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HomeMy WebLinkAbout036Michelle Farfan From: Sent: To: Subject: Attachments: Lisa Johnston <applevalleyfarm@msn.com > Tuesday, April 09, 2013 1L:33 AM csmith @co jefferson.wa.us Fwd: Pleasant Harbor resort plan causes traffic problems Riachard Horner.pdf; Untitled attachment 00019.htm; Read email.pdf; Untitled attachment 00022.htm; Map to Seatac.pdf; Untitled attachment 00025,htm; Collison Data.pdf; Untitled attachment 00028.htm I am concerned about these issues with the proposed resort at Black Point in Brinnon. Sent from my iPhone Begin forwarded message: From : Barbara Moore'lewis <mooreleb44@embarq Date: April9, 2013,9:08:24 AM PDT To: Brinnon Group 2 <mooreleb44@embalW Subject: Pleasant Harbor resort plan causes traffic problems There are maior flaws in the traffic study being used to plan the Pleasant Harbor resort. These problems will cause serious traffic problems for us. The study is supposed to: define environmental damage make sure the developer pays the costs of highway and road changes, rather than us, the taxpayer accurately plan for the massive increase in traffic (at least 4100 extra trips a DAY during the summer) The study does not do these things. When werve tried to point the problems out to the county staff and to the developer's consultants, they've shugged off our concerns. We would like your help to stress our concerns and to get a realistic traffic plan. c smith@ c o j e fferson. wa. us If you have any questions please let us know. Following are concerns about the transportation study: In discussing the data used in this study, University of Washington Professor Richard Horner said, 1 a a a forward,this email to JefftiSon0u can conesrnsSmith to "It would be inappropriate, in my opinion, to go forward on this major action with such anomalies in key information supplied in its support." (attached PDF). . The consultant paid by the developer, Michael Read, says that the EIS, approved in 2008 and based on data going back to 2000, is a "recently reviewed and approved EIS." He further goes on to say, "...there was no reason to update existing conditions analysis as there has been no changes to conditions in the area." He goes on to show concern about the developer's financial issues, rather than for the accuracy of data and assumptions used in the report. (attached PDF of email chain) lssues: l. Subject: How people get to Brinnon from SeaTac Assumption: The basic assumption of the study is that people will drive north from SeaTac, across 104, and down Center Road. All the traffic analysis in the study is of this route. Problems with this assumption: o Most people will go south through Olympia. (see attached Google Maps) o To go north means to go through downtown Seattle traffic, take a ferry (with long summer wait times) either in downtown Seattle or in Edmonds, come across the Hood Canal Bridge (which is sometimes open for ship traffic), and then come across 104 and down Center Road, through Quilcene and over Mt. Walker. Impact of the problems: o Traffic counts along Hood Canal are seriously miscalculated. o Pollution from vehicle emissions is one of the largest sources of pollution in the Canal. Miscalculating the number of trips along the canal underestimates the pollution cases by this "green" development and there is no mitigation in the study for it. " There are points along 101 between Olympia and Brinnon, such as the Lake Cushman Road, which are bottlenecks in the summer. The study itself admits that Department of Transportation counts 15 miles south of Brinnon already show traffic increasing by a third in August. There is no mitigation in the study for this. Traffic mitigation apparently will be paid for with our tax dollars. 