps with hoses and related fire suppression equipment at the
marina and maintenance area as approved by the localfire authority.
. Develop an "emergency action plan" with the Fire District in conjunction with predevelopment,
development, and operation to assure clear lines of responsibility and response in the event of any
incident requiring emergency response.
. Any development of the existing marina complex as part of an MPR shall include improving
emergency vehicle access to this portion of the resort.
o Through a memorandum of agreement with District #4, provide the equipment necessary to mount
rescue and fire fighting operations on any structure over 1B feet from ground level, including but not
limited to the Condotel/Conference Center Building.
. Enter into an "action plan" with the local fire authority at District#4lo assure coordinated control of
additional services necessary to achieve an adequate level of service to the resort.
. Provide a back-up electrical power supply to the resort to ensure continued operation of emergency
systems and water supply during any outage.
. Comply with the provisions of a memorandum of agreement with local service providers to address
service equipment and personnel needs created by the resort, taking into consideration increased
tax revenues from the resort activity.
o Enter into a memorandum of understanding with the local fire authority to address the following
issues:
o "Firewise" design standards
o "Emergency action plan" for predevelopment and operational service for each phase of
development
o Provide necessary facilities to mount rescue and fire fighting operations in all phases of the
resort
o "Action plan" for coordinated control and additional services
Securitv Services Mitigation, as specified in DEIS at Section 3.5.2.2
. Project Level: Permit approval for both the marina and the golf resort shall address security-related
issues, and shall include specific mitigation which may include:
o Controlled access at the entry and exit points of the resort and docks.
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FEIS MITIGATING CONDITIONS FOR SUBSEQUENT PROJECT REVIEW, TECHNICAL COMMENTS
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o Onsite security and surveillance systems for the protection of resort guests, residents, and
property coordinated with local service providers to assure appropriate communication and
control systems are in place.
Community level: Explore the use of a development agreement or other assurance to provide a
mechanism for the County to provide some public safety funding to the Brinnon area from the
revenues received from the resort to assure that the funds will not be diverted to the more populous
north county.
Health Services M itigation, as specified in DEIS at Section 3.5.3.1
Project-specific mitigation shall be addressed in the public services memorandum of understanding
(MOU), which shall address reasonable site needs and the means of providing and paying for
services. The MOU shall be in place prior to issuance of building permits for development of resort
facilities.
School Mitigation, as specified in DEIS at Section 3.5.4
. Estimates for planning purposes are that the project will increase the Brinnon School District by 5-10
students and the adjacent district for high school by 1-2 students in any given year. Specific
mitigation agreements with the School will be addressed as part of the preliminary plat process for
the golf course.
Economv/Emplovment, DEIS Section 3.5.5.1
The FEIS requires the project sponsor to work with the County to provide a job log or similar capability
to enable local companies and personnel to compete for project jobs and services.
H-ouslng, DEIS Section 3.5.6
. Because there is a limited rental housing market, it is proposed that the out-of-town construction
crews may use the existing onsite 60-unit RV facility. This facility would be temporary and must be
in place prior to commencement of construction of the infrastructure for the project. (Additional
temporary housing could also include the B&B and Kaufman Home, see $3.5.9.)
o The creation of new permanent and seasonal jobs for resort staff will impose an added demand for
affordable local housing, and to offset that demand, 52 units of new multi-family apartments are
proposed to be built onsite.
Shorelines. DEIS Section 3.6, pp. 3-63 - 3-65
Shoreline Mitigation, as specified at Section 3.6.7:
. Public access to the southern shoreline should be curtailed and direct access eliminated
. All stormwater generated in the upland marina area shall be captured and treated to County
standards before discharge to the aquifer.
. All surface water on constructed surfaces in the golf course area shall be captured and treated for
recycling or treated in accordance with adopted County stormwater manuals, and infiltrated on site.
Zero discharge to Hood Canal from the developed golf course/resort area is required.
Additional Shoreline Conditions or Considerations ldentified in DEIS (see also the conditions
related to Shorelines in Sections 3.2.1 and 3.2.2 for shellfish mitigation, Sections 3.3.7 and 3.3.8 for
water resources mitigation, and Section 3.10 for critical areas):
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. ln the golf course area, no structures or golf facilities are to be constructed in the shoreline area.
s3.6.2
. Any site-specific issues for water features as part of a wetland mitigation plan shall be approved
prior to construction. $3.6.2
. The dock replacement program is subject to projectspecific review. 53.6.2
. The residential noise regulations at Chapter 173-60 WAC provide an accepted level of noise versus
protection, which is adequate to regulate commercial activities adjacent to residential areas and
should be incorporated into any shoreline permit. 53.6.6
Rural Character/Aesthetics, DEIS Section 3.5.7, pp. 3-60 - 3-62
Rural Gharacter/Population, DEIS Section 3.8, pp. 3-66 - 3-67
Rural Gharacter/Aesthetics Mitigation, as specified in DEIS Section 3.5.9:
. The key to the provision is that the Master Planned Resort not lead to suburban or urban level
development in the surrounding area and that result is achieved through several techniques:
o The retention of rural area zoning on the lands outside of the Master Planned Resort.
o The additional public services shall serve the urban levels of intensity within the Master Plan
area, the RVC level services in the RVC area, and the rural development in the surrounding
area, and allow extension of urban level sewer utilities only in the event of a health hazard. The
purpose of the regulatory restriction is to prevent a fundamental change in the overall
development patterns planned for the area. lncreasing the quality or quantity of services in such
area as a result of the development is one of the economic benefits.
o A water facility may serve both urban and rural uses as a water system is preferable to individual
exempt wells. The water system shall not be used to serve uses in the rural area in excess of
that allowed by County codes for rural area development.
o The number of proposed residential units shall be no greater than 890 units, including both the
resort residences and staff/affordable housing.
o The proposal shall maintain natural open spaces along the shoreline bluffs along site perimeters
as is practical with golf course layout, between fairways, and the upper portion of the
development.
o The proposal shall ensure retention of selected stands of significant trees along the bluff of the
golf course to reduce the visibility of the site from the south.
o The proposal shall provide landscaping between US HWY 101 and the new access road
proposed on the upland side of the Maritime Village.
o With the exception of the Condo-tel/conference center, with terrace lofts and the Maritime
Village, all structures shall be kept to a maximum of two stories in height from higher grade
elevations.
o The overall project approval shall address light and glare to reduce the projection of evening
lights off the golf course and marina properties. (Reduction does not mean lights cannot be
seen, but that through shielding and proper placement and orientation, the offsite impacts are
minimized.)
