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Eldridge For All

Eldridge For AllEldridge For All

sonoma land trust letter regarding the NOP

Download PDF

sdc specific plan eir process (vicki hill, land use planner)

Please submit your comments before the close of the NOP public comment period on 3/25/22 at 5pm!

 BACKGROUND - WHAT IS CEQA AND WHY DO AN EIR?

CALIFORNIA ENVIRONMENTAL QUALITY ACT (CEQA) objectives: 

  1. Inform governmental decision-makers and the public about the potential significant adverse effects of proposed activities;  
  2. Identify ways to reduce or avoid environmental damage that could result from public decisions on projects;  
  3. Prevent significant, avoidable environmental damage by requiring changes in projects (alternatives); 
  4. Provide opportunities for other agencies and the public to review and comment on a project.  

An ENVIRONMENTAL IMPACT REPORT (EIR) is required when the lead agency determines the project would potentially have one or more significant impacts* on the environment. 

An EIR includes:

  • Description of the project, so both the proposed SDC Specific Plan and the draft policies and guidelines for the Plan are part of the project description. 
  • Environmental setting where the project would be located 
  • Discussion of environmental impacts and mitigation measures to minimize significant impacts. 
  • Analysis of alternatives to the proposed project or to its location that would feasibly attain most (not required to achieve all) of the project objectives and would avoid or substantially lessen any of the significant effects of the project. Must also evaluate the No Project Alternative.
  • Identification of an Environmentally Superior Alternative, which is defined as the alternative that would result in the least adverse environmental impacts when compared to the proposed project.

EIR PROCESS: (in a nutshell)

  • Scoping
  • Draft EIR/Draft Specific Plan
  • Public Comment on Draft EIR/Specific Plan (minimum of 45 days)
  • Final EIR (no formal public comment period) – must respond to comments made on the DEIR.
  • Certification of EIR and approval of Specific Plan by County Board of Supervisors

Scoping:

The PURPOSE of scoping is to solicit comments regarding the scope or content of the EIR – what needs to be analyzed in the EIR and how should it be analyzed, what alternatives and what potential environmental impacts should be studied? Also, YOU can recommend methodologies, mitigation measures, and environmental thresholds to use in the EIR analysis.

Public scoping serves to include agencies, stakeholders, and interested public in the decision-making process and to allow full environmental disclosure.

scoping process:

  • Starts with issuance of a Notice of Preparation (Otherwise known as the NOP). (State CEQA Guidelines § 15082)
  • The NOP solicits comments on the scope of the EIR for not less than 30 days. (State CEQA Guidelines §§ 15082 and 15083)
  • A scoping meeting is held to receive oral comments.

WHAT IS A NOTICE OF PREPARATION?  

The NOP is a document stating that an EIR will be prepared for a project. It is the first step in the EIR process. The primary focus is on notifying public agencies about the project. Issuance of the NOP and responses to the NOP (known as scoping comments) mark the beginning of the Administrative Record for the EIR. Comments submitted prior to this step are not included or addressed – that’s why it’s important to respond to the NOP and submit scoping comments. 

WHO RECEIVES THE NOP?

The NOP is sent to:

  • State Office of Planning and Research (State Clearinghouse – see below),
  • Each Responsible Agency, such as CalTrans (if a road is proposed to Hwy 12)
  • Each Trustee Agency responsible for natural resources affected by the project. For example, California FWD,

There is no requirement for individual members of the public to receive the NOP but it will be posted on the County sdcspecificplan.com website.

WHAT INFORMATION NEEDS TO BE INCLUDED IN THE NOTICE OF PREPARATION?

The minimum content requirements for a NOP are:

  • Description of the proposed project
  • Location of the project shown on a map
  • A list of potential environmental issues

SCOPING COMMENTS: 

The purpose of submitting scoping comments is to inform the County of environmental concerns and alternatives that should be addressed in the EIR.  