2. Subject: How people will get to Pleasant Harbor 2 a a a Assumption: The study says that about 300 people coming to conferences each day will ride a shuttle bus to the resort. Problems with the assumption: o Traffic counts are minimized by assuming that people coming to conferences will be willing to ride a 40 foot shuttle bus on the route described above, rather than to rent cars and have the freedom to stop wherever they want and to extend their visit to see the National Park and Forest, Seattle, Victoria, and other tourist attractions. The study says that about 1/4 of the approximately 260 people riding the shuttle bus will bring their spouses...and not want a vehicle? o The study says that a shuttle bus will make four round trips to SeaTac a day. There are no supporting facts to show that people will take planes that arrive at the times of the shuttles. County staff estimate that the trip will take about 5 hours. Given traffic issues and pickup times, 4 trips a day doesn't seem possible with one bus. o 4 buses of 40 people (full) does not equal 300 people a day (equals 160). Impacts of the problems: o Same as in Problem #l: increased pollution in the Canal from a "green" development and tax payer funded mitigation of traffic problems. 3. Subject: Traffic mitigation suggested in the study for the Black Point intersection Assumption: that traffic issues can be mitigated by minor changes to the entrance to the Black Point Road Problems with the assumption: o Since much of the traffic is coming from the south, mitigation for that traffic is lacking, particularly at the intersection with the Lake Cushman Road. " Traffic plans do not show the distance from the Black Point entrance to the deadly curve south of the Black Point entrance, which has serious loss of sight due to the Duckabush hill (southbound) so that cars and trucks going 50 mph do not have enough time to slow down when there is backed up traffic, even with the turnout lanes. Worse is the sight distance for northbound traffic to the people tuming left across the main lane. o Professor Homer estimates that traffic will increase by about 70%o near Woodpecker Road. Impact of problems: " Traffic congestion o Traffic injuries and fatalities 4. Subject: Collision data used in traffic study a a a a a 3 a Assumption: That you can determine needed traffic mitigation by looking at just collisions in intersections between vehicles. Problems with the assumption: o Most collisions, particularly fatalities, do not happen in intersections on 101. (see attached DOT data). o Collisions are underestimated if you do not include collisions with animals or motorcycle accidents. Impact of problems: o The developer does not pay for the required mitigation if you do not include all the collisions, particularly the fatalities (motorcycle at MacDonald Creek, tanker explosion on Duckabush hill, etc). Taxpayers foot the bill. o Necessary traffic mitigation isn't done in a timely manner. 5. Subject: Dates of data used in traffic study a a Assumption: The study uses traffic data from as long ago as 2000 and assumes that nothing has changed in traffic pattems in that time. Problems with the assumption: " There is no evidence that traffic is the same as it was 13 years ago, or even 5 years ago. We need up to date data. o Data for the traffic befween Brinnon and SeaTac on the preferred southern route is not included in the traffic study. o We need accurate vehicle counts on every route. There seems to be data that truck traffic has increased on l0l recently. Impact of problems: o Inadequate mitigation because of inadequate data on routes, traffic volume, traffic Upeso Tax payer assumes cost of traffic mitigation o Environmental damage to Hood Canal from vehicle emissions, oil, and gas. a To prepare this analysis, we used the following documents, in addition to those already mentioned: . November27,2007 Final Environmental Impact Statement (FEIS): FEIS. August28,2007 Appendix 6 to the November 27,2007 FEIS, prepared by Transportation Engineering NorthWest, LLC: Appendix 6. August 28, 2008 Addendum Supplement to the November 27,2007 FEIS (we can send you a PDF; not on line). JanuEry 30,2012 Second Addendum to the November 27,2007 FEIS: Second addendum Washington Department of Transportation traffic