2008-02-06 ARRA PacketAGENDA
Regular Meeting of the Governing Body of the
Alameda Reuse and Redevelopment Authority
X )CXXiC �C'*)C
Alameda City .Hall
Council Chamber, Room 390
2263 Santa Clara Avenue
Alameda., CA 94501.
Wednesday, February 6, 2008
Meeting will begin at 7:00 p.m.
L ROLL CALL
2. CONSENT CALENDAR
Consent Calendar items are considered roritine and will be enacted, approved or adopted by one 1110tioll unless a
reQuest for removal for discLIssion or ext)laiiation is received from the Board or a member of the public.
2 -A. Approve the minutes of the Regular Meeting of January 2, 200 8.
2 -B, Approve Comment Letter to the Navy on the Draft Feasibility Study Re port, IR. Site 24,
Alameda Point.
2 -C. Approve an Environmental Testing Contract with Weston Solutions, Inc. to Support 2008
DredgIng Not to :Exceed $1. 00,000 (to be reimbursed by MAR.AD).
2 -D. Approve Renewal of one -Year License Agreement for the Alameda Civic Light opera at
Alameda Point.
3. REGULAR AGENDA ITEMS
3 -A. Provide Negotiating Direction Regarding; SunCal Companies' Request to Amend the
Exclusive Negotiation Agreement to Provide a Time extension of Mandatory :Milestones.
4. ORAL REPORT'S
4 -A. oral report front Member Matarrese, Restoration Advisory Board (RAB) representative.
5. ORAL COMMUNICATIONS, NON AGENDA (PURLIC COMMENT)
(Any person may address the governing; body in regard to any matter over which the
governing body has jurisdiction that is not on the agenda.)
G. COMMUNICATIONS FROM THE GOVERNING BODY
7. ADJOURNMENT
This meeting will be cablecast live on channel: 15.
ARRA Agenda February 6, 2005 Page 2
0 Sign language interpreters will be available on request. Please contact the ARRA Secretary at 749 -5800 at
least 72 hours before the meeting to request an interpreter.
a Accessible seating for persons with disabilities (including those using wheelchairs) is available.
a Minutes of the meeting are available in enlarged print.
0 Audio tapes of the meeting are available for review at the ARRA offices upon request.
G:1Comdev\Base Reuse& Redevp\A.R.RA\A.GENDAS12008\Feb 6 Regular ARRA. Agenda.doc
AGENDA
Special Meeting of the Governing Body of the
Alameda Reuse and Redevelopment Authority,
City Council, and Community Improvement Commission
Alameda City Hall Wednesday, February 6, 2008
Council Chamber, Room 391 Meeting will begin at 7:01 p.m.
2203 Santa Clara Avenue
Alameda, CA 94501
1. ROLL CALL
2. Public Comment on Agenda Items Only,
Anyone wishing to address the Board on agenda items only, may speak for a
maximum. of 3 minutes per item,
3. ADJOURNMENT TO CLOSED SESSION OIL THE ARIA TO CONSIDER:
3 -A. CONFERENCE WITH REAL PROPERTY NEGOTIATOR:
Property: Alameda Naval. Air Station
Negotiating parties: ARRA and Davy
Under negotiation: Price and Terms
Announcement of Action Taken in Closed Session, if any.
4. ADJOURNMENT
Notes
Sign language interpreters will be available on request. Please contact the ARRA Secretary at 749 -5$00 at
least 72 hours before the meeting to request an interpreter.
Accessible seating for persons with disabilities (including those using wheelchairs) is available. Minutes of
the meeting are available in enlarged print.
Audio tapes of the meeting are available for review at the ARRA offices upon request.
G:IConidev\Base Reuse& Redevp \ARRA\AGENDAS12008\Feb 6.Special ARRA (closed session).Agenda -doc
UNAPPROVED
MINUTES OF THE REGULAR MEETING OF THE
ALAMEDA REUSE AND REDEVELOPMENT AUTHORITY
Wednesday, January 2, 2008
The meeting convened at 7:33 p.m. with Chair Johnson presiding. 2�A
1. ROLL CALL
Present: Chair Beverly Johnson
Boardmernber Doug deHaan
Boardmernber Frank Matar rese
Boardmember Marie Gilmore
Vice Chair Lena Tam
2. CONSENT CALENDAR
2 -A. Approve the minutes of the Regular Meeting of December 5, 2007.
