Central Pipeline Rehabilitation (Lake or Streambed Alteration Agreement No. 1600-2020-0100-R3)

28 Documents in Project

Summary

SCH Number
2005101047
Lead Agency
Santa Clara Valley Water District
Document Title
Central Pipeline Rehabilitation (Lake or Streambed Alteration Agreement No. 1600-2020-0100-R3)
Document Type
NOD - Notice of Determination
Received
Posted
8/4/2020
Document Description
The California Department of Fish and Wildlife (CDFW) has executed Lake and Streambed Alteration Agreement number 1600-2020-0100-R3, pursuant to section 1602 of the Fish and Game Code to the project Applicant, Heath McMahon, Santa Clara Valley Water District. The Central Pipeline Rehabilitation Project (Project) will involve dewatering of approximately 12,469,000 gallons of raw water into Upper Penitencia Creek, Coyote Creek, Guadalupe River, and Los Gatos Creek. The purpose of dewatering is to inspect and rehabilitate the Central Pipeline.

Contact Information

Name
Mayra Molina
Agency Name
Department of Fish and Wildlife
Contact Types
Lead/Public Agency

Name
Agency Name
Santa Clara Valley Water District
Contact Types
Project Applicant

Location

Cities
Los Gatos, San Jose
Counties
Santa Clara
Other Location Info
The Central Pipeline Project is 12.6 miles in length and begins at the Piedmont Valve Yard in northeaster San Jose and ends at the Vasona Valve Yard in Los Gatos, County of Santa Clara, State of California.

Notice of Determination

Approving Agency
Department of Fish and Wildlife
Approving Agency Role
Responsible Agency
Approved On

Determinations

(1) The project will have a significant impact on the environment
No
(2a) An Environmental Impact Report was prepared for this project pursuant to the provisions of CEQA
Yes
(2b) A Mitigated or a Negative Declaration was prepared for this project pursuant to the provisions of CEQA
No
(2c) An other document type was prepared for this project pursuant to the provisions of CEQA
No
(3) Mitigated measures were made a condition of the approval of the project
Yes
(4) A mitigation reporting or monitoring plan was adopted for this project
No
(5) A Statement of Overriding Considerations was adopted for this project
No
(6) Findings were made pursuant to the provisions of CEQA
Yes

Attachments

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