counts to 2011 (we can send you a PDF; it is 60 pages) a 4 a a a Rrcruno R. HonxBR, PH.D. 230 NW 55" Srnpsr SEATTLE, WesgrNcroN 98I07 TprppuoNs : (206) 782-7 400 E-uetl: rrhorner@msn.com December 6,2007 Board of County Commissioners Jefferson County P.O. Box 1220 Port Townsend, WA 98368 To Whom It May Concern: I was requested by Northwest Watershed Institute to review the Brinnon Master Planned Resort (MPR) proposal regarding the potential effects of stormwater runoff from the project on the water quality of Hood Canal and the groundwater in the vicinity. I present my findings after stating my qualifications to perform this review. BACKGROUND AND EXPEzuENCE I have 30 years of experience in the urban stormwater management field and I I additional years of engineering practice. During this period I have performed research, taught, and offered consulting services on all aspects ofthe subject, including investigating the sources ofpollutants and other causes of aquatic ecological damage, impacts on organisms in waters receiving urban stormwater drainage, and the full range of methods of avoiding or reducing these impacts. I received a Ph.D. in Civil and Environmental Engineering from the University of Washington in 1978, following two Mechanical Engineering degrees from the University of Pennsylvania. Although my degrees are all in engineering, I have had substantial course work and practical experience in aquatic biology and chemistry. For 12 years beginning in l98l I was a full-time research professor in the University of Washington's Department of Civil and Environmental Engineering. I now serve half time in that position and spend the remainder of my time in private consulting through a sole proprietorship. Serving as a principal or co-principal investigator on more than 40 research studies, my work has produced three books, approximately 30 papers in the peer-reviewed literature, over 20 reviewed papers in conference proceedings, and approximately 100 scientific or technical reports. My consulting clients include federal, state, and local government agencies; citizens' environmental groups; and private firms that work for these entities. My full curriculum vitae are attached. FTNDINGS As stated by section 3.3.7 of the Brinnon MPR Final Environmental Impact Statement (FEIS), the basis of the stormwater management program is the Stormwater Management Manual for Western Washington (Washington Department of Ecology IWDOE] 2005), together with the Low Impact General Findinss To Whom It May Concern December 6,2007 Page2 Development Technical Guidance Manual for Puget Sound (Puget Sound Action Team IPSAT] 2005). The proponent goes on to state that 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. I now give my general impressions of this basic plan, to be followed with more detailed observations on each point. It is first necessary to recognize that application of the WDOE stormwater manual in no way guarantees reaching a goal of zero discharge. That manual does not feature management practices having strong capability to achieve zero discharge. The PSAT low impact development (LID) manual shows how to design drainage features that could reach zero discharge. However, that manual has none of the prescriptive requirements of the WDOE manual and is just a o'how to" guide to employ once the components of the stormwater management system are selected. Hence, it does not appear at all that the zero-discharge goal for the golfcourse resort has any force behind it. Even if the resort can be held to zero discharge, the FEIS presents insufficient information, even for the level of a rezoning application, for a reviewer, and the public atlarge, to judge well the prospects for achieving the goal. While I recognize that more detail will be presented at a later stage of project development, the public needs some more information beyond that given in the FEIS to have any confidence that the project will function as advertised and to countenance a major rezone. The marina portion