 IMPORTANT NOTES: 

  1. Resubmit comments regarding environmental issues and alternatives:  Even if you submitted environmental concerns earlier in the Specific Plan process.  The County is not required to consider them unless sent in as scoping comments.   
  2. What to include in comments: 

  • Focus on EIR issues, not on whether you like or dislike the project.  It is not your job to do the analysis but to identify what analysis needs to be done in the EIR.
  • Review and address the project description contained in the NOP, not some previous version or the three alternatives. 
  • Comments should identify the following:
    • Environmental issues that should be addressed (e.g., impacts on wildlife, traffic, consistency with land use policies, noise, light, etc.)
    • Alternatives that should be included in the EIR analysis; provide as many details as possible.
    • Methodologies that should be used in the EIR analysis
    • Environmental Thresholds (Significance Criteria)
    • Mitigation Measures
    • Information sources or studies that should be consulted in preparing the EIR.

  1. 30 Day Deadline: Comments must be submitted to the County within 30 days of the NOP.
  2. Scoping Meeting:  Comments will also be accepted verbally at the Scoping Meeting later this month but time will be limited so it’s best to submit written comments. 

NOTE: CEQA does not require the County to respond to individual scoping comment letters but it does require the County/Consultant to consider scoping comments in preparing the EIR.

*What is a Significant IMPACT?

A “substantial, or potentially substantial, adverse change in any of the physical conditions within the area affected by the project.”  

Written comments can be emailed to Brian Oh:    

Brian.Oh@sonoma-county.org 

SDC Redevelopment Planning Community Survey

This is a must read!!!

Download PDF

Addendum SDC Redevelopment Community Planning Survey

Download PDF

talking points for your comments to officials

Prepared for Jan. 25, 2022 Board of Supervisors Meeting

NOTE: WE ARE KEEPING THE INFORMATION BELOW AVAILABLE AS REFERENCE MATERIAL. HOWEVER, IT IS NOT ENTIRELY APPLICABLE NOW THAT THE SCOPING AND EIR PHASE OF THE SDC SPECIFIC PLAN PROCESS HAS BEGUN. 


If you object to the recently released Permit Sonoma SDC Project Description Framework, here is the latest round of Talking Points for your comments to County and State officials. Please submit your comments before the Jan. 25 Board of Supervisors meeting (click here for meeting details and agenda). Click here for an extensive contact list and suggestions for submitting your comments. 


 Important things to remember:

  1. Comments need to be directed to the current Board item at hand – the draft “project description” and staff report. 
  2. Regardless of the need for more time or the need for State cleanup (both of which they’ve already heard), it is critical to point out why the current alternative does NOT meet the needs of the community, is NOT responsive to overall Sonoma Valley community input, and is not acceptable.
  3. Identify clearly what needs to change in the project description – for one, the overall numbers need to be reduced.  The vast majority of community members and local organizations asked for a substantial reduction in numbers because those numbers result in significant unavoidable impacts.
  4. This is NOT the time to focus on developing a trust.  Yes, it’s important, but not for this Board meeting and it will only be a distraction.  The focus should be on why this alternative is still not O.K., what needs to be done to make it O.K., and the need for more time to work it out and the State to step up to the plate.
  5. Using a template is not really the way to go.  Form letters don’t usually get any attention from the reviewers. Speak honestly and make a few points clearly.  Several board members have rural communities in their districts.  If you can figure out ways that they can relate to our plight, that would help.  In some sectors, there is a general feeling that Glen Ellen and Kenwood are rich white communities, which is not entirely the case.  The fact that Glen Ellen already houses over 200 apartments on the south side of SDC should count for something, and those residents will be directly impacted by traffic, etc.

Talking Points:

  • #1 Issue:  Overall intensity of proposed redevelopment (1000 homes and 1000 jobs) - In addition to there being no market demand for the 1000 jobs, there is no feasible mitigation for the myriad of impacts (wildfire risk and evacuation, traffic, air quality, wildlife and open space impacts, etc.) associated with introducing 4,000 to 5,000 people on the site in the middle of a critical wildlife corridor and rural village and outside of an urban growth area within a high wildfire risk area. It doesn’t make any sense from a planning or environmental resource perspective.
  • #2 Issue:  The County Project Description is NOT reflective of overall community input despite what the staff report says - practically everyone rejected the high numbers in the three alternatives, and this alternative does not reduce the numbers; in fact it has the most jobs (Alternative A had only 600 jobs).  Complete disregard for Sonoma Valley community and wildlife corridor.  The community DOES support housing, especially affordable housing, but not at this incompatible scale.
  • The community is in agreement about reducing the overall development  and wants to work with the County towards an alternative that will expedite the process.
  • Window dressing – this is not a new alternative.  The changes reflected in the alternative such as slightly increased creek and wildlife corridor setbacks don’t address the significant impacts that will occur as a result of the high density/intensity development.  The campus itself is part of the wildlife corridor.  The previous institutional use cannot be used as a basis for justifying these high numbers – those residents were not driving cars, going to school, shopping, etc.  and the onsite businesses were not retail uses that attracted visitors (and more car trips).
  • Financial assumptions are driving the high numbers.  Should change the assumption about the amount of public financing so that overall numbers could come down.
  • We are in an impossible situation, expecting the community to pay the price in impacts so the State can avoid paying for clean up of the site.
  • Not in compliance with the guidelines set by the County – “Balance Redevelopment with Existing Land Uses. Use recognized principles of land use planning and sustainability to gauge how well proposed land uses protect public trust resources and fit the character and values of the site and surrounding area, as well as benefit local communities and residents.”
  • Better to take the time to address issues now rather than ending up in an extended contentious process.
  • The community wants to work together and is willing to make compromises – please give us a chance.
  • Better to take the time to address issues now rather than ending up in CEQA litigation. 





For a deeper dive: Scroll down the page and click on headings to read talking points for each of these categories:


SDC Redevelopment Planning Community Survey

Financial Feasibility

Fire and Emergency Preparedness

Historical Resources

Housing and Scale

Land Use Planning

Special Needs

Traffic and Transportation

Wildlife Corridor, Open Space, and Water

 

The Glen Ellen Forum, Sonoma Land Trust, Sonoma Mountain Preservation, North Sonoma Valley Municipal Advisory Council, and other organizations and individuals are working together to create an effective response to the recently released SDC Alternatives Report and Project Description Framework.


The talking point categories listed above were extracted from the Nov. 8 Glen Ellen Forum meeting. Click here to read a summary of public comments shared during the meeting. You can also contact the individuals listed under each category heading if you'd like more information. If you don’t see your interest represented, please send us a note so we can learn about it. 

Bonnie Brown, SDC Campus Project

bonniebrown42020@gmail.com


Larry Davis is  initiating a study and research  group to analyze  the financial feasibility of SDC proposals.  If you are interested in collaborating with this group, contact Larry Davis at  davislhd70@gmail.com. 


Land use plans such as the three alternatives that have been presented by the consultants need to be financially driven by development, which brings income (property taxes or sales taxes) to the county and the developers, in order to build affordable housing and other projects that are not as financially producing. 


In 2018 the county and state were presented with the option to initiate a Trust, similar to the Presidio Trust, to plan development at SDC. A trust allows for community planning and a combination of financial streams. They were concerned about the time needed to accomplish a trust and the county did not want to run one. They decided on having an urban land use planning group make three alternatives that are before the public now, developer-driven.

Through private philanthropy, government, and foundation funding, perhaps either a trust can be formed for the entire site, or a portion of it. This provides for the features that are beneficial to people on this public land with less quantity of development.


For a deep dive into background information, read this document: Sonoma Developmental Center: Site Transformation Study (2015), prepared by The Potrero Group for Transform SDC.