2 -B. Authorize the Executive Director to Execute an Agreement With Russell Resources for
Environmental. Consulting Services for Alameda Point for 1.2 Months in an Amount not to
exceed $117,5 00.
2 -C. Approve Sublease for American Bus .Repair, LLC at Alameda Point.
Approval of the Consent Calendar Was motioned by Member Matarrese, seconded by
Member Tarn and passed by the following voice votes: Ayes: 5, Noes: 0, Abstentions: 0
3. REGULAR AGENDA ITEMS
3 -A. .Alameda Point Update Presentation of Quarterly Update of Protect Master
Schedule Prepared by SCC Alameda Point LLC.
Debbie Potter, :Base Reuse and Community Development Manager, gave a quick update of
Alameda Paint activities. On 12112, SunCal met With the Navy to discuss their due diligence and
progress on the project. on 12113, SunCal. conducted their second community meeting with over
200 community residents and business people in attendance. The community members
participated in small. workgroups and identified pros and cons of two broadly defined concepts
for Alameda Point. Sun.Cal. Will take the information and feedback from. this meeting to put to
use For the next community meeting. Ms. Potter introduced Pat Keliher, SunCal's Project
Manager for the Alameda Point Project, to give the first quarterly update of the Project Master
Schedule.
Mr. Keliher summarized past public meetings, explaining that the public Would like more
specific feedback on multiple planning concepts. Sun has aggregated most of the information
and feedback and Will present this to staff. To update the master schedule originally, SunCal's
pretense was that they Would move forward With the Preliminary Development Concept (PDC),
but over the course of the last few months, due to constraints, the PDC is not feasible. SunCal
has communicated this to the Navy, to the public, and to staff, and the Project Master Schedule
has been updated. Most of schedule triggers project description, Which is still in process and Will.
take several more months, but does not affect the two -year ENA period. Mr. Kehher discussed
that the City hired an independent peer review team. to evaluate SunCal's results and this peer
review will continue over the next 12 -18 months. The conclusion of the peer review thus far is
that there are issues for which. SunCal will discuss the mitigation. techniques. SunCal has met
with multiple federal agencies, and their meeting with the Navy was to introduce them to the
concept that the PDC didn't work, and, as the existing term sheet is predicated on. the PDC,
SunCal will come back to the Navy in Jan -Feb with an outline on their strategy. Mr. Keliher
explained that the Alameda Point project is very complex, but nothing that is insurmountable.
Member deHaan expressed concern with economics of the project and what issues SunCal was
anticipating will be covered at the next public meeting. Mr. Kehher stated that it is SunCal's job
to present more specifics on each of the different planning concepts, i.e., Measure A, non
measure A, or a hybrid of these two, etc.
Member deHaan stated that the loose ends and driving force was the transportation issue. Mr.
eliher agreed that the transportation issue was a trigger and that it would take several years and
a lot of different agencies involved to tie up this loose end. Member deHaan commented that the
public meetings were well-received.
4. ORAL REPORTS
4 -A. Oral report from. Member Matarrese, Restoration Advisory Board (RAB)
representative.
Member Matarrese attended the 1216107 meeting and the main agenda item was a surnrnary
handout of 2007 activities and a look- forward to 2008 with rernediation at Alameda Point. He
provided the handout, "Environmental Progress at Alameda Point" and requested that it be
provided to ARRA members and posted on the City's website. He requested that the map
identifying the sites be included with the handout.
5. [TAI..., COMMUNICATIONS, NON AGENDA (PUBLIC COMMENT)
There were no speaker slips.
6. COMMUNICATIONS FROM THE GOVERNING BODY
none.
7. ADJOURNMENT
Meeting was adjourned at 7:43 p.m. by Chair Johnson.,
Respectfully submitted,
LL
rm Glidden
ARRA Secretary
Alameda Reuse and Redevelopment Authority
Interoffice Memorandum.
February 6, 2008 2 �B
To: Honorable Chair and Members of the
Alameda Reuse and Redevelopment Authority
FROM: Debra Kuri ta, Executive Director
RE: Approve Comment Letter to the Navy on the Draft Feasibility Study Report, IR Site
24, Alameda Point
BACKGROUND
On. November 27, 2007, the Navy issued its ,Drq f t Feasibility Study Report, IR Site 24, A.Ianleda
Point, Alam ctci, Cairfornia (F�S) for review and comment by the Environmental. Protection Agency,
Department of Toxic Substances Control., and Regional water Quality Board. Comments are due by
February 27, 2008, IR Site 24 includes open water areas just south of the Seaplane Lagoon and
three piers located within the break wall. of Breakwater Beach. Sediment contamination is the
primary environmental. concern at this site. The remedial investigation concludes that potential
adverse ecological impacts may be associated with. the sediment shelf in the northeast corner of the
site. This area is located beneath 'wharf Road. Storm drain outfall J discharges at this corner of IR
Site 24, where sediment remediation is needed.