of the project will not be held to the zero-discharge standard. While the FEIS states that its discharge will receive "full treatment," it gives no information at all on what that treatment might be and what is meant by "full." As with the plan for the resort, the public must be given a more complete basis upon which to evaluate the quality of the plan at this point in project development. Outside of the immediate project area, the FEIS does not assess the water quality impacts of anticipated traffic additions associated with the development. The Transportation Impact Study indicates increases on a number of local roads and highways of hundreds of cars a day on average. Automobiles emit or mobilize numerous pollutants that enter water bodies and degrade aquatic ecosystems. The FEIS is inadequate as long as it does not give the public a means by which to understand the full environmental impact before being willing to see rural zoning changed to accommodate this project. Further Observations Zero Discharge from Resort Achieving zero discharge depends on effective implementation of the types of site design and stormwater management practices presented in the PSAT LID manual. Fundamentally, these practices come down to infiltrating rainfall into the ground or harvesting water from roofs and other surfaces for a use such as landscape irrigation or "gray water" system supply (e.g., toilet flushing). The FEIS states that both of these methods will be used but not the role each would play. The intention is to store runoff in existing "kettles," use it to meet "water demands" , and direct the excess into the ground (by To Whom It May Concern December 6,2007 Page 3 what means is not revealed). Even though I did not have much information to go on, I feel safe in assuming that the project will have to make substantial use of infiltration to reach zero discharge. Successful water quality protection by infiltration depends of having soils that will percolate water rapidly enough to drain surface holding areas in time to prevent various problems that can occur with excessive ponding times (generally, within 72 hours), but not so fast that contaminants will reach groundwater and pollute it. The natural soils do not necessarily have to possess desirable soil pore storage space and hydraulic conductivities themselves, but can be amended (usually, with organic compost) to function well. However, clays cannot be sufficiently amended to provide enough pore storage and hydraulic conductivity to percolate rapidly enough; and, conversely, coarse sands and gravels cannot be amended to slow percolation enough to ensure groundwater protection. The authors of Chapter 3 of the FEIS made no reference to the site soil and hydrogeologic data in Appendix 4 and did not use it to assess in even the most rudimentary way what it means for the prospective success of their plan. The data are very sparse, with the soils information consisting of only the U.S. Department of Agriculture soil survey results. Soil survey data are generally not site- specific enough for conclusive determinations of infiltration potential, which often varies considerable in quite small distances. The reported data show very gravelly loamy sand predominating, which if actually the case would tend to encourage the belief that water could be infiltrated successfully but could penetrate too rapidly. Nevertheless, an informed judgment requires more site-specific data. The public cannot be expected to accept a major rezone in their county until they are told enough to gauge potential success. Insufficient soil storage and hydraulic conductivity will render zero discharge an illusion. Overly rapid percolation will threaten groundwater, a potable supply source in a rural area, and reach streams on the site and other nearby surface waters as seepage. There is heightened concern about groundwater quality when a golf course is involved. Golf courses are large consumers of fertilizer and pesticide chemicals, as well as irrigation water. The