Mark Newhouser, Chair, NSVMAC Emergency Preparedness Ad Hoc Committee

mnewhouser@vom.com

Nick Brown, Chair, Glen Ellen Forum Steering Committee

nickbrown12800@gmail.com


  1. The threat of wildfire is foremost on our minds, yet the increasing probability of other emergency disasters, such as earthquake, flooding, and extended drought, should also weigh heavily when planning any major development in Sonoma Valley, such as those posed by the SDC alternatives. A viable development plan should include careful consideration of the increased public safety risk under all of these possible disasters. 
  2. The three proposed SDC development plan alternatives – predicted to result in the doubling of the population for the Glen Ellen area – do not adequately address the increased risk posed by the plans. The large scale of all proposed alternatives is highly problematic for disaster preparedness, risk management, and emergency response. 
  3. Disasters such as fire and flooding are likely to require mass evacuation. The geography of the valley with its limited road network and the historic pattern of wildfires cutting off evacuation routes make emergency evacuation perhaps the most vexing public safety issue in the North Sonoma Valley. A large population increase, such as proposed for SDC, will significantly increase the risk of traffic jams and harm to those stranded in disaster zones.
  4. The proposed plan to extend an emergency road from SDC east to highway 12 appears ill-conceived as it would direct traffic toward the path of wildfires and would force southbound traffic to navigate a densely populated and far more heavily trafficked segment of highway. A more effective plan would be to expand existing arterial roads, adding lanes to highway 12 and Arnold Drive, both north and south of Glen Ellen and Kenwood. While cost prohibitive and highly improbable, arterial expansion would be necessary to solve an existing evacuation problem, much less accommodate the additional traffic burden of a large residential development at SDC.  
  5. In the event of a major earthquake, we may lose all egress and be forced to shelter in place. Resources will be limited – food, water, fuel and other necessities will be in short supply. The proposed plan to double the population of the area will only exacerbate the shortages. Extended drought would also tax our limited water supply, which is primarily imported from the Russian River via an aqueduct that could fail in a disaster. Groundwater in the valley is in peril as it has been over-exploited and unable to adequately recharge for decades. Any new development will also increase stormwater runoff, which contributes to flooding and decreases groundwater recharge, further reducing water supplies and diminishing stream flow that is necessary for sustained fish and wildlife populations. Due to the vulnerabilities of our water supply, any proposed development in the valley must address the additional risk to available resources and public safety posed by the development under all possible emergency conditions.
  6. Disaster preparedness and prevention must also be considered when proposing new developments. Wildfire prevention requires substantial changes in construction and landscape practices. However, the public safety demands for even greater protection have extended into our wildlands, resulting in the establishment of continuous firebreaks surrounding communities. Fuel breaks and extended setbacks are typically encroachments into wildlands that diminish wildlife habitat. The greater the footprint of the planned development at SDC, the greater the reduction of wildlands and wildlife habitat. As the firebreaks and vegetation management setbacks increase, so do the impacts on the viability of the existing wildlife corridor, which also provides a valuable community separator and greenbelt between existing developed areas within the valley. 
  7. The proposed expansion of development, including new construction, installation of utilities, and additional human use will also increase the risk of wildfire. Utilities, including gas mains and power lines, and increased recreational use within the former SDC property will inherently increase the risk of fire. 
  8. We can prepare for disaster, manage risk, and retain the ability to respond to emergencies by planning future development based on resource limitations and connectivity. Our respect for these limitations and interdependence of resources – the need to consider the consequences and long-term sustainability of our actions – will not only help preserve public safety, but also preserve our quality of life and that of all living things. 


Teresa Murphy, Board of Directors, Glen Ellen Historical Society 

glenellencav@comcast.net


The property was zoned H-4 (Historic District) in the 1970’s. Zoning change proposals could disregard the need for maintaining cultural and historic integrity of the property. Any future building needs to be reviewed by the County to assure compatibility with Glen Ellen and its history.


  1. The only two buildings that were ever evaluated and listed for historic significance are the brick Professional Education Building (1908) and the Sonoma House mansion (1897. The GEHS has proposed a historic area that includes several other historically significant buildings. 
  2. The GEHS applied to Sonoma County for Landmark status for the property over a year ago, however, no progress has been made to date.
  3. Eldridge was previously evaluated by the California State Historic Preservation Office to meet the eligibility for listing in the National Register of Historic Places.
  4. The GEHS has purchased the SDC library and has expressed an interest in the collection of historic artifacts assembled and preserved at SDC.
  5. The GEHS has begun funding efforts to develop the buildings requested for a historic district. In addition, the GEHS proposed event center will generate funding to support the historic site. 
  6. Historic preservation and climate sustainability are natural partners. Preservation and re-use of historic buildings reduces resource and material consumption, puts less waste in landfills, and consumes less energy than destroying entire buildings and constructing new ones.
  7. It is well documented that well preserved and revitalized historic districts give an older area an economic boost. It is clear from many sources that historical designations affect property values in a positive way and are a boon to the communit