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o The proposal shall provide construction period housing and housing specifically dedicated to
staff and local service personnel to reduce the impact on local housing.
Rural Character/Population Mitigation, as specified in DEIS Section 3.8:
. The resort is proposed to have limited onsite retail capability, but is expected to bring additional
small commercial and service businesses to Brinnon, subject to project-specific, site-specific
environmental reviews and mitigation.
Archeolooical and Cultural Resources, DEIS Section 3.9, p. 3-67
Archeoloqical/Cultural Resource Mitigation, as specified in DEIS Section 3.9
. The southern shoreline abutting Hood Canal is a significant environmental and cultural area, and is
proposed to be closed to resort use. References the Cultural Resource Assessment.
. The project proponent shall work with the Tribes and County to provide onsite monitoring during all
construction to assure identification and management of any cultural resources identified.
Gritical Areas (wetlands, aquifer recharge, fish/wildlife conseryation, steep bluffs),
DEIS Section 3.10, pp.3-67 -3-72
Critical areas are regulated by Jefferson County as overlay districts, see JCC Chapter 18.15 at Article
Vl., and are additionally regulated under the state's Growth Management Act, RCW 36.704.060.
Wetland Mitigations, as specified in DEIS Section 3.10.6, pp. 3-71 -3-72
. Wetlands shall be protected from development (except Wetland B, which will be used for reuse and
recycling). A wetland and wetland buffer mitigation plan shall be developed which demonstrates,
under best available science principles, that the wetland functions and values of the resort area have
been maintained through a combination of retained, enhanced, and/or created wetlands and buffers.
The plan shall demonstrate no net loss to overall wetland area function and value.
. An approved preconstruction wetland mitigation plan must demonstrate that loss of wetland habitat
is mitigated, including protection measures for water quality and quantity maintenance, and buffer
protection. Such protection must be in place prior to commencement of any grading onsite. The
wetland mitigation report for Wetland B shall be approved and demonstrate how the overall system
will operate, both during construction and operation to assure overall no net loss of function and
value for the resort area wetland system.
. The stormwater management plan for construction shall require all wetland areas (existing and new)
meet the no net loss test and are in place prior to any alteration of the central kettle wetland.
AdditionalWetland Conditions or Considerations, identified in DEIS at $ 3.10.1, pp. 3-67 - 3-70.
. Wetland protection and mitigation criteria are specifically set forth in the County Code [see JCC
1 8.'1 5.325 - 18.1 5.5001.
. Because the Proposal would include altering one of the wetland kettles (Wetland "B" as identified as
a Category ll in the Wetland Delineation) for use in the water treatmenU recycling. program, other
wetlands would need to be created, restored, and/or enhanced, per the requirements of JCC
18.15.350(2), Table 3-5:
o lt is possible that additional onsite wetlands could be created, using ecological considerations, as
water features and incorporated into the golf course design. (To protect the aquifer, golf courses
are required to use Best Management Practices under the King County Model [see JCC
18.15.255(4)1.) Per JCC 18.15.350(2), Category ll wetlands to be created or restored require a
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replacement ratio of 3:1 if forested and 2:1 if scrub-shrub or emergent. Any water features
proposed to be incorporated into the golf course design must demonstrate that the feature
replaces functions lost at the impact site.
o The site has two previously-disturbed upland areas adjacent to wetlands, both located near the
RV camp, wherein the wetland buffers could be enhanced. Per JCC 18.15.350(2), Category ll
enhancement ratiosl : are 6:1 if forested and 4:1 if scrub-shrub or emergent.
o Another approach could be offsite wetland creation, restoration, or enhancement. Such an offsite
alternative would require the identification of a significant wetland in the area to be enhanced,
creation of a wetland, or restoration of a wetland.
. A wetland mitigation plan will be developed in conjunction with the detailed design phase of the
project and will be required at the outset of the grading plan in advance of final plat approval and
project development when details of the construction will be available. lt is common that mitigation
plans be implemented prior to the planned filling activity, such as that of Wetland "8".
Aquifer Recharoe Area Conditions or Considerations ldentified in DEIS Section 3.10.2, pp. 3-70 - 3-
71
. Aquifer protection and mitigation criteria are set forth in the County Code [see JCC 18.15.240 -
18.15.2551.
. The Black Point property within the Proposal has been mapped as an aquifer protection district.
Additionally, the water source for the Black Point residential area is ground water. To protect the
aquifer, the Proposal will abide by the County regulations, which include:
o Prohibition of certain uses involving hazardous materials as specified in JCC 18.15.250 (the
fueling facility at the lr/arina is in an area that is not dependent upon a well for its water supply
and no impact to potable water aquifer is anticipated);
o Complying with the protection standards identified in JCC 18.15.255, including the use of King
County standards for Best Management Practices for Golf Course Development and Operations,
per JCC 18.15.255(4).
Additional Aquifer-related conditions ldentified in Appendix 5 - Water Supply and Groundwater
lmpact Analysis (at pp. 11 and 15):
. The critical aquifer recharge areas would best be located on the eastern part of the point, and
possibly areas north of the site. This is demonstrated by groundwater heads in the center of the site
being lower than those on the margins.
. Additional work will be performed to develop susceptibility ratings for the site. An Aquifer Recharge
Area Report will be prepared to quantify aquifer recharge and susceptibility. Based on the results of
these studies, Adaptive Management procedures will be developed for maintaining groundwater
quality and quantity.
' The chart in the DEIS has a typographical error: the forested wetland enhancement ratio is 6:1 , not 4'.1, for
Wetland Categories ll and lll . Additionally, the Chart is entitled as "Table 3-1 1 " and this is also incorrect - it
should be "Table 3-5"; however the citation below the chart at the bottom of p. 3-69 does correctly cite to Table 3-
5.