Navy sediment sampling in 2005 and 2006 shows that the top two inches of sediment near outfall J
is about as contaminated as deeper sediment. It would be expected that sediment from storm
discharges since the 2006 sampling should have covered over the historically contaminated
sediments. Contaminated surface sediment in this area could be explained by either of two
phenomena: 1) sediment in recent stor mwater mi ght not have settled out near the outfall, so the
historically contaminated sediment is still. at the surface, or 2) contaminated sediment still might be
settling from stormwater outfall J discharges.
According to the I'S, the storm drain line leading to outfall. J was cleaned and inspected in 1991.
However, Naval Air Station. Alameda closed in 1997, six years later. Further, the FS states that this
drain line serves two parcels east of IR Site 24. The FS does not disclose that outfall J also drains
most of the industrialized land south of Atlantic Avenue. Accordingly, the FS's implication that
outfall J is not an ongoing source of contaminants to sediment because it was cleaned and inspected
may not be accurate.
The FS evaluates five remedial alternatives: No Action, Institutional Controls (ICs), Monitored
Natural Recovery (MNR) with ICs, Thin -Layer Capping with ICs, and Dredging to Remove
Contaminated Soil. The MNR and Thin -Layer Capping alternatives include future sediment
monitoring. however, the Dredging alternative does not. The .SS's dredging alternative should
Honorable Chair and Members of the February 6, 2005
Alameda Reuse and Redevelopment Authority Page 2
include follow -up sediment monitoring to assure stormwater discharges from Outfall J do not
recontami nate the area.
DISCUSSION
Sifrfcice Sediment C'onminination Is Unexpected
Stormwater runoff contains suspended particles (dirty and other matter) that rain picks up as it hits
the ground and flows through drainages. Typically, when. storm drain outfalls discharge into a water
body, such as San Francisco Bay, water velocity slows dramatically and most of the particles settle
to the bottom of the water body. This is the process by which deltas form at the mouths of rivers,
and at storm drain. outfalls. If stormwater corning out of Outfall. J were clean, surface sediment
Outside the outfall should be clean too, unless the stormwater's sediment does not settle out for
some reason. Possibly, wave action or some other energetic process prevents sediment buildup at
this outfall. Unfortunately, the Navy decision documents do not offer any explanation in this regard.
Vie Storm .Drain System Myy Be a Contintyng Source o Contaminants to Sediment
Contaminated surface sediment at Outfall J also could be explained by contamination in the
stormwater. Contaminated sediment would still be present in. Outfall J's discharge if the storm drain
cleaning in. 1991 was ineffective, or if the storm. drain system became recontaminated after the
cleaning was completed. As a practical matter, it is difficult to inspect a storm drain system.
thoroughly enough to rule it out as an ongoing source of contamination. It rnight be possible to
analyze stormwater samples from Outfall. J that are collected during large storm events to evaluate
its source potential, but this would be dangerous. The best way to assure Outfal.l. J is not the source
of contamination to IR Site 24's sediment is to analyze future sediment samples.
Add Future Sediment Monitoring to the DreAing Alternativ
The FS includes a comparative analysis of the five remedial alternatives for IR Site 24. The
Dredging alternative scores very favorably in this analysis, suggesting it likely will be the selected
remedy in the Record of Decision. However, the Dredging alternative does not provide for future
sediment monitoring, even though several of the other alternatives do. Such sediment monitoring
would evaluate whether: future discharges recontarninate sediment at Outfall J, and provide the basis
for further action on the storm drain system, if needed. Therefore, the focus of the draft comment
letter is to encourage follow -up sediment monitoring to assure future stormwater discharges do not
recontaminate the area following the initial dredging to remove contaminated sediment.
FISCAL IMPACT/BUDGET CONSIDERATION
There is no impact to the City's General Fund to submit comments on. Navy environmental.
documents prepared for Alameda Point.
RECOMMENDATION
Approve the attached draft comment letter on the Navy's November 27, 2007, draft FS for IR Site
24.