Susan Oldroyd, NSVMAC Councilmember

soldroyd645@gmail.com


The housing prioritization as described in the Vision State­ment and Guiding Principles came from state mandates, as well as the research and community engagement completed by the project team. A variety of housing types is being promoted to address Sonoma County’s housing needs and the State’s objectives for the site. The alternatives show a range of housing opportunities, including affordable housing, workforce housing, mid-in­come housing, housing for individuals with developmental disabilities, senior housing, and market rate housing.

Questions:

  1. What is the justification for such a high density development? 
  2. Please explain the Housing Density Bonus (see Page 22 of the Alternatives Report).
  3. What parking requirements are being used for housing? 
  4. Is there a state or county requirement for employment types of uses as well as the requirement for housing?
  5. Please explain the CEQA “tiering” exemptions from environmental review for certain projects, including housing developments (see Page 6 of the Alternatives Report).

Other Talking Points:

  1. The site and the community cannot support the level of density proposed
  2. Proportion allotted to affordable housing is not sufficient-- how is this defined?
  3. Harmony with other neighborhoods in terms of appearance and history
  4. Local school/educational institutions
  5. Child care facility
  6. Better outreach to Hispanic community
  7. Need designated housing for:

  • Local work force for newly created jobs and also for those currently working the valley like farm workers
  • Elderly Long- term care facility
  • Co-housing for youth and elderly
  • Previous residents
  • People with special needs: Housing for people with special needs was promised in the state legislation for SDC transfer


Vicki Hill, Planning Advisory Team Member

vicki_hill@comcast.net


The SDC Alternatives Report published by Sonoma County includes three alternatives with high density residential and commercial development. None of the alternatives are acceptable for many reasons, including the following land use, planning, and policy issues:

  • Development Density: Yes, we need housing but the SDC site is outside an urban growth area and not well suited for high density development due to the lack of services, transit, and sufficient roadway capacity. The site sits in the middle of the semi-rural village of Glen Ellen. This is by far the largest development ever proposed in Sonoma Valley. Both construction and operation will have substantial impacts on both adjacent neighborhoods and Sonoma Valley as a result of doubling or tripling the population in this small community. 
  • Science and good land use planning principles should guide the parameters of where and how much development is located on the property.
  • The density is in conflict with County policies emphasizing city-centered growth, open space resource protection, and General Plan policies regarding preservation of the land use integrity of Glen Ellen. 
  • Assumptions that onsite jobs will reduce vehicle trips are flawed, as there is no guarantee that people who live there will work there.  
  • Wildlife corridor protection means reducing density.
  • Many people have requested an increase in the percentage of affordable housing, not adding to the existing housing numbers.
  • The project will be growth-inducing, as the number of projected residents will need services beyond what is provided on the site. Pressure will be placed on surrounding rural lands to provide additional goods and services.
  • The alternatives show typical grid like patterns and do not reflect clustering and other features to reduce the overall footprint and massing of buildings.
  • The alternatives do not maintain the existing open campus feeling.
  • There is no consideration of compatibility with the surrounding Glen Ellen community and open space resources; there is no buffer on the south side adjacent to existing neighborhoods.
  • The alternatives are inconsistent with the Specific Plan Guiding Principles, established and presented in the report:
    • (#2) “Ensure that new development complements the adjacent communities of Glen Ellen and Eldridge.”
    • (#3) “…maintains and enhances the permeability of the Sonoma Valley Wildlife Corridor for safe wildlife movement throughout the site.”
    • (#4) “Balance Redevelopment with Existing Land Uses. Use recognized principles of land use planning and sustainability to gauge how well proposed land uses protect public trust resources and fit the character and values of the site and surrounding area, as well as benefit local communities and residents.”
  • There is no State mandate or market incentive to develop a large-scale commercial zone, especially the size referenced in Alternative C. There is no guarantee that an “innovation center” would be developed, and instead we may be faced with another large commercial enterprise (big box) that causes even more impacts. Think about it. Do we really want to open the door to the possibility of an Amazon distribution center in the middle of the critically important Sonoma Valley Wildlife Corridor?