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FINAL EIS - (Site Specific Amendment MLA 06-87)
Page 5-10 November 27,2007
FEIS MITIGATING CONDITIONS FOR SUBSEQUENT PROJECT REVIEW, TECHNICAL COMMENTS
AND COMMENT LOG CHAPTER 5
a Reduction of the amount of water used by water saving fixtures and through use of harvested water
for residential purposes will ultimately result in recharging more water to the aquifer than is presently
occurring. This benefit is due primarily to the decrease in evapotranspiration at the site, that there
will be relatively few impervious surfaces on the site compared to the overall property; that the
majority of recharge occurs during the fall, water, and spring, and about one-half of the site receives
irrigation, and that the underlying aquifer is not a major source of water supply.
Fish ildlife Conservation Areas Mitigation, as specified in DEIS Section 3.10.6, p.3-72
. The three northerly streams shall be set aside in a natural area, and development shall be limited to
that necessary to provide adequate access and road right-of-way. All culverts carrying streams shall
be fish passable where the preconstruction reports identify that a stream has the potential for fish
passage if obstructions can be removed.
. The two southerly streams shall be protected during construction using best management practices,
and road crossings shall comply with adopted standards.
. The resort shall be required to annually collect water quality monitoring data from the state water
quality sampling station at Pleasant Harbor and submit a summary water quality report to the
County. In the event that water quality shows any sign of deterioration, the County shall consult with
the resort, the local residents, and the State (both WDOH and WDFW) concerning the source of the
change. The resort permits shall require the resort to implement any mitigation measures
determined necessary by the County to alleviate any water quality issues emanating from the resort
properties.
Additional FishMildlife Conservation Areas Conditions or Considerations ldentified in DEIS S 3.10.3,
p.3-71
. Fish and Wildlife Habitat protection and mitigation criteria are set forth in the County Code [see JCC
1 8.1 5.285 - I 8.15.3201.
. The site contains several intermittent or seasonal stream channels (Type 5 under the County
classification system). Some of these are steep in gradient and blocked from fish passage due to
structural barriers. Per JCC 18.15.315, Type 5 streams require a SO-foot buffer of native vegetation.
The Proposal will comply with this requirement. Additionally, the creation of a complete and modern
treatment system for stormwater on the developed portion of the marina site should result in an
improvement in water quality discharge.
. A habitat management plan will be prepared at the project-permitting phase to identify and address
mitigation for any potential impacts to streams and associated buffers.
. The resort shall be required to annually collect water quality monitoring data from the state water
quality sampling station at Pleasant Harbor and submit a summary water quality report to the
County. ln the event that water quality shows any sign of deterioration, the County shall consult with
the resort, the local residents, and the State (both WDOH and WDFW) concerning the source of the
change. The resort permits shall require the resort to implement any mitigation measures
determined necessary by the County to alleviate any water quality issues emanating from the resort
properties.
Frequentlv Flooded Areas, DEIS Section 3.10.4, p. 3-71. There are no floodplains or frequently
flooded areas onsite.
Pleasant Harbor Marina and Golf Resort
FINAL EIS - (Site Specific Amendment MLA 06-87)
Page 5-1 1 November 27,2007
FEIS MITIGATING CONDITIONS FOR SUBSEQUENT PROJECT REVIEW, TECHNICAL COMMENTS
AND COMMENT LOG CHAPTER 5
Geoloqicallv Hazardous Areas Conditions or considerations ldentified in DEIS S 3.10.5, p.3-71
. Geologically Hazardous Areas protection and mitigation criteria are set forth in the County Code -
see JCC 18.15.260 - 18.15.280. Per JCC 18.15.275(5)(e), the standard buffer from the top, toe,
and all edges of a landslide hazard area is 30 feet.
. The principal geologic hazard feature on the site is the steep bluffs along the southern shore. The
Proposal will provide an extra margin of safety by maintaining a 200-foot vegetated edge from the
southern shoreline. Further, the stormwater management plan shall require that all water from
developed areas be captured in areas sufficiently removed from the bluff edge and are sized
sufficiently to avoid discharge to or destabilization of the bluff in the event of wet seasons or upset.
Additional Geoloqicallv-Hazardous Area-related conditions ldentified in Appendix 4 - Soi/s and
Geology (pp. 14-15):
. Limit the extent and duration of site clearing, grading and disturbance of existing ground surface and
natural vegetation. This will be accomplished by staging the construction work to accomplish full
build out in separate construction phases over a number of years.
. Establish development setbacks from the crest of steep slopes, especially the coastal bluff area.
. Avoid introducing any additional uncontrolled surface water into documented landslide areas and
other steep slopes in the project area. Stormwater and groundwater infiltration systems would be
designed to reduce groundwater flows toward the shoreline bluffs to reduce landslide hazards.
o Limit development on long, steep slopes, especially slopes underlain by soils prone to erosion.
. Erect silt fences around disturbed areas to minimize migration of displaced soils into undisturbed
vegetation and structures.
. Avoid wet weather grubbing, stripping, and grading where possible.
. Hydro-seed cut slopes and fill berms as soon as practical; on steeper slopes use mulch, jute matting
or synthetic fabric to aid re-establishment of vegetation.
. Cover any stockpiled soils with visqueen especially during wet weather.
. Employ water trucks and/or sprinkler systems to minimize dust and wind erosion during dry weather.
. Construct haul roads with quarry spalls, asphalt, or recycled concrete and/or suitable road bedding.
. Control surface water runoff with ditches, detention ponds and check dams
. Line drainage ditches grass and/or quarry spalls to limit water erosion
. Protect permanent cut slopes with rockery walls, ecology blocks, and engineered retaining wall
structures.
Pleasant Harbor Marina and Golf Resort
FINAL EIS - (Site Specific Amendment MLA 06-87)
Page 5-12 November 27,2007
FEIS MITIGATING CONDITIONS FOR SUBSEQUENT PROJECT REVIEW, TECHNICAL COMMENTS
AND COMMENT LOG CHAPTER 5
5.2 Technical Comments
The following are comments from Statesman's consultants responding to questions that have arisen
during the public review process of the DEIS.