common water pollutant least capable of interdiction in soils is nitrate-nitrogen, which is introduced to the surface in large quantities with fertilization, from where it can be carried along with percolating irrigation or rain water to the water table. Nitrate is the agent causing methemoglobinemia, generally in infants, when consumed with drinking water. Pesticides reaching drinking supplies are obviously also a major health concern. Treatment of Marina Discharge The term "full treatment" as promised for the marina is simply meaningless. Different treatment systems have varying efficiencies in treating different pollutants. In addition to terrestrial runoff from upland areas, marinas are sources of all the pollutants associated with engines and petroleum products, cleaning agents, and household chemicals, used right on the water. Their potential for release and in what quantities depend on marina activities, particularly how much maintenance is performed, but they are always a factor. Also, it can be expected that a resort of this size will lead to greatly increased use of the existing marina, which would itself increase pollutant loading. Some treatment systems can do an excellent job in capturing these various pollutants, others are poor overall, and some are mixed depending on the pollutant in question. The project proponents must state how they would handle and treat marina discharge before the public can consider their plan. To Whom It May Concern December 6,2007 Page 4 Potential Trffic Impacts Table I I of the Transportation Impact Study shows the "Statesman" alternative to increase traffic by 6 to 89 percent on the various roads and highways in the project vicinity, with a 4l percent rise at one point on highway U.S. l0l (near Woodpecker Road). However, the origin of these figures is unclear and probably in error. My calculations do not agree when comparing the cited "Statesman" alternative traffic volumes with either the "Without Project" or'oNo Action" columns. For example, I got increases of 875 and225 percent comparing "Statesman" Black Point Road traffic with "Without Project" and'No Action," respectively. I found the "Statesman" increase on U.S. l0l near Woodpecker to be 69 or 5l percent with the same respective comparisons. I was likewise unable to reproduce Table I l's percentages for the "Brinnon" and "Hybrid" alternatives. It would be inappropriate, in my opinion, to go forward on this major action with such anomalies in key information supplied in its support. Motor vehicles are responsible for water body contamination from many sources. Brake pad and tire wear introduce copper and zinc, respectively, both highly toxic to aquatic life. Wear of engine parts contributes these and other toxic metals, like lead, cadmium, chromium, and nickel. Petroleum products leak from engines, transmissions, and braking systems. Sediments drop onto roads from chassis and undercarriages. These pollutants wash immediately into receiving waters during rainy periods but also stay on and around roads for later wash off when rains come. It is reasonable to assume that the roads around the resort and marina complex would experience the most elevated traffic in the summer months. Even though there is not much rain then, the remnants would be in concentrated form in the first flush of fall rains. Concentration of toxic materials, such as the various metals in road runoff, is the condition most dangerous to aquatic life. The FEIS is an incomplete and thoroughly inadequate document in not addressing these potential impacts at all. SUMMARY The Comprehensive Plan amendment application should be denied unless the Brinnon MPR proponent can provide convincing evidence that: (l) zero discharge from the golfcourse resort can be achieved; (2) soils are conducive to the intended infiltration either in their natural condition or after amendment; (3) infiltration will not contaminate groundwater or result in below-ground delivery of pollutants to surface receiving waters, with