Honorable Chair and Members of the February C, 2005
Alameda Reuse and Redevelopment Authority Page 3
Res o f y s u i tt ed,
Leslie Little
Development Services Director
Attachments:
1. draft comment letter on the Navy's November 27, 2007 draft FS for IR Site 24
GAComdev\Base Ree se& Redevp\ARRA STAFFREP \2008102 Feb 612 -B IR- 24.doc
ATTACHMENT 1
Februar 6, 2008
Mr. Thomas L. Macchiarel.l.a.
BRAC Environmental Coordinator
Nav BRAC Pro Mana Office
1455 Frazee Road, Suite 900
San Die CA 92108 -4310
Re: Comments on the November 27, 2007 Draft Feasibilit Stud Report, IR Site 24, Alameda
Point, Alameda, CO forma
Dear Mr. Macchiarella:
Thank y ou for providin the Alameda Reuse and Redevelopment Authorit (ARRA) with a cop
of the Nav November 27, 2007 Draft Feasibilit Stud Report, IR Site 24, Alameda Point,
Alameda, Cali fornia FS IR Site 24 is an a site just south of the seaplane la and
adjacent to, and includin the piers.
The I-e-'S Is a clearl written and well or report. However, the FS also should address the
likelihood that Out-fal.l. J is a continuin Source of contamination to IR Site 24 sediment.
Alternative 5 (Dred to remove contaminated sedl:m.ent) does not include lon
monitorin (activities. If Alternative 5 were selected in IR Site 24's Record of Decision, follow-
up sediment samplin should be conducted to verif that dischar from Outfall J do not
recontaminate the sediments. Please modif Alternative 5 to include follow-up monitorin
Comments,
1. Surface sediments are as contaminated as deep sediments.
In 2005 and 2006, the Nav collected and anal sediment samples from. three depths at
each of 3.1. locations in. IR Site 24: surface (0 to 2 inches), deeper (2 to 10 inches), and
deepest 10 to 20 inches). FS Fi 3-1 shows that -four of these locations are within IR Site
24's AoEC (Area of Ecolo Concern.). FS Table 2-2 presents anal results for
sediment samples -from. these locations. The results confirm that sediments within the AoEC
are contaminated-. AoEC sediment concentrations for 13 CoPECs. Chemicals of Potential
Ecolo Concern) are hi than at the reference location (PA C-12), which is outside of
IR Site 24. For PCBs, tribut cadmium, and lead, surface sediment concentrations are
g reater than the ER-M effects ran at all four AoEC sample locations. I In. the case
of HPAH6, surface sediment concentrations exceed the ER-M at three of the -four AoEC
locations, and in the case of DDx, at two of the four locations.
In IR Site 24's AoEC, surface sediment is about as contaminated as deeper sediment. Ten
CoPECs are at least as contaminated in the surf-ace sediment sample as in the correspondin
1 Final Remedial lln)esti Report, IR Site 20 (Oakland Inner Harbor) and IR Site 24 (Pier Area), Alaine(la
Point, California. Nav Au 30, 2007, Tables 4-8 and 4-9. ER-M is not applicable to tribUt Table 4-9 uses
the value reported b Weston, 1996, as the threshold value for this substance.)
deeper sample at two or more of the four AoEC sample locations. These CoPECs that are
prominent in surface sediment are HPAHC, lu...PAH6, DDx, PCBs, tributyltin., cadmium,
chromium, copper, lead, and zinc.
Deposition. of particulate matter causes sediment to build up in many aquatic environments,
especially in the absence of high-energy forces such as strong currents or waves. The FS
assumes these forces to be minimal. at IR. Site 24's AoEC. Thus, the widespread occurrence
of surface sediment that is about as contaminated as deeper sediment i s unexpected, because
the FS states that source of contaminated particulate matter (the storm drain line leading to
outfall. J) has been abated. Two possible explanations for contamination in the surface
sediment are: (1) the depositional environment at the AoEC is poorly understood, and (2)
ongoing discharges from outfall. J continue to contain suspended contaminants that deposit
as sediment in IR Site 24's AoEC.
The FS assumes deposition is occurring at R. Site 24's AoEC.
"The sedimentation rate at IR. Site 24 is Currently unknown; the sedimentation rate
at nearby IR. Site 17 (Seaplane Lagoon) has been estimated at approximately 0.6
to 0.7 inches (1.5 to 1.7 cm) per year (Battelle 2005). Monitored Natural
Recovery (MNR) is considered appropriate for the AOEC at IR Site 24 because
this area is protected from high- energy forces such as boat wakes, propeller scour,
keel drag, or large -boat anchoring that would minimize the effectiveness of the
natural sedimentation process. "(.FS, p. 4 -8)
Given the presence of contamination in surface sediment at IR Site 24's AoEC, it Is
difficult to account for ongoing sedimentation, except by contaminated particulate matter.
