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Issue: Mesa Refuge, Pt Reyes Station


Letter from Gordon Bennett and others on June 22, 2001


Tim Haddad
Marin County Community Development Agency
Civic Center, Room 308
3501 Civic Center Drive
San Rafael, CA 94903

June 22, 2001

RE: Barnes (Tides Foundation) Coastal Permit, Use Permit, and Precise Development Plan Amendment

Dear Mr. Haddad,

I am writing on behalf of the undersigned Marin County citizen groups regarding the Initial Study and Draft Negative Declaration for the Tides Foundation property.  We find the mitigations proposed in the Initial Study inadequate.  Even with the proposed mitigations, the project is in violation of the Marin County Code and the Marin County Local Coastal Program.  In addition, Draft Negative Declaration fails to meet the requirements of the California Environmental Quality Act.

As we have previously stated, our chief interest in this case is to ensure protection of the County-mandated Stream Conservation Area and of the special status species that depend upon the site.  The site borders on and benefits from proximity to the Giacomini wetlands, a site of national importance now being restored by the National Park Service. We applaud the applicant's desire to create a writers' refuge, and we believe that, with a few adjustments, such a refuge can be established on the site without damage to the environment.

Our concerns about the Initial Study can be divided into three categories.
I.     It contains basic factual errors about ownership and use of the properties.
II.    It is based on an inadequate and misleading Biological Resource Assessment.
III.   It incorrectly defines Stream Conservation Areas.
IV.  It proposes mitigation measures that are in conflict with the Marin County's codes and policies.

I. The Initial Study mischaracterizes ownership and use of the property.
The Project Location (p.1 of the Initial Study) is 9-11 Los Reyes Drive, Point Reyes Station, 94956.  According to the Initial Study (p.3), "the existing residence and the three existing detached structures are proposed to be used as a writer's retreat....These accessory structures are used as place of solitude and inspiration for writers."  This is incorrect.


II. The Initial Study is based on an inadequate and misleading Biological Resource Assessment.

  1. It overlooks the impacts of the illegal sheds on the Northwestern Pond Turtle (Clemmys marmorata marmorata), which is listed by the California Department of Fish and Game as 'protected' and a "California Special Concern" species, and as 'Sensitive' by the US Forest Service.
  2. It underestimates potential impacts to the California Red-legged Frog (Rana aurora draytonii), which is listed as Federally threatened (61 FR 25813-May 13, 1996), and a California Special Concern species by Fish and Game (CFG, 2000. California Natural Diversity Data Base, "Special Animals.)
  3. It makes unjustified sweeping assertions regarding the site's lack of suitable habitat for a long list of wetland-dependent species.
  4. 4. It fails to adequately consider the relationship between the property and the adjacent Giacomini wetlands.
  5. It overlooks the fact that the habitat values of the transitional habitat surrounding the Giacomini Marsh will increase as the restoration of the site proceeds.
  6. The Biological Resource Assessment wrongly asserts that the willow habitat on the property is "technically not riparian habitat."
III.  The Initial Study incorrectly defines Stream Conservation Areas..
  1. It incorrectly defines Stream Buffer Zones (also known as Streamside Conservation Areas) as 100-foot setbacks from stream banks. (V. A. 2 (5), p.8)
IV.  The Initial proposes mitigation measures that are in conflict with the Marin County's codes and policies, inadequate, and unenforceable.
  1. The mitigation measures proposed do not project the Stream Conservation Area.
  2. The mitigation measures proposed are unenforceable and in conflict with existing usage at the Mesa Refuge.


Finally, we were disappointed in the Initial Study because it failed to provide basic information and raised several questions without answering them.  For example, it


In light of the above information, we hope that the County will amend its recommendation to the Planning Commission with regard to this project. All the sheds are within the Stream Conservation Area and all three should be removed.  It is important that the County consistently enforce its zoning code and planning policies. Recently, the County has required several other property owners to redesign projects in order to respect the stream and wetland buffer zones.  It is only fair that the Tides applicant to held to the same standard.  The fact that the Tides cabins already exist should not induce the County to be less rigorous in its enforcement of its own standards.  To do so would be to reward and encourage illegal construction.

We believe that removing the sheds is compatible with the continued functioning of the Mesa Refuge.  The Refuge can host three resident s writers at a time.  One writer has a bedroom and a separate office within the main house; each of the other two have a bedroom in the main house and use a shed as an office.  If the sheds are removed, one bedroom could be converted into an office. This would enable the Mesa Refuge to host two, rather than three, writers at a time.  Such an adjustment would enable the refuge and its environment to continue to flourish.

Thank you for the opportunity to comment,

Sincerely,
 

Catherine Caufield, for Environmental Action Committee of West Marin

Gordon Bennett, for Sierra Club - Marin Group

Tomales Bay Association

Bolinas Lagoon Watershed Team

Salmon Protection & Watershed Network

Tomales BayKeeper

Marin Audubon Society