particular attention to golf course irrigation and rain water discharge; (4) marina discharge will be treated with a specific system to reduce harbor contamination from that source to the greatest extent possible; and (5) increased traffic will not degrade the water quality of Hood Canal and its tributary waters or threaten the survival and well being of their resident and anadromous aquatic organisms. This evidence must be made available to the public for another review of the proposal before its official consideration. I would be please to discuss my comments with you and invite you to contact me if you wish. Sincerely, 'fuzl*-{P-,7fu'*- Richard R. Horner FW: FW: Pleasant Harbor TIS l-30-12 Black Point x Devid W. Johnson Mar l9 to me, Jim Barbara, After discussing Mike's response to our queries, Karen and I are satisfied that they have been addressed sufficiently to produce the preliminary draft ofthe SEIS. From: Michael Read Imailto:mikeread@tenw.com] Scnt: Thursday, March 14,2013 6:16 PM To: David W. Johnson Cc: peckassoc@comcast.nel Garth Mann Subjcct: Re: FW: Pleasant Harbor TIS l-30-12 David: remain very conservative. construction scheduled and revisions to the site plan/construction phasing. findings and conclusions regarding off-site mitigation, site access and WDFW access revisions remain valid with or without implementation of the shuttle bus. hour shuttle bus work shifts to accommodate the demand, which assumes a 4-hour round trip between the site and SeaTac Airport. Michacl Rerd, PE I Principal TENW PO Box 65254, Seattle, WA 98155 mikeread@tenw.com I Offi ce: 206-361-7333 (x l0l )lCell : 206-999-4145 On3l14l20l3 I l: 12 AM, David W. Johnson wrote: Mike, Could you please review the comments fiom Jim Pearson and Karen Swenson and provide us with an addendum to the TIS to address these issues? Thanks! From: Swenson, Karen [mailto:kswenson@eaest.comJ Scnt: Thursday, March 14,2013 l2:01 PM To: David W. Johnson Cc: Schipanski, Rich Subjccfi RE: Pleasant Harbor TIS l-30-12 base the project's impacts on 2006 traffic volumes? Does it use a 2% growth rate (as noted in Attachment A) to get to the base year (201 1 or 2012\'! The buildout year appean to be 2017, which is a l0 year buildout from the 2007 FEIS. Should tris date be revised? Alsq although oflesser concem, the collision data also is not updated in the updated transpo'tation report which is fiom 2003-2005 in the DEIS. Just questions to raise for Public Works and TENW... Thanks, Karen From: Jim Pearson Sent: Tuesday, March '12,2013 9:58 AM To: David W. Johnson Cc: Mike Read - TENW; Statesman - Garth Mann Subjcct: RE: Pleasant Harbor TIS l-30-12 Thanks for the opportunity to review the revised Transportation Impact Study. as Port Townsend and the Olympic National Park, it is unlikely that the mid-day shuttle trips would carry 40 p,rssengers. tIWYl0l / Black Point Road intersection and the improvements to the Black Point Road structure and roadway width. This is acknowledged in the TIS. Jim Pearson Jefferson County Public Works Departnent 623 Sheridan Sfeet Port Townsard, WA 98368 (360) 385-9162 (360) 385-9234 Fax From: David W. Johnson Sent Monday, March I1,2013 3:28 PM To: Jim Pearson Cc: David W. Johnson Subject: Pleasant Harbor TIS l-30-12 Attached. David Wayne Johnson - LEED Green Associate Associate Planner - Port Ludlow Lead Planner Deparfrnent of Community Development Jefferson County 360.379.4465 4!nttE e ?60 Black Point Rd, Brinnon, WA 98320 60 EackPdnt Rd, Briryn, WA9&P0toSodaTacqra lntdnelind Arprt- Goglc Map Dlrucdone to Seatde-Tacoma I ntomationa I A rport 17801 lntemationalBlW, Seattle, WA 98158 110 m! - about 2 houru 0 mlns Co'u;gl, tr t- @ @ ? ? ? 