At a sedimentation rate of 0.6 to 0.7 inches per year, at least six inches of clean sediment
should have accumulated. This clean layer is not apparent in the sediment sampling
results. In contrast to the FS's conceptual model, perhaps episodic, intense storms create
high energy conditions at outfall J that erode newly deposited surface sediment. Thus,
the contamination in surface sediments that was observed in the 2005 and 2006 samples
rrn.ay have been deposited Long ago, while the Navy was active at Alameda Point.
Possibly, periodic storm- induced scouring prevented this historically contaminated
sediment from being covered by later sedimentation.
The FS discounts the possibility that Outfall J could be a continuing source of
contamination.
"The storm. drain line leading to outfall J was cleaned and inspected in 1991
(TtEM1 1996); this line served buildin s located east of IR Site 24 in
Environmental Baseline Sur ve EBS) Parcels 154 and 201. The largest buildings
in EBS Parcels 154 and 201 are Buildings 166 and 167, which were historically
used as aircraft maintenance hangars. Activities conducted in these buildings
reportedly included painting, resin mixing, parts washing in solvent dip tanks,
metals machining, paint stripping /sandblasting, aircraft defueling and refueling,
and replacing or filling of lubrication and hydraulic fluids. The open. spaces of
EBS Parcels 154 and 201 were historically used for aircraft parking and
maintenance and for chemical, equipment, and material storage, which included
hazardous material. storage yards and an industrial dust silo (BEI 2007b). It is
suspected that industrial wastewaters and potentially contaminated surface runoff
from the parcels may have discharged through storm. drain lines leading to IR. Site
24 (TtEMI 2006b). Further evaluation of the northern portion of EBS Parcel 154
near Building 167, as well as evaluation. of the sediment in the storm sewer
segment that originates south of Building 167, was recommended in a site
inspection report that was completed in August 2007 (BEI 2007b). No further
evaluation, beyond an evaluation of the aircraft parking and staining areas, was
recommended for EBS Parcel 201 (BEI 2007b)." (F'S, p. 2 -2, emphasis added)
The further evaluation. recommended in BEI 2007b i.s warranted, but this work cannot
rule out outfall J as a continuing source of contaminated surface sediment to IR Site 24's
AoEC. Even if the storm drain line leading to outfall J was flawlessly cleaned and
inspected in 1991, Davy operations at Naval Air Station Alameda continued beyond that
date, until 1997, during which time recontamination of the storm drain system could have
occurred. Thorough cleaning, inspection, and sampling sometimes can justify the
inference that a storm. drain line is free of contamination. However, when persuasive
information to the contrary exists, such as contaminated surface sediments at the outfall,
the inference is unreliable, and further assurance is needed.
Recommendation: Revise the dredging alternative (Alternative 5) to include a surface
sediment i- onitoring five wet Weather seasons after dredging of the AoEC is completed.
2. The area drained through Outfall J is very large and the condition of its storm drain
lines is not completely known.
The TS implies that the storm drain line discharging through outfall J serves EBS Parcels
:1.54 and 201 only. (For example, see the underlined passage in the quote in Comment 1, from.
I S page 2 -2.) This implication is very misleading. According to the Alameda Point storm
sewer study, the storm drain. lines that discharge through outfall J serve a much greater area.
Lands tributary to outfall J include much of oU -2A and oU-2B: specifically, outfall J
serves all. of IR Sites 13, 19, and 22; most of IR Sites 4, 9, 23, and 27; and a portion of IR.
Sites 3, 11, and 35. Additionally, outfall J drains all or portions of EBS parcels 134, 135,
139, 141, and 164, which are not within IR sites. The same heavy metals, PAHs, and PCBs
that are found in surface sediment at outfall J are principal contaminants in many of these IR
sites.
According to the Alameda Point storm sewer study, the condition of some storm. drain line
segments discharging through outfall J is unknown. The FS should objectively discuss the
2 Final Site Inspection Report, Tr(insfer Parcel EDC -12, Alameda Point, California. Navy, October 10, 2007, pp.
7 -4 to 7 -6. (The original quote cites the draft final version of this document.)
