SCH Number,Lead Agency Name,Lead Agency Title,Lead Agency Acronym,Document Title,Document Type,Received,Posted,Document Description,Document Portal URL,Project Title,Contact Full Name,Contact Authority,Contact Job Title,Contact Email Address,Contact Address 1,Contact Address 2,Contact City,Contact State,Contact Zip Code,Contact Phone Number,Location Coordinates,Cities,Counties,County Clerks,Location Cross Streets,Location Zip Code,Location Total Acres,Location Parcel Number,Location State Highways,Location Waterways,Location Airports,NOC Has Non Late Comment,NOC State Review Start Date,NOC State Review End Date,NOC Development Type,NOC Local Action,NOC Project Issues,NOC Local Review Start Date,NOC Local Review End Date,NOE Exempt Status,NOE Exempt Citation,NOE Reasons for Exemption,NOD Agency,NOD Approved By Lead Agency,NOD Approved Date,NOD Significant Environmental Impact,NOD Environmental Impact Report Prepared,NOD Negative Declaration Prepared,NOD Other Document Type,NOD Mitigation Measures,NOD Mitigation Reporting Or Monitoring Plan,NOD Statement Of Overriding Considerations Adopted,NOD Findings Made Pursuant,NOD Final EIR Available Location 2022050377,Mono County,,,White Mountain Ranch Agricultural Well,NOE,5/18/2022,5/18/2022,"New 700' deep well for irrigation on an agricultural ranch in Hammil Valley, Mono County Ca. APN is 026-040-011. The permit is ministerial. See attached for more information about well location and seperation.",https://ceqanet.opr.ca.gov/2022050377,White Mountain Ranch Agricultural Well,April Sall,Mono County CDD,Planning Analyst,asall@mono.ca.gov,P.O. Box 347,,Mammoth Lakes,CA,93546,7609325423,,,Mono,Mono,,,,026-040-011,,,,,,,,,,,,Ministerial,Sec. 21080(b)(1); 15268,"Mapping resources indicate the property to the west (APN 026-040-088) has a well on the north end of the property which appears to be over 4000’ from the proposed well. According to Environmental Health records, the well on the property directly to the north (APN 026-040-009) is approximately 3000’ from the proposed well. Based on a review of the State Water Resources Control Board’s Low-Threat Underground Storage Tank Case Closure Policy, a 1,000-foot separation from active production wells to contamination plumes is considered to be sufficient separation to pose a low threat to human health, safety or the environment, and appropriate for no further action determination based on the groundwater-specific criteria specified. Further, this proposed well is within the key assumptions of modeling work by Santa Barbara County demonstrating that a new or replacement well located more than 1,000 feet from an existing well is not likely to interfere with the production of that well. The modeling is based on hypothetical water well drawdown using conservative yet anticipated values for transmissivity, storage coefficient, and anticipated pumping yields to support field grown agriculture commodities. According to the Owens Valley Groundwater Basin Final Groundwater Sustainability Plan of Dec. 9, 2021 (see Appendix A, p. 7): The hydrogeologic setting in the Fish Slough and Tri-Valley management area is dominated by volcanics and alluvial fan sediments which are typically not susceptible to subsidence. Groundwater levels in this area are showing chronic declines with rates observed to be about 0.15 feet/year (Fish Slough) and 0.49 – 1.86 feet/year (Tri-Valley) and are thought to be historic lows for this management area. The groundwater extractions in this management area are distributed throughout the area rather than being concentrated in small zones, so the effects of subsidence, if any, may be more area-wide. Despite one of the necessary factors being present, there is no direct instrumental evidence of subsidence in the management area. Consequently, the potential for subsidence is considered low.",,,,,,,,,,,,