5.2.1 Precipitation
lOlglOT Jtrlemorandum from Scott Bender, Subsurface Group LLC, responding to questions about the
source of weather and rainfall data.
5.2.2rNater Supply
10124107 Memorandum from Scott Bender, Subsurface Group LLC, responding to questions about
water supply sources.
5.2.3 Wastewater
11114107 Note from Troy D. Vassos, Ph.D., P.Eng., NovaTec Consultants, lnc., responding to questions
about the wastewater treatment and reuse process.
5.2.4 Wetlands/Habitat
11115107 Memorandum from Wayne S. Wright, PWS, GeoEngineers, responding to questions about
impacts to wetlands, kettles, and fish/wildlife habitat
5.2.5 Elk Herd
Wayne Wright's note summarizing his 11/9/07 conversation with Greg Shirato, WDFW regarding
resident elk herd crossing Hwy. 101.
Pleasant Harbor Marina and Golf Resort
FINAL EIS - (Site Specific Amendment MLA 06-87)
Page 5-13 November 27,2007
5.2.1
SUBSURFAGE GROUP LLC
11220 Fieldstone Lane N.E.
Bainbridge lsland, Washington 981 10
Tel: (206) 7784074 Fax: (206) 780-5669
MEMORANDUM
To: Garth Mann, SandyMackie
From: Scott Bender
CC: Mark Buehrer, Troy Vassos
Date: October 9,2007
RE: PRECIPITATION DATA FOR BRINNON, WASHINGTON
During the DEIS public presentation on September 25,2007, Ms. Ellie Sather stated that the
weather data being used for the Pleasant Harbor water balance calculations was wrong. She
stated that precipitation measured in Brinnon was 30 percent less than used in our calculations.
This would present a serious issue with the water supply shategy for the resort. This memo
presents our understanding ofthe precipitation data.
We have examined three data sources
1) The data used in the water balance calculated for the resort was from the QIILCENE
2 SW, WASHINGTON (456846) weather station. This station is currently operated
by the Westem Regional Climatic Center and has been in operation since June 1948.
It is the closest long-term weather station to the site. The average total precipitation
measured at this gage is 55.44 inches, and was used in the calculations. The data from
this station were selected in parl due to docurnented weather pattems in Hood Canal.
These pattems indicate that precipitation rates increase as one moves from north to
south down the canal; as such, the rainfall measured in Quilcene should be less then at
Pleasant Harbor. This should be particularly true since Black Point juts from the main
land mass and likely intercepts more weather. Given these patterns, the water balance
calculations should be conservative as more water is available at the site than
calculated. The weather information at the site may be found at the following link:
http ://www. wrcc.dri.edu/cgi-bin/cliMAIN.pl hvaquic
2) Sandy Mackie was provided with data which was reportedly used to support the
statement regarding use of improper weather data. This link is provided below:
http ://www. idcide. cordweather/wa/briruon.htrn
The average total precipitation presented at this link is 54.36 inches. You will note
that the data source is the same Quilcene 2 SW gage as used in the calculations. The
difference in the total average precipitation is because this source uses the average
SUBSURFACE GROUP, LLC
Page 5-14
sG0601-02
Memorandum to Statesman Corporation
November 1,2007
Page2
measured between 1971 and 2000. There is no significant difference in the rainfall
amounts, particularly in light of the conservative location of the gage.
3) On October 4,2007, Ms. Ellie Sather handed me rainfall data from a gage in Brinnon;
this data is reportedly the basis of her comment during the public meeting. The
average arurual precipitation measured at this gage is 69.74 inches. This is 14.30
inches greater than used in our calculations, Obviously if these weather data are true,
it will provide much more water to the resort; we suspect that the data may be from a
micro-climate near Brinnon, and we should not currently rely on the data. Ms. Sather
also has some hand written notes on the sheet which apparently total the precipitation
during certain months of the year and compare it to our data, and then used it as a basis
for her statement; we cannot duplicate her calculations. But for the winter months, the
data are nearly identical. A plot comparing the two data sets is provided below:
In summary, we find no basis for the claim that precipitation pattems in Brinnon are less
than used in our calculations. The data provided to us indicate that rainfall in the Brinnon
area is greater than used in our calculations; this demonstrates that the calculations are
conseryative and more water will actually be available to the resort. We note that the
water balance relies on winter and fall precipitation to collect and store water for the
following dry season; as such, the dry season pattems are less significant to resort
operations. The data presented to us show increased precipitation pattems in the winter
and fall months. In conclusion, we find no basis for the statement that improper
precipitation data was used for the resort water balance calculations.
Comparison of Average Monthly Precipitation
14.00
t 2.00
o
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6.00
4.00
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SUBSURFACE GROUP, LLG sG0601-03
-\\<\
llI
Page 5-15
5.2.2
SUBSURFACE GROUP LLC
11220 Fieldstone Lane N.E.
Bainbridge lsland, Washington 981'10
Tel: (206) 77&8074 Fax: (206) 780-s669
I
MEMORANDUM
To: Sandy Mackie
From: Scott Bender
CC: Garth Mann
Date: October 24,2007
RE: RESPONSE TO TERENCE M. GERMAINE OCTOBER 23, 2007 DEIS
COMMENTS
We are in receipt of comments made by Mr. Terence M. Germaine regarding the DEIS and
rvater supply related to Pleasant Harbor. We provide the following responses:
Corporations are not in the habit of coming forward with expenditures unless they
are absolutely required. They have only provided such an elaborate unproven
water plan because they realize this limited water resource in this area.
Response to Comment 1:
The proposed resort recognizes the water resources of the area and its obligation to
minimize impacts to the water resources; not only to the water supply potential of the
aquifer, but also to water quality and the potential for sea water intrusion. The
proposed water supply plan not only meets, but exceeds this obligation. In addition,
the proposal is consistent with the low impact approach and culture of the resort.