3 Storin Sewej• Study Technical Metnoranduin A(IdeitClruri and Response to Agency Continents on the Drcift Final
Storni Sewer Study Report, AZatnecici Point, Alainedcz, California. Davy, August 30, 2001, Figure 1.
likelihood that former storm sewer inspection and cleaning completely removed all.
contamination from the storm drain lines upstream of outfall J.
Recommendation: Revise the FS to disclose that outfall. J drains a much greater area of
former industrial activity than PBS Parcels 154 and 201, and that the condition. of some
segments of the storm. drain lines upstream. of outfall J is unknown.
Stirnmary
Surface sediments at IR Site 24's AoEC are contaminated with heavy metals, PAIIs, PCBs, and
DDx.. Possibly, this contarn.i.nation is in historically contarnihated sediment that has not been
covered by more recent sedimentation. However, another likely explanation is that the storm
drain system. tributary to outfall J is a continuing source of contamination to sediment at IR Site
24's AoEC. It is impractical to prove that the storm drain line system that outfall J serves is not a
continuing contaminant source. An effective way of assuring that no future sediment
contamination from outfall J would be to modify the Alternative 5 (Dredging) to include follow
up sediment sampling. Surface sediment sampling should be conducted five wet weather seasons
'Lifter the dredging of IR Site 24's AoEC has been completed.
Thank. you for considering ARRA's comments. If you have any questions or need additional.
information, please contact Dr. Peter Russell, the ARRA's environmental. consultant, at (415)
902 -3123.
Sincerely,
Debbie Potter
Base Meuse and Community Development Manager
cc: Anna -Mare Cook:, USEPA.
Dot Lofstrorn, DTSC
John west, water Board
Peter Russell, Russell Resources, Inc.
Alameda Reuse and Redevelopment Authority
Interoffice Memorandum
February 6, 2008
To: Honorable Chair and Members of the
Alameda Reuse and Redevelopment Authority
FROM: Debra Kurita, Executive Director
2 -C
RE: Approve an Environmental. Testing Conti -act with Weston Solutions, Inc.
to Support 2008 Dredging in an Amount Not to Exceed $100,000
B ACKCROUND
The Alameda Reuse and Redevelopment Authority (ARRA) is proposing to dredge the
navigational entrance channel. to Alameda Point to accommodate MARAD vessels and
dispose of the dredged material at the Alacatraz Environs In -Bay disposal site. The
Alameda Point entrance channel is located in the eastern portion of San Francisco Bay, at
the west end of the City of Alameda. Attachment I provides a vicinity map depicting the
relative locations of the proposed dredge and disposal area.
The proposed maintenance dredging episode involves the removal of accumulated
sediment in order to return the channel. to a depth that would allow unencui
maneuvering of commercial and recreational vessels over its entire length. The proposed
dredge depth is --34 feet below Mean Lowe- Low water -34 feet MLLW) with a two
foot over dredge tolerance, two feet deeper than previously performed dredge activities.
Weston Solutions, Inc. performed baseline testing to determine dredge depth and channel
conditions as a subcontract to the Moffatt Nichol. engineering contract in 1995. This
work must now be updated to provide accurate information about current channel.
conditions.
DISCUSSION
Ordinarily, the contract for environmental testing would be done as a subcontract to the
ARRA's existing Moffatt Nichol engineering contract. However, the 2008 dredging
event will require more extensive and deeper testing because the depth of the dredging is
being increased from 32 feet to 34 feet. In addition, as a result of the November Zoo?
San. Francisco Bay oil spill, regulators are asking communities planning to dredge to do
additional testing to determine if oil is still. present in the Bay. The need for increased
testing raised the contract amount and requires the approval by the AR.R.A. Governing
Body.
Honorable Chair and Members of the February 6, 2008
Alameda Reuse and Redevelopment Authority Page 2 of 2
Furthermore, the depth of the dredge has been changed because of MARA.D's plan to
reduce the number of ships at Alameda Point and replace them. with larger ships that draft
slightly deeper. The MARAD Ready Reserve Fleet recently acquired a new larger class
ship and will reassign berthing spaces of its existing fleet to accommodate the new ships.
MARAD wants to reduce the number of dredging events required in the Bay by dredging
deeper and removing shoaled areas not cleared in the previous event. For that reason,
MARAD will reimburse the .ARRA for the costs of the testing.
Once the testing is done, bid documents for the dredge can be developed and advertised.
The contract award will. require ARR.A action in late summer.
