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• Area 1 Lester: Concerns related to development in the hills; <br />• Area 2: Stoneridge Shopping Center: Concerns with added congestion to an <br />already busy area; <br />• Area 11 Old Santa Rita: Concern due to loss of space for small, service <br />commercial, and light industrial businesses (e.g., automotive repair); <br />• Area 16 Tri -Valley Inn: Concern with compatibility (e.g., density and height) with <br />adjacent neighborhoods and traffic; <br />• Area 18 Valley Plaza: Concern with the removal of valuable neighborhood <br />commercial uses and community services, and compatibility (e.g., density and <br />height) with adjacent neighborhoods; <br />• Area 21 Kiewit: Concern with increased GHG emissions; <br />• Area 23 Sunol: Concern due to the large number of units proposed and potential <br />traffic issues, <br />■ Area 25 PUSD District: Concerns related to traffic, proximity to historic <br />downtown, and changes to character, density, and crime in surrounding area, <br />among other concerns; and <br />• Area 26 St. Augustine: Concerns with increased density and compatibility with <br />neighborhood. <br />In addition to concerns noted above, staff has received general inquiries and comments <br />related to several other sites (e.g., related to feasibility, leases, environmental <br />remediation, etc.). <br />Recommendation <br />The existing site list includes a surplus of units and throughout the process it has been <br />understood that the site list could be reduced to a unit count that more accurately <br />reflects Pleasanton's RHNA. Due to "no net loss" provisions of State law', staff <br />recommends a modest four to 10 -percent buffer above the City's RHNA be maintained. <br />Additionally, it is worth highlighting that low and medium density sites have an assumed <br />capacity derived from the average density range suggested for the site. For example, if <br />a site has a minimum capacity of 15 units and maximum capacity of 25 units, the <br />assumed capacity is 20 units, while high density sites assume the minimum capacity. <br />This approach represents the most realistic assumed capacity and one that will be <br />accepted by HCD. It also provides an additional buffer for no net loss, in the event some <br />sites are developed below the assumed capacity. <br />There are several combinations of the potential rezone site list that would achieve the <br />required RHNA unit count and all sites on the potential list are suitable and could <br />accommodate residential development. Below in Table 2, staff ranks the potential <br />rezone sites. Sites with white backgrounds (i.e., not "grayed out"), are recommended for <br />inclusion in the 6th Cycle Housing Element. This ranking, while grounded in the <br />aforementioned considerations (i.e., initial scoring criteria, VMT, school impacts, LOS, <br />1 "No net loss" provisions are a component of the Housing Accountability Act, which, whenever a project is <br />approved with few units, or less affordability than cited in the Housing Element, requires findings to be made that <br />adequate zoning capacity remains in the inventory to accommodate the units not built, or for the City to rezone <br />additional sites to accommodate that number of units. <br />Page 14 of 21 <br />