1. Head wesl on Black Point Rd torard Old Black Point Rd 2. Tum left onto US-lOl S Aboutlhour6mins 3. Make a U-tum About 58 secs 4. Keep left at the fork, bltow signs br !.5 iUOlympla/Scattc and merge onto l€ N About 48 mins 5. Take exit l5{ to merge mto l-105 Sr}VA6l8 W toward Burlen 6. Continue onto WA{18 W About I min 7. Take the exit toward Sea-Tac Airport About 1 min 8. Merge onto Arpoil Enprc*ay Abant 1 min 9. Sligtrt right onto DcparUrus Dr About 1 min Seattle-TaconE lnte rnatlonal Arport 17801 htemational Blvd, Seatfle, WA 98158 go 423 ft total 423 ft go 56.3 mi total 56.4 mi go 0.6 mi total 57.0 mi go 49.9 mi total 107 mi go 0.5 mi total 107 mi go 1.0 mi total 108 mi go 0.8 mi total 109 mi go 0.8 mi total 110 mi go 0.4 mi total 110 mi .16,t ocirl E) t i.i a ,h I f These directions are for planning purposos only. Yw nay fhd that construction proiects, traffic, weather, or other events nay causs conditions to differ from the nup results, and you shouH plan your route accordingv. You mrst obey all signs or notices regarding your route. llhp data o2013 Googlo Elrectione werent riEht? Flease fhd your routo on npps.qooole.com and click "fuoorl a Drobloirf at th€ bottom hft. l$e/ihnp.google.cottlrup?tsdtsdroFE-dEEd=dFBed$Ftirt+Rd,+Brinnn,+WAtddr=SdoTryrn+lrirmlio,C+Arpd.t,+1780'l+lnlg'rdi... 111 '*,o"'i'ifl* REPORTED COLLISIONS THAT OCCURRED ON STATE ROUTE 101 in THE LISTED COUNTIES Ilf/2OO2 - 9l3O/2Ott (September of 2O77 is the most current complete month processed) As of 7/1/2009 Citizen Reports are no longer being coptured Jefferson County (mp 274.55 - 374.62, eostside only) Mason County (mp 314.63 - 356.92) Thurston County (mp 356.93 - 367.41) NooN ooN oN oN oooN rooN @ooN o oN o oN oN tr P o N oo o N ooN @oo rooN o N oooN o oN oN E P NooN o N ooN o @oo rooN @ooN oooN o oN oN E s 39.97 Jefferson (Eostside Only)4 2 4 1 2 5 1 2 1 22 31 32 29 29 31 47 22 32 29 15 297 60 38 50 35 44 48 35 39 38 20 t07 720 42.29 Mason 2 2 L 4 8 2 2 4 1 26 42 54 42 63 59 46 36 35 36 29 /u2 78 83 92 82 83 104 78 67 7L 43 787 L,249 10.48 Thurston 2 2 2 1 I 1 9 73 86 85 68 74 65 64 66 47 4L 669 133 145 t37 143 150 196 L47 138 t72 101 ,,,462 2,r40 92.74 TOTAL 6 5 5 7 72 7 2 4 6 2 57 279 277 348 260 2/U 287 7A 2,6s0 4,70!)746 772 756 760 764 752 722 733 772 85 7,402 277 266 260 Total Center Lane Miles FATAL COLLISION INJURY COLLISION *PDO - NO INJURY COLLISION COUNTY GRATD T{)TAL .s os r*- osg *t" "s FATAL COLLISION INJURY COLLISION *PDO - NO INJURY COLLISIONJUNCTION REI.ATIONSHIP * PDO = Property Domoge Only **At Drivewoy = At Drivewoy, At Driveway but Not Reloted & Drivewdy Reldted but Not ot Driveway ***At lntersection = At lntersection ond Reloted, At lntersection ond Not Reloted, lntersection Reloted but Not dt lntersection & At Drivewoy within Mojor lntersectior Prepared by: WSDOT - COLLISION BRANCH sl2s/2oL2 GRAITD TOTALNooN ooN oo 6ooN @ooN rooN @oo oooN o od o 6 P Noo ooN oo o N @ood rooN @oo oooN o oN oN Et P Noo ooN o N ooN @ooN ro d @ooN ooo o N od E P *t At Driveway 1 7 2 3 3 2 7 6 L 1 2 27 5 2 2 1 3 1 3 4 2 23 51itr At lntersection 7 1 L 3 4 4 8 6 4 4 4 6 2 2 /u 10 7 9 3 9 8 7 7 5 3 68 115 Not at lntersection or Driveway 4 2 3 1 1 4 1 2 78 29 39 31 32 39 25 28 31 t7 316 554252518272031L72527LL22045 Totol 4 2 4 7 2 5 7 2 I 22 37 32 29 29 37 47 22 32 29 75 297 60 :n 50 35 lu /t8 35 39 38 20 tn7 720 a* At Driveway 4 3 4 6 5 5 3 18 8 9 6 5 8 t 6 5 1 67 LL7338/u *r* At lntersection t 1 1 1 1 5 8 T2 7 19 15 I L7 8 7 9 777 25 20 L6 18 25 29 20 18 L6 10 197 313 2 517 825Not at lntersection or Driveway 1 3 7 2 2 3 1 27 30 39 31 38 39 32 16 24 27 t7 287 35 55 67 58 53 67 s7 43 50 32 Totol 2 2 7 4 I 2 2 4 ,26 42 54 42 63 59 46 36 35 36 29 /u2 78 83 92 82 83 7A 78 67 77 43 781 7,249 t* At Driveway 1 1 2 2 *** At lntersection t L 2 L7 22 26 23 31 t4 23 27 L4 11 208 37 40 30 31 43 53 43 4t 54 37 409 619 Not at lntersection or Driveway 1 2 2 L 1 7 56 64 59 45 43 51 4L 39 33 30 467 96 105 to7 IT2 to7 143 103 96 118 64 ,,o57 1,519 2 2 2 7 7 ,138 772 707 1.462 2,740TotolI738685687465il664741669733745737743750796,47 2,650 4,7U)GRAND TOTAL 6 6 5 7 72 7 2 4 6 2 s7 146 772 156 160 764 752 722 733 772 85 7,402 277 256 279 260 277 !t48 26t0 2/U 287 764 TJNDER 23 UNITED STATES CODE _ SECTION 409, THIS DATA CANNOT BE USED IN DISCOVERY OR AS EVIDENCE AT TzuAL IN ANY ACTION FOR DAMAGES AGAINST THE WSDOT, OR ANY JURISDICTIONS INVOLVED IN THE DATA