BUDGET CONSIDERATION 1 FINANCIAL IMPACT
The contract amount will not exceed $100,000 and will be reimbursed by MARAD. The
final contract amount will be determined by the amount of testing required. There is no
impact to ARRA lease revenue or the General Fund.
RECOMMENDATION
Approve an. environmental Testing Contract with Weston Solutions, Inc. to support 200$
dredging in an amount not to exceed $100,000.
R.espectf ttly submitted,
Lese lttle
Development Services Director
lf< r F l ri£
By: Nanette Banks
Finance Administration Manager
GAComdevl13ase Reuse& RedevplARRA\STAFFREP12008102 Feb 612WC. Weston.doc
Alameda Reuse and Redevelopment Authority
Interoffice Memorandum
February 6, 2008
TO: Honorable Chair and Members of the
Alameda Reuse and Redevelopment .Authori.ty
FROM: Debra KLIIRita, Executive Director
3•
SUBJ: Approve Renewal of Two One -Year License Agreernents for the Alameda Civic
Light Opera at Alameda Point
BACKGROUND
The Alameda Civic Light Opera (ACLO) was issued a 19-month license agreement from June 2005
to January 2007 for the use of Building 35, located at 2450 Pan Am. Way, as rehearsal and
production space. The license was extended for an. additional year in January 2007. In May 2006, the
ACLO was issued a 2- -month license to use a portion of a second building, Building 9 located at
651 W. Tower Avenue, for set storage and construction. That license was extended an additional
year in June 2007. Both licenses are at no cost.
DT S CST IS ST ON
The ACLO has requested another one -year license agreement for each building at no cost. As the
ACLO's use of these properties appears to be ongoing, this no -cost license agreement is being
recommended to the Board for consideration and approval.
'B.V.DGET CONSIDERATION FINANCIAL IMPACT
Thee has been little if any demand for the space that the ACLO has licensed in time past. However,
if these buildings were to be available for a market rate lease, the ARRA would ask for $1,718 per
rn.onth ($0.62 per square foot) for the space in Building 35 and $2,700 ($0.27 per square foot) for the
space in Building 91, or a combined rent of $53,016 annually.
RECOMMENDATION
Approve the proposed license agreements.
Honorable Chair and Members of the
Alameda Meuse and Redevelopment .Authority
R.espq&tful l y submitted,
February 6, 2008
Page 2
`Leslie Little
Development Services Director
i
B Nanette Banks
Finance Administration Manager
Attachment: Site Map
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Alameda Reuse and Redevelopment Authority 3 A
Interoffice Memorandum
To: Honorable Chair and Members of the
Alameda Reuse and Redevelopment Authority
From: Debra Kurita, Executive Director
Date: February 6, 2008
Re: Provide Negotiating Direction Regarding SunCal Companies' Request to Amend
the Exclusive Negotiation Agreement to Provide a Time Extension of Mandatory
Milestones
BACKGROUND
On May 8, 2007, the Alameda Reuse and Redevelopment Authority (ARRA) selected SunCal.
Companies as its Master Developer for Alameda Point and established a 60 -day due diligence
and Exclusive Negotiation Agreement (ENA) negotiation period. The due diligence period was
completed, and the ENA between SCC Alameda Point, LLC (SunCal.), a SunCal. entity, and the
ARRA, Community Improvement Commission (CIC), and City was executed on. July 18, 2007.
Since the ENA approval., SunCal has continued its due diligence and conducted extensive site
investigations; held two community meetings; and met with local., regional., State, and Federal
stakeholders, including the United States Navy (Navy).
DISCUSSION
The ENA sets forth a m ulti -year ti.m.eline and included a schedule of mandatory performance
milestones outlined in Exhibit B "Schedule of Performance The Schedule of Performance
was predicated on the assumption. that SunCal would implement the Alameda Point Preliminary
Development Concept (PDC), which served as the basis for the final draft Conveyance Term.
Sheet with the Navy.
Since ENA approval., SunCal has conducted site investigations and technical analyses and
determined that the PDC is not financially feasible. SunCal's due diligence indicates that the
previous costs assumed for the PDC related to the site's flood and geotechnical. conditions were
underestimated, and that the revenues from the sale of single family homes on certain portions of
the site would not support these increased costs. Additionally, SunCal reports that it has been
pleased with the community's initial reaction to alternative development concepts that consist of
higher housing densities than those envisioned in the PDC.