I have pulled the well log for Pleasant Tides, the primary water provider on Black
Point. When this well was flow tested upon completion of drilling the water level
was pulled down 74 feet on a four hour flow test. Indicating a slow recovery of
water volume.
Response to Comment 2:
Pleasant Tides owns two wells. The well you have referred to is the backup well,
which is a rather low producer due to well construction problems. The primary well is
capable of producing over 200 gallons per minute; this is an excellent well and
perfomrs consistent with other production wells in the vicinity. This and other wells,
such as the well on the resort propefty, indicate that the sand and gravel aquifer
beneath Black Point is prolific and readily recharges.
My property is located about 200 yards from the NE corner of the MPR where I
also have a well. My well is drilled to 119 feet with the well head at about 100
feet elevation and located about 2000 feet from the east shore of Black Point
2
3
SUBSURFACE GROUP, LLC
Page 5-16
sG0601-02
4
Memorandum to Statesman Corporation
October 25,2007
Page2
peninsula. Given these locations and distances I feel any reduction in the current
water supply of ground water will make my well and most other wells on Black
Point unusable for water quality and flows.
Response to Comment 3:
The DEIS indicates a very low impact to the aquifer in the first few years of resort
operation, this is when the resort will use wells as one means of water supply. The
impact calculations are conservative. We are predicting either no impact or an actual
aquifer enhancement over the long-term operation of the resort. in addition, the water
level data from Black Point wells indicate that your and most other properties on
Black Point are upgradient of the resort. In the very unlikely event of an aquifer
impact, this means that the resort wells would be adversely impacted far before your
well would, and the resort wells would be shut off. As such, the resort operations will
have no effect on the performance or quality of your well.
Aside from the water issue this proposed development is inconsistent with the
intent of the original county zoning and way beyond the rural environment of the
Brinnon area.
Response to Comment 4 will be addressed by Statesman Corporation.
SUBSURFACE GROUP, LLC
Page 5-17
sG0601-03
s.2.3
From: Troy D. Vassos, Ph.D., P.Eng. fmailto:tvassos@novatec.ca]
Sent: Wednesday, November t4,2007 3:55 PM
To: Garth Mann; mark@202Oengineering.com; Wayne S. Wright; Troy Vassos; scott@benderllc.com;
VlPerrone@perroneconsulting.com; Michael Read; RenD, Karen (Perkins Coie)
Cc: Elin Mcleod; Milward, Doreen (Perkins Coie); Theresa Tucci; Mackie, Sandy (Perkins Coie)
Subject: Re: FEIS Introduction and Updated Response Sections
Attached is my suggested revisions to the FEIS lntroduction document.
Key suggestion is to refer to the wastewater system in terms of treatment and reuse. The plan is to treat all wastewater and reuse
it for toilet flushing, storing the remainder for use in seasonal irrigation of the golf course at rates not to exceed the agronomic
requirements of the turf. This will maximize the beneficial reuse potential of the recycled water, maximize the evapotranspiration,
and minimize incidental inflitration to the aquifer and the potential for adverse impacts. The reuse water is not being applied for
groundwater recharge purposes.
Further, the wastewater will be treated to remove nitrogen by at least 7 5o/o and disinfected to remove pathogens. Because the
recycled water irrigation will not exceed the agronomic rate, it is expected that residual nitrogen and phosphorus in the recycled
water will be used for plant growth and will, thereby, also reduce requirements for fertilizer application to the golf course.
Pathogen transport and potential impacts on the aquifer will not be an issue. Reclaimed water suitable for reuse requires
significant treatment and disinfection that is generally over and above conventional waste treatment facilities. Disinfection
practices for Class A reclaimed water are measured in total coliform, rather than fecal coliform traditionally used to measure
wastewater disinfection effectiveness. Class A requires less than 2.2tolal coliforms per 100 milliliters (i.e. non-detected), which is
the same water quality standard used for potable drinking water.
- Troy
tt/14/2007
Page 5-18
GroEruc r*rr*s1Q
5.2.4
MrmoRRttoutvt
www.geoengineers.coml550WooDRtDGEDRtvESE,PoRrORCHARD,WASH|NGION9S366,TELEPHoNE: (360)769-8400,FAx: (360)769-8700
To:
FROU:
DRre:
Fre:
Sue.Ject:
Sandy Mackie, Perkins Coie LLP
Wayne S. Wright, Principal
November 15,2007
12677-001-03
Pleasant Harbor Marina and Golf Resort
Response to Questions
This memorandum was prepared in response to your recent questions and comments regarding the proposed
Pleasant Harbor Marina and Golf Resort.
Quesfion 7: Wetland Habitat - you indicated in the wetland report that the kettle being filled was
important habitat, but I did not hear for what purpose and whether that habitat could be restored in site.
Clarification on that point would be helpful, and particularly if you can point to examples where similar
habitat functions and values have been relocated when construction necessitated affecting a wetland.
By regulation, all wetland habitat is important. The kettle wetland to be filled is isolated and of limited
connectivity and function to other wetlands. It is an "oasis" if you will for those species living in the kettle and
therefore important to those shy species that may reside in that habitat. The steep side slopes and depth of the
kettle further reduce its accessibiliry to many species - especiaily terrestrial animals with easier access to water,
shelter and food without climbing down a very step grade and expending energy. The kettle is a rare type of
wetland that is not found in many locations and is not one we will likely replicate in terms of topographic
condition when considering mitigation. We can however mitigate the loss of this wetland by creating wetlands in
and around the golf course that are more accessible to all species of rvildlife, provide a more engaged water
quality and storage function, and offer aesthetic experience for humans as well by integrating a recreational
element such as bird watching. Trophy Lake golf course, McCormick Woods Golf Course and almost all other
residential developments in the nearby area have some type of wetland mitigation option that attempts this. The
two golf courses in Kitsap Counry have strong success stories for wetland and wildlife integration around their
developments.
Trophy Lake golf course filled a linear wetland that was a headwater "finger" to a larger wetland complex. The
mitigation for that filI was to replicate headwater storage and capacity in and around the golf course that metered
flow into the larger wetland complex and allowed wildlife habitat opporlunities. Monitonng and observations by
golfers and the golf course managers confirms our plans and success in our mitigation intent.