Kathleen Miller, Advocate for Individuals with Developmental Disabilities

kathleenmiller620@yahoo.com

Howard Sapper, Sonoma County Commission on Human Rights member, Executive Director, Everybody Is A Star

bo@everybodystar.org


RE- Housing for IDD (Individuals with Developmental Disabilities) on the former site of Sonoma Developmental Center (SDC): There are a number of key elements community homes for IDD need to include as follows:


1-They are single family homes that must be able to house three to four individuals with adequate room for staff. This most often means a four bedroom home with an additional office space. In the case of those with challenging behaviors this may also need to include a room where an individual experiencing difficulty may go to have quiet away from other residents. 


2-In the case of a home housing those with challenging behaviors, the most likely case due to increasing need in this area, there needs to be an ample fenced backyard where residents can go to spend time outside safely. This was proven to be critical during lockdown recently. In addition, housing in areas where there are opportunities for walking is also very important. For many IDD with challenging behaviors walking is an important part of their day.


3- Parking for multiple cars needs to be part of the picture since at any given time there are multiple staff working in care homes. Most homes also include Vans for transporting residents. There are also frequent visitors including family or outside consultants.


4 -While large single family housing sites may not be the dominant option being created for the SDC site they are an important option for homes for the IDD population.


5- The Sonoma County Board of Supervisors on July 24, 2018, passed a Gold Resolution urging all homeowners, builders, and architects to include at least basic visitability standards in all new housing construction.


Visitability is an inclusive design approach that integrates some accessibility features required under Universal Design principles:

  • One no-step entry
  • Doors with 32 inches of clear passageway
  • At least one accessible half-bathroom on the main floor

Visitability standards are less extensive than Universal Design, but can still enable current and future residents to age-in-place and adjust to temporary or permanent mobility issues, and accommodate visitors with disabilities. 


Ideally:

  • Minimum of 40 units of housing for kindly disabled community.
  • Job training programs for the cognitively disabled.
  • Allocated space for nonprofits serving the disability community
  • Return of the historic disability summer camps that took place on STDC campus for many years
  • Guarantee of all facilities being ADA compliant including transportation options. Local bus service stopping there as well as para-transit stops.
  • Significant honoring of the past use of the property including the mandate from the family that originally gifted the state the property for the use of the disability community.
  • Mandated quotas for employment for the disability community and all businesses on the campus including technical training programs to integrate disability community into any high-tech future.


Kate Eagles, Chair, NSVMAC Traffic and Safety Ad Hoc Committee

eagleskate11@gmail.com 


Traffic / Transportation topic includes traffic and transportation impacts and related infrastructure created, implied or required under the alternative plans. Pedestrian crossings, multi-use and bike paths within the SDC footprint are also included in this topic. 


A few points to consider from alternative plans regarding TRAFFIC impacts to Sonoma Valley: 


  1. Page 61-63 - No information is provided on trips per household or assumption of people per household. No info on trips from outside SDC to commercial uses in SDC (other than employees). No information on daily truck trips, recreational user trips, hotel guest trips.
  2. Page 61 - “Historic traffic volumes generated at the SDC campus during its 1996 employment level of 1,914 employees were also estimated.” NOT RELEVANT – must compare to what’s on the ground now, per CEQA.
  3. Page 62 - Peak trips per day (in 1996?) were 3,800 – but what’s not said is that these trips were spread out over 3 shifts. Also, the baseline amounts of vehicle trips in 1996 were much lower than now. Alternative estimated daily trips equal 5400 (A) and 6300-6400 (B and C), but assumptions behind these estimates are not divulged. Page 67 - Too many trips are assumed for non-vehicle travel (18 to 20%).
  4. Page 63 – Report admits that traffic would increase by 40% to 70% on Arnold, depending on alternative. THAT IS SIGNIFICANT and even at that, it’s an underestimate.
  5. Page 64 - “The segment of SR 12 between Boyes Boulevard and Verano Avenue, however, currently operates poorly in the LOS E range and would be expected to fall to the LOS F range with all three alternatives. This roadway segment passes through the Springs communities, serving as their main street, and has high levels of pedestrian and bicycle activity as well as vehicular movements to and from side streets.” This demonstrates that not only Glen Ellen will be impacted – traffic from this high density in SDC will impact the entire Valley and exacerbate already poor conditions.
  6. (LOS = Level of Service, as defined on page 63.) 
  7. Page 65 – Traffic through Glen Ellen would drop to LOS D, which is unacceptable according to County operating standards. So, more congestion in village of Glen Ellen. (See LOS chart 4.3-1, page 64.) 