Due to these changed circumstances, SunCal would like to pursue new and distinct development
concepts for the site. However, SunCal. does not believe that it can fully explore alternative
development concepts within the Schedule of Performance currently outlined in the ENA. As a
result, SunCal has formally requested that the ARRA approve a six- month extension of five
mandatory milestones in the Schedule of Performance, including the submission of the
Honorable Chair and Members of the February 6, 2008
Alameda Reuse and Redevelopment Authority Page 2
Development Concept (and its related plans) and the Entitlement Application, to September 19,
2008 and November 1.8, 2008, respectively (see attached letter from Sun.Cal). SunCal. did not
request an. extension of the ENA' s overall. 24 -month timeline.
ARRA staff recommends granting the extension of the Mandatory Milestone Schedule subject to
conditions that protect the ARR.A's interest in the successful and timely redevelopment of
Alameda Point. The following provides an overview of the general. conditions that would be
recommended by ARRA staff:
1) Information Update. SunCal. shares with ARRA. staff and/or its consultants' technical
and financial information. gathered to -date and going forward.
2) Predevelopment Expenditures. SunCal commits to the expenditure of predeveloprnent
funds sufficient to successfully achieve its extended mandatory milestones.
3) Monitoring. SunCal reports Its ongoing progress and expenditure of funds to the ARRA
on a regular basis.
ARRA staff recommends that the time extension and any proposed conditions on the extension
be dl.scussed In greater detail with the ARRA in a closed session.
BUDGET CONSIDERATION FINANCIAL IMPACT
There is no financial impact on. the General. Fund, CIC, or ARRA budgets. The cost recovery
provision in the ENA provides that SunCal pays for ARRA staff costs and consultant expenses.
RECOMMENDATION
Provide negotiating direction regarding SunCal is request to amend. the ENA. to provide a time
extension of Mandatory Milestones to ARRA staff in closed session.
R fully submi tte
Leslie Little
Development Services Director
By: ie tte
Base Reuse and Community Development
Manager
Attachment:
1. Letter from SunCal Companies to the ARRA, dated January 30, 2008
P P7.0000
SunCal Compani*es
OAKLAND OFFICE
January 30, 2008 300 FRANK H. OGAWA PLAZA, SUITE 342
OAKLAND, CA 94612
MAIN 510 25 1 0711
FAX 5 1 0 251 0744
Mr. David Brandt
Deputy Executive Director WWW. s u N GA L .ca M
.Alameda Reuse and Redevelopment Authority
2263 Santa Clara Ave
Alameda, California 94501
Dear Mr. Brandt:
SunCal Companies entered into an Exclusive Negotiation. Agreement (ENA) with the
Alameda Reuse and Redevelopment Authority (ARRA) on July 18, 2007. The ENA outlines a
multi -year pre development period during which SunCal, the AR.RA, the Alameda community
and numerous State and federal agencies must work together to finalize a development plan and
implementation program. To achieve this end, the ENA. set forth a number of mandatory and
non mandatory milestones. The milestone schedule set forth in the ENA was negotiated under
the mutual assumption that the Master Developer would proceed with.. the ARRA's preliminary
Development Concept (PDC) with at most only minor modifications.
However, after six months of rigorous site investigation and feasibility analysis, many
meetings with community stakeholders and two initial community meetings, SunCal has
concluded that the PDC cannot be feasibly implemented without fundamental revisions.
Specifically, SunCal's analysis indicates that the PDC was developed based on assumptions of
costs for flood, seismic and other geotech mitigation requirements that were significantly
underestimated. These changes in the estimated site preparation costs have led SunCal to
conclude that single family residential development is not appropriate in a substantial portion of
the PDC footprint where single family development had been indicated. In addition, SunCal has
been pleased by the enthusiasm shown by the community to the potential exploration of a
development plan which has residential densities in excess of those called for under the PDC.
Given these changed circumstances, SunCal does not believe that compliance with the
existing milestone schedule set forth in the ENA will result in the preparation of the best
development plan for Alameda Point. SunCal would like the opportunity to fully explore and
work through the development potentials of Alameda Point with the community. To achieve this
goal, pursuant to Section 4.1.2 of the ENA, SunCal would propose to amend Exhibit B (the
"Approved Time Schedule of the ENA to extend the milestone dates for the submission of a
Development Concept (and associated plans and documents): and subsequent Master Plan by six
months to September 19, 2008 and November 19, 2008 respectively. During that period of time
SunCal would determine the highest and best development at Alameda Point.
Sincerely,
Pat K.eliher
VP operations