Quesfion 2: Kettles - One concern about our work was addressing wetlands in detail, but not addressing
the non wetland kettles except to say "they were not wet." You observed the kettle habitat, is there any
unique habitat or use of the kettles which would be irretrievably lost by the Statesman proposai? We are
proposing to retain a significant treed buffer on the south bluffs, (a benefit not likely available in other
proposals for the properfy) and to integrate a wetland enhancement program which may also provide an
increase in overall habitat functionality.
Dry kettles are no more "unique" landforms than hills, valleys, or any other upland type of habitat. They offer an
area of depth and more severe micro-climate (it is cooler) at the bottom of the kettle and likely a refuge in extreme
heat and coid conditions. These kettles are located in an upland area surrounded by bluff along Hood Canal and
bordered by the highrvay. They are very isolated and disconnected from larger ranges, thus their refuge value is
Page 5-19
Memorandum to Sandy Mackie
November 15,2001
Page 2
Iimited to few species and for limited times. The microclinrate offered by the kettles would be lost with the
proposal. However, by working with the land and Statesman, we can recover some of that function (to be
determined by the wetland and golf course integration design yet to be completed) with proper wetland design and
edge treatments along the golf course margins. The overali increase in human activity on the site will be the
largest deterrent to wildlife use of the site. Most wildiife wr1l avoid the overall disturbance of noise, light and
human habitat (homes, structures, and infrastructure). There will be an unavoidable loss of wildlife habitat and
use on the property compared to today's condition.
Quesfion 3: The overall concern is the rviidlife impact (including the grazing elk herd commented on by
some authors). My understanding is that the elk to not commonly cross the road here - possibly good to
confirm with a DNR wildlife specialist or WDFW to get a comment on likely use of the srte by large
mammals. (My understanding is that due to the road and other barriers is it very limited if at all.)
According to WDFW Regional Biologist Greg Shirato the residential elk herd in that area is not likely to cross
Highrvay 101 in the viciniry of the project. Tracking efforts have documented elk presence north of the project
area in the vicinity of the Dosewallips State Park northeast of Brinnon. However, there is no trackrng data
indicating the herd's presence in the Black Point area.
Most terrestrial wildlife avoid being "boxed in" on a properfy with little option for escape from predators. The
bluff habitat along the shorelinq of the Black Point properfy creates that "boxed-in" condition" It is likely the elk
frequent a crossing closer to the river where the access to Hood Canal and fresh water is easier and more
conducive to large mammal access.
Quesfion 4: Where is the project relative to the East Jefferson County Refugia Study and Hood Canal
Aquatic Rehabilitation Area?
Completed in 2003, the East Jefferson Counly Refugia Study was conducted to identify productive salmon
spawning and rearing habitat. The study area encompasses all of WRIA l7 and that portion of WRIA 16 within
Jefferson County. It identifies the lower Duckabush River as a Class B Nodal Riparian Corridor. Walker Creek,
located northeast of the Pleasant Harbor Marina is identified as a Class 3 Nodal Riparian Corridor. The Black
Point property does not drain to either of these river systems. It is unlikely that this study will have an affect on
the proposed development.
According to RCW 90.88.010 the Hood Canal Aquatic rehabilitation zone one includes all watersheds that drain
to Hood Canal south of a line drawn from Tala Point to Fairweather Bluff. This encompasses our project area. A
rehabilitation program for zone one has been designed by the Puget Sound partnership and Hood Canal
coordinating council. The Hood Canal coordinating council serves as the local management board for aquatic
rehabilitation zone one, but has no authorily over land or water.
List of Endangered and Threatened Species in the project vicinity:
r Chinook salmon (Oncorhynchus tsltawytscfta) present in the Duckabush River.
. Steelhead trout (Oncorhynchtts ntykiss) present in the Duckabush River.
Bald eagles (Haliaeetus leucocephalas) also occur in the area, but have recently been removed from the
Endangered Species list.
l;ile No. 12677-001-03 Page 5-20 GzoEneneeaslQ
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Person"iFirm:
I
FEIS MITIGATING CONDITIONS FOR SUBSEQUENT PROJECT REVIEW, TECHNICAL COMMENTS
AND COMI\,4ENT LOG CHAPTER 5
5.3 County Commenfs Received After fhe /ssua nce of the DEIS
DEIS and project comments have been logged by the County. The log is attached. The responses to
comments have been grouped in the chapters referenced in the row entitled response to comments.
Letters or comrnents for which specific responses were addressed have been identified in the new
sections and are indicated with an asterisk" to the left of the name on the log.
Comments that were more general in nature or repeated concerns previously addressed are
acknowledge and were considered in preparation of the Final ElS. Those comments are included in
the log with areas of interest indicated. The comment authors may find the responses to their
comments or concerns under each FEIS sections of Chapter 3 indicated in the log heading.
57 577 -0001 ILEGALl 374301 9.3
Pleasant Harbor Marina and Golf Resort
FINAL EIS - (Site Specific Amendment MLA 06-87)
Page 5-22 November 27,2007
I'IIIIIIITIII-IIIII
Public CommenUlssue
Environmental lmpact Statement Categories
Comment #
(LRP
a33lgned)
Name E
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Log Nos. 'l -94, 96-1 02, 1 04-1 23 were made prior to issuance of 9/5/07 DEIS. DEIS comments are noted generally and corresonding responses are at the responses to Log #127.
Items with an * have additional responses.