John McCaull,  Sonoma Land Trust: Land Acquisition Director, Planning Advisory Team Member

johnm@sonomalandtrust.org

Nancy Kirwan, Board of Directors, Sonoma Mountain Preservation

nancyeverskirwan@gmail.com


1. It's critically important that any development proposal for the Sonoma Developmental Center (SDC) property protects the wildlife corridor located there.

  • The Sonoma Valley Wildlife Corridor (SVWC) is part of the longer Marin Coast to Blue Ridge Critical Linkage, which has been identified in the Bay Area Critical Linkages Project and Conservation Lands Network as a continentally important wildlife linkage.
  • SVWC narrows down to a critical “pinch point” in the Sonoma Valley between the Mayacamas and Sonoma Mountain. The narrowest part of that pinch point is precisely located at SDC.
  • The most important ecological benefit of the SDC property is to provide habitat connectivity across the SVWC, which has already been impacted by habitat loss and fragmentation due to an increase in vineyard planting and exurban development.
  • SDC’s land sustains habitat connectivity for native plant and wildlife species. This is necessary for providing key ecological benefits to humans as well, such as forest health and water resources, and to help moderate the effects of climate change on our region. Habitat fragmentation, often caused by poorly planned development, is the major cause of extinction today and is considered by many scientists to be the largest threat to preserving the world's biodiversity.


2. None of the currently proposed SDC development alternatives describes in any detail how the wildlife corridor will be protected nor do they support the SDC Specific Plan’s guiding principles (see the full list of guiding principles below). 

  • Full transparency is needed regarding how the SDC wildlife corridor is being considered and prioritized in the processes of development proposals. For example, it is only now that information concerning a proposed new road through SDC has been made available. This is the first time such a proposal has been raised and is highly problematic given the extremely short planning and approval timeline proposed.
  • None of the alternative plans indicate adequate protection of the wildlife corridor. Maintaining habitat connectivity and enhancing wildlife corridors is a cornerstone of California’s State Wildlife Action Plan. Wildlife corridors that offer significant benefits to under-protected ecological communities, and that are found in “areas where substantial development is projected,” are a priority for state and federal land management and wildlife agencies to “protect from development those critical wildlife migration or dispersal corridors that cross ownership boundaries and county jurisdictions.”
  • Ultimately, if Sonoma County proceeds as the three Alternatives propose, vastly increased traffic, increased lights, increased noise, increased population will interrupt natural patterns of movement and habitat. 
  • Impact of demolition and infrastructure construction on SDC campus will impact the Wildlife Corridor for an extended period of time before any planned development is even built which will take an additional extended period of time. Once interrupted over that long period of time will the wildlife come back years later?
  • Interbreeding caused by loss of the Wildlife Corridor through SDC will threaten the survival of already threatened species along the Sonoma Coast west of the SDC pinch point.


3. It’s clear that, this point in time, that public planning processes are inadequate to address today’s challenges. We need to start over and create a new model for how we plan SDC’s future. This can serve as a go-forward model for the County. We seek a new development plan that focuses on the wildlife corridor and meets the vision for creating a community in partnership with that corridor.

  • A top priority is to determine the appropriate level of density, and create a building footprint and design standards, that are all based on the best scientific recommendations for wildlife corridor preservation and species movement needs.
  • To maintain the functionality of the SVWC, it is critical to exclude from development the area on the north side of the SDC property located by Sonoma Creek. Sonoma Creek is a riparian movement passage area and fish-bearing stream. Development includes more than buildings, it includes such things roads, parking lots, lights, playgrounds and anything that will generate excess noise.
  • Science should guide the parameters of where development is located on the property. To that end, Sonoma Land Trust has commissioned a scientific report that will inform the scale, density and footprint appropriate for the SDC property.


4. SDC includes over 750 acres of open space that are legislatively mandated for conservation and permanent protection for public parklands. Any reuse alternatives for the campus must also ensure protection of these natural areas.

  • SDC is surrounded by 9,000 acres of parkland and conservation easement-protected properties and is the center of a large greenbelt between Sonoma and Glen Ellen on Highway 12 that creates a natural, open landscape and a buffer against growing development pressures. A 2015 natural resources assessment prepared by Sonoma Land Trust and the Sonoma County Agricultural Preservation and Open Space District concluded that SDC is “integral to the character of the Sonoma Valley, and the ecological health of the North Bay.” 
  • SDC covers 950 acres adjacent to the community of Glen Ellen in Sonoma County. To the west, SDC continues up the eastern slope of Sonoma Mountain bordering Jack London State Historic Park. The eastern portion of the property extends through oak woodlands and grasslands to Sonoma Valley Regional Park and Highway 12. The remaining 750 acres of land that is identified for conservation include redwood forests, oak woodlands, grasslands rich in remnant native species, wetlands and lakes, and a lush riparian corridor along Sonoma Creek. The property is home to threatened steelhead, endangered California freshwater shrimp, bald eagles, bobcats, mountain lions, and a suite of other wildlife species. The site is a recreational and scenic resource for community members and visitors, and a place rich in history and ecological value.
  • For the health and well-being of the community access to Open Space is crucial. SDC is one of the few free access points to Open Space in Sonoma Valley.
  • Maintaining open space helps maintain the Valley’s rich rural character that provides our sense of community
  • We need to protect the ridgetops,  hillsides, and waterways that underlie the county’s striking natural beauty.
  • Open Space provides connections between urban areas, parks, and natural areas throughout the valley for both people and wildlife.
  • Open Space provides a carbon sink by maintaining woodlands and meadows to preserve our air quality and help combat climate change

5. SDC has abundant water resources that are critical to the survival of salmon and steelhead in Sonoma Creek, and that support the ecological health of the entire Sonoma Mountain watershed. 

  • There are significant water sources on the SDC property, including springs, wells and creeks supported by an average annual rainfall (at Fern Lake) of 47.03 inches per year. The property has both appropriative and riparian water rights, several of which are grandfathered into modern water rights statutes, and provide ample water for any modest future development of the property. 
  • Asbury Creek and Hill Creek that run roughly along the north and south borders of the property respectively, provide water to the property via piped diversions at weir structures. Water is diverted from these creeks into Fern Lake. Additional water from a group of seeps known as Roulette Springs is piped directly to the water treatment plant. Water is also pumped during winter from Sonoma Creek into Suttonfield Lake. Fern Lake and Suttonfield Lake provide 840 acre-feet of combined raw water storage, which is available to be treated for domestic water supply or managed as fire suppression stores. 
  • Recommendations for future water management (see 2018 WRT Report) include: 

  1. Maintain upland retention and infiltration to reduce erosion and sediment transport;
  2. Develop low-impact development (LID) measures within the main campus area for decentralized treatment and infiltration of stormwater; and
  3. Wetland restoration and slow infiltration to groundwater in the eastern valley area of the property.

  • Increased paving, hardscape and buildings reduces groundwater absorption, which is why wetlands restoration is so crucial.
  • Increased paving, hardscape and buildings cause the funneling of water into Sonoma Creek and feeder streams making them run more intensely, eroding banks and digging deeper channels. 


Glen ellen: Where the Valley Goes Wild

This photo tracks the path  of a mountain lion wearing collar #37473  through the Sonoma Valley Wildlife Corridor. Photo courtesy of Dr. Quinton Martins, Audubon Canyon Ranch Mountain Lion Research and Education Project.

sonoma County 2023-2031 rhna appeal request

These documents (combined into one pdf) clearly outline - in Sonoma County's own words! -  why high density housing projects belong in urban areas. 

Download PDF

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