1 Robcrt Mitchcll a a a a a a a a a a
2 Richard Schweiqer a a a a
3 Kirie Pedersen & Family a a a a a a a a
4 Tim Lewis a a a a
5 Olivia Alfano a a a a a
6 Richard Benson DOH a a a
1 Denise Lahmann DOH a
8 Joy & Joe Baisch a a a a a a a
s Todd Wexman a a a a a
10 Ralph Hoqan a a
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12 Jody Weed a a a
13 Allison Willinq a a a
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15 Ted Labbe PG S'klallam a a a a a o a o a a a
16 Eleanor Sather & FamilV a a
11 Dan & Diane Coleman a a a
,]B Jeff Davis WDFW a a a a a a
19 Eleanor Sather & Family a a
20 Peter Bahls a a a a a a a a
21 Louis Didomenico a a
22 Reno Petroski a a
23 Donna Simmons HCEC a a a a a a
24 Hal Beaftie & Rebekah Ross a a a a a a a a a a a
25 Gloria & Bob Allinqham a a a
26 Georqe Kovick WSDOT a
21 lan McFall o a a o a o
2A Lynne Slerlinq a a a a a a a
29 Eric Hendricks a a a a a a a a a
30 Roben Swafts a a a
31 Hal & Janice Richards a o a a a
32 Jean & Walter Wasell a a I a a
33 ldenlical lo # 30
34 Wade Johnston a a a a a a a
13752777 _1.XLS
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36 Matthew Tyler PW & Parks & Rec a a a
37 ldenticalto# 6&7
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39 Denise Lahmann DOH a
40 Dan & Lisa Caley a a a a
41 Sam Bolinq a a a
42 Olivia Alfano a a
43 Stan Johnston a a a a a a a
44 Janet Sugino a
45 Hal Beattie a a a a a
46 Barbara Lewis a a a
41 Ron Stevens a a a
48 Dana Stamre a a a
49 Carl Sheats a a a a
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51 Helen Moore a a a a a
52 Virqil Draper a a a a a
53 Bob Herbst - Fire Chief a a a a a
54 Bob Scott o a a a a
55 Bud Schindler - Jeff Co PC a
56 Joanie Hendricks a a a a a a a
57 Jasper Hendricks a a a
58 Kathy Garth a a a a a a
59 Matthew Draper a a a a
60 Miriam Murdoch a a
61 Lawrence Domino a a
62 Ruthie Didomenico a
63 Jack Turner - Skokomish Tribe a a a a
64 Carl Sheats a a
65 Jasper Hendricks a a
66 Sam Bolinq a a a a
67 Dalia Dowd a
6B Ryan Kaufman a a a
6S John Dowd a o a
to Jody Weed a I a a
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108 Cheryl Halvorsen a
109 Henry Werch a
110 Cheryl Halvorsen a
111 Edel Sokol o
112 Allison Arthur a
113 Stacie Hoskins a
114 Allison Anhur a
115 Stacie Hoskins a
't't 6 Cheryl Halvorsen a
117 Peter Downey - Jeffco PC a
1',t B David Alvarez - DeDutv Civil Prosecutinq Attorney a
119 Bud Schindler Jeff Co PC a
120 ldenticalto#116
'121 ldenticalto#117
122 ldcnticalto#118
Cheryl Halvorsen a
See commenuresponses at FEls Sections;3.2.9 3.3.9 3.4.5 3.5.10 3.6.8 3.7.5 3.8.2 3.9.2 3.10.1 3.11.3 3.11.3 3.8.2 x x AI Alt Ail
124 Karen Barrows a
'125 Hal Beattie a o a a a
126 John Adams a o
'121 Ron Stephens a a
128 Dana Starfire a
'129 Cindv & Terry Germaine a a a a a a
'1 30 Janet Suqino a
'l 31 lan McFall a a a a a a a I a
'132 Rebekah Ross a a a o a a a
Hal Beattie a o a a
'1 34 Joanie Hendricks a a a
135 Karen Rentz - Perkins Coie a
'1 36 Valerie Schindler & Nancy Thompson a a
137 Sue Bond a a a a a a
138 Georqe Sickel (favorinq petition - 183 names)a a a o
'1 39 Miriam Murdoch a a a a a a
140 Leonard Schraeder a o a a a a
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214 ldentical to # 21 2
215 Byron & Willa Beeman a a a a
216 Rita Butler a a a
211 Carol Nydeqqer a a a a a a a
214 ldenticallo#183
219 Donald & Lee Silsbee a a a a
'220 Pleasant Tides Home Owners Association a
221 Barbara Brace a a a a a
222 Marvin & Marqaret Enqland a a
223 Mr & Mrs Harrv Bailev a a a a
224 Delila Curtis sp?a a a o a a
225 Carlotta Taylor a
226 Michacl McDonouqh a a a
221 Wade Johnston a a a a a a a
228 Curtis Stacey - Jefferson Transit a a
229 Roqer Hcrcndeen a a a a a
230 Olivia Alfano a a a a a a a a a
231 Becky Coffield o a a a a
232 Marlene Ray a a a a a a a
233 Kathy Brioht a a a a a
234 Grant Morra Ray and Jake Rember a a a
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236 identicalto#150
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238 Judi DuVall a a a a a
239 Richard Brown a a a a
240 Jennifer Myhre a a a
241 Patty Zoccoli a a a a a a
242 illeqible a a a a a a
243 Barbara Hellesoe a a a a a
244 AIec Hellesoe a a a a a
'245 Stan Russell a a a a a a a a a
246 opposition petition (16 names)a a a a a a a a a a
241 Lisa Johnston a a a a a
248 Eric Hcndricks a a a a a a
7 ot12
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245 Jasper Hendricks a a
250 R. Mccrath a
251 Sunny Hellesoe a a a a a a
252 Cy and lnqa Thaxton a o a a a a
253 Michael D. Jerome a a a a a
254 Earl "Gene" Thompson a a
255 Duke Level - Carl's Buildinq Supply a a
256 Todd Wexman a a a a a a
251 identical to # 247
258 Jon Hellesoe a a a a a a
259 Wayne Schlaefli a
260 unknown a a a a a a a o a a
261 Mary Myhre a a a
262 Roqer Myhre a a a
263 Nancv J. ThomDSon a a a a a a a
264 Diane Lamend o a a a a a
265 Kathv and Georqe Fitzqerald a a a a a a a
266 Lynne Sterlinq a a a a a a a a a a a
26t Kathy J. Barth a a a a a a a a a
268 Diane Henry a a a a a a a a
269 Jean Phillips a a a a a a a a
'210 Joanie Hendricks a a a a a a a a a
211 identical to # 266
'212 Archie and Karola Lopez a a a a o a a a a a
213 Bill Krad - Hadlock Buildinq Supply a a
214 Georqe Sickel (favorinq petition - 21 names)a a o
'215 Donna Simmons HCEC a a a a a a o a a a a
'216 J. Paul Malmberq and Lisa Lantz - WSPRC a a o a a a a
211 Charles and Tillie Sprinqer o a a a a a a a a
218 Cynthia Devaney a a a
219 Judi Hyde a a a a
280 Lynne Sterlinq a
281 Department of Ecology a a a a a
'242 Deborah Russell a a a a a a a a O a a a a
283 Diane Derrick a a a a a a a a a a
2A4 Neil Harrinqton - DOH a a a a a a a a a a a a a
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286 Sue Bond a a a a a a
281 Lisa Olson a a a O a a a a a
288 identical to # 279
'249 Eleanor Sather a a
290 Diane L. Coleman a a a a a a a
291 Elizabeth Davies a a a a a a
292 Jeffery Cawley a a a a a
293 Carol Trasatto a a o a o a o a a a a
294 Jim Haqen a a a a a a o a a
295 Biccums and Evans a a a a
296 Michael K. Suqino a a a a a
'257 Andrea Mitchell a a a a a a a a a
298 Don and Diane Coleman a a a a a a a a
299 Richard and Dorothy Thompson a a a
300 Anne Sather a a a a a
301 Dale and Jania Johnson a a a a a
302 Jacque Hanley a a a
303 Candace Anstiss a a a a
304 identical to # 245
305 Barbara Moore Lewis a a a a a a a
306 Alex Bradt urv - WDFW a a a a a
307 Greq Tyler a a a a a a a a a a
308 Richard and Debra Dinkelman o a a a a a
'309 Hal Beattie and lan McFall a a a a a a a a a
3',]0 identical Io # 309
311 identical to # 309
312 Dianne Ventura a a a a a a a a a a a
313 Garv Streid and Judith Ashley a a a a a a a
314 Brenda McMillan a a a
315 identical to # 282
316 identical to # 31 2
317 identical to # 31 3
318 Mitch Luckett a a a a a a a
319 Greq and Tina Tyler a a a a a o
320 Andrea Mitchell o
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322 Tom Barelli a a a
323 Jody Weed a a a a a a a
324 Alan and Krvsten Reimann a a
325 Sue Bond a a a a a a a a
326 Wayne and Rosalie Schlaefli a a a a a a o a
321 Terence M. Germaine a a a a
'328 Brian Bowers a a a a a
329 Dick and Lynn Bumgarner a a a a a a a a a a a
330 Gloria and Bob Allinqham o a a a a
331 Bruce Klanke a
332 Richard Brown a I a a a
333 Duane and Roxann Knoll a a a a a
334 Steve Peterson a a a
335 identical to # 334
336 Stan Johnston a a a a a
337 Ed Davies a a a a a
338 Peter Siefen a a a a a a a
'339 Andrea Mitchell o a
340 Phil Thenstedt a a
34'1 John A. St. Laurent a o a a
342 Mike and Jov McFadden a a a a a
343 Gerald C. Olson a a a a
344 Ronald Eber a a a a a a a a
345 Robert E. Archer a a a a a a
346 Rebekah R. Ross a a a a a a a a
341 Donald R. Lemaster a a a a a
348 Carol Anderson a a a a a a a a a a a
349 John McDuff a a a a a a
350 BiII AnstiSS a a o a
35r Bob and Gloria Allinoham a a a a a
352 Richard and Denise Leonard o a a a a
353 Jo Ann Root a a a a
'354 Donna Frostholm - DCD a a
355 Ryan Kaufman a a a a a
356 Elizabeth Goeke a a a a a a
1 3752777_1 .XLS
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358 Joe and Joy Baisch a a a a a a
359 Susan Gulick - WRIA 16 a a a a
360 Dana Starfire a a a a a a
361 Mark Rose a a a a a a a
362 Barbara and Larry Gauer a a a a a a a a a
363 Linda Tudor a a a a a
364 Jim Watson a a a a a a a a a a a
Marty Ereth - Skokomish Tribe a a a a a a a a a a a
366 identical to # 285
367 Deborah Siefen a a a a a a a a a a a
368 Phil and Marcia Aurdal a a a a a a
369 Patrick M. Rodqers a a a a a a
370 Bonnie L. Rodgers a a a a
311 Roben Swans a o a a a a
Kris Miller - Skokomish Tribe a a
373 Gerald Steel a a a a a a a a a a
314 idenlical to # 372
37s identical to # 281
376 Andrea Mitchell - Brinnon Opposition Group a
311 identical to # 285 and # 366
378 Kathleen Greene a a a a a
379 Stan Walter, Nancy Thompson, and Valerie Schindler a a a a
380 Mark and Janice Berqstrom a a a
381 Jeffree Stewart - DOE a a a
382 Douq and Kay Peterson a a a a o o
383 Greta Mitchell a a a a a o
384 James House a a a a a a
385 identical to # 275
386 identical to # 381
387 Dalila Dowd a a
3BB Norma Jean Younq a
389 Jasper Hendricks a a
390 Jim Watson a a a a a a
391 Mitchell Draper a a
392 Ellie Sather a a a
1 3752777_1 .XLS
'l'l of 12
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394 Rob Mitchell a a
395 Sadie Shaw a a
396 Mike McFadden a a a
397 Mike Biccum a a a
398 lan McFall a a a a a
399 Adam Bolinq a
400 Sue Vauqhn a a
40'l Sharon McClain o a a a a
402 Barbara Moore Lewis a a
403 Wes Neal a a
404 Steve Redhead a a
405 John McDuff a a a
406 Georqe Sickel a a
401 Sam Bolinq a a a
408 Donna Simmons HCEC a a a
409 Kathy Barnes a a
410 Wayne Schlaefli a a
411 Lisa lohnston a
412 Joanie Hendricks a a a a
413 Sandy Mackie - Statesman a a
Totals 57 't 37 1 ',I8 106 133 63 '178 17 195 82 127 1't2 156 124 28
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