HomeMy WebLinkAboutOrdinance No. 20414
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COUNCIL ORDINANCE NUMBER 20414
COUNCIL BILL NUMBER 4981
AN ORDINANCE AMENDING THE EUGENE-
SPRINGFIELD METROPOLITAN AREA GENERAL PLAN
(METRO PLAN) TEXT, CHAPTER III, SECTION D,
POLICY D.11; ADOPTING AN EXCEPTION TO
STATEWIDE PLANNING GOAL 15 WILLAMETTE RIVER
GREENWAY; ADOPTING SEVERABILITY AND
SAVINGS CLAUSES; AND PROVIDING AN EFFECTIVE
DATE.
ADOPTED: JULY 28, 2008
PASSED: 6/2
REJECTED:
OPPOSED: Bettman, Taylor
ABSENT:
EFFECTIVE: August 31, 2008, provided that Springfield City
Council and Lane County Board of Commissioners have
adopted ordinances containing identical provisions to those
described in Section 1 of this Ordinance.
ORDINANCE NO. 20414
AN ORDINANCE AMENDING THE EUGENE-SPRINGFIELD
METROPOLITAN AREA GENERAL PLAN (METRO PLAN) TEXT,
CHAPTER III, SECTION D, POLICY D.ll; ADOPTING AN EXCEPTION
TO STATEWIDE PLANNING GOAL 15 WILLAMETTE RIVER
GREENWAY; ADOPTING SEVERABILITY AND SAVINGS CLAUSES;
AND PROVIDING AN EFFECTIVE DATE.
The City Council of the City of Eugene finds that:
A. Chapter IV of the Eugene-Springfield Metropolitan Area General Plan (Metro
Plan) sets forth procedures for amendment of the Metro Plan, which are implemented for Eugene
by Eugene Code Section 9.7730(3), for Lane County by Lane Code 12.225(2)(a & b), and for
Springfield by Chapter 5, Section 5.14-100 through 5.14-155 of the Springfield Development
Code.
B. On February 1, 200S the Oregon Department of Transportation (ODOT)
submitted an application to the City of Eugene for a Metro Plan text amendment, an Exception to
Goal 15 Willamette River Greenway for the 1-5 Willamette Bridge Project, and an application
for a text amendment to the Willakenzie Area Plan to allow the placement of fill within 35 feet
from the top of bank of the Willamette River.
C. A joint public hearing of the Planning Commissions of the City of Eugene, City
of Springfield and Lane County was held on April 29, 200S and a joint public meeting of the
three Planning Commissions was held on June 3, 200S. Following the June 3, 200S meeting the
Eugene Planning Commission recommended approval of the Metro Plan amendment, taking an
exception to Statewide Planning Goal 15 Willamette River Greenway, to the Eugene City
Council.
D. The Eugene City Council conducted a joint public hearing on this amendment on
June 24, 200S with the Springfield City Council and Lane County Board of Comnlissioners, and
is now ready to take action based upon the above recommendation and evidence and testimony
already in the record as well as the evidence and testimony presented at the joint elected officials
public hearing.
E. Substantial evidence exists within the record demonstrating that the proposal
meets the requirements of the Metro Plan, of Chapter 9 of the Eugene Code, 1971, and of
applicable state and local law as described in Exhibit A, attached hereto and which are adopted
in support of this Ordinance.
Ordinance - 1
NOW, THEREFORE,
THE CITY OF EUGENE DOES ORDAIN AS FOLLOWS:
Section 1. Metro Plan Policy D.ll, Chapter III, Section D. is hereby amended by the
removal of the old text (shown in strike out) and the addition of the text shown in bold so that
Policy D.ll reads and provides as follows:
D.ll The taking of an exception shall be required if a non-water-dependent transportation
facility requires placing of fill within the Willamette River Greenway setback.
~\n exception to State'.".'ide Planning Goal 15 'Nillamette Ri".'er Green"."/ay ".vas approved for
Oregon Department of Transportation (ODOT) I 5 right of "llay crossing the 'Villamette River
and \vithin the 'Villamette Ri".'er Green'.vay Setback Line, for plli"pose of constructing a temporary
detour bridge, implementing the conditions imposed on the Discretionary Use ~\ppro"/al
(Springfield Journal SHR 2003 00115) and removing the temporary detour bridge after
completion of the permanent replacement bridge. This exception satisfies the criteria of Oregon
~\dministrative Rule (O}..R) 660 001 0022(5) 'Nillamette Greenway; the exception requirements
of O~^..R 660 001 0020 Goal 2, Part lICe) for a 'reasons' e~u~eption; afld pl:lrsl:laflt to O~\R 660
001 0015, is hereby adopted as an amendment to the ~4:etro Plan text, Policy #D.11, Chapter III,
Section D.
"An exception to Statewide Planning Goal 15 Willamette River Greenway was
approved for Oregon Department of Transportation (ODOT) for purposes of
removing and replacing the decommissioned 1-5 bridge, the temporary detour
bridge and the Canoe Canal bridge with two new parallel bridges (one southbound
and one northbound) within the 1-5 right-of-way crossing the Willamette River and
Canoe Canal and within the Willamette River Greenway Setback Line. The
exception authorizes construction and later removal of one or more temporary work
bridges; demolition of the decommissioned 1-5 Willamette River Bridge, Canoe
Canal Bridge, and detour bridges; construction of the two replacement bridges;
reconstruction of the roadway approaches to the bridges (1-5 and ramps);
rehabilitation of the project area; and completion of any required mitigation of
project impacts. In association with these tasks, the exception further authorizes
within the Willamette River Greenway Setback Line the addition and removal of fill
within ODOT right-of-way and the removal of fill within a temporary slope
easement east of 1-5. This exception satisfies the criteria of Oregon Administrative
Rule (OAR) 660-004-0022(6), Willamette Greenway, and the exception
requirements of OAR 660-004-0020 Goal 2 Part II(c) for a "reasons" exception, and
pursuant to OAR 660-004-0015, is hereby adopted as an amendment to the Metro
Plan text, Policy D.ll, Chapter III, Section D."
Section 2. The Metro Plan is hereby amended to include the findings of fact and
conclusions of law supporting a "reasons" exception to Statewide Planning Goal 15 and
demonstrating compliance with OAR 660-004-0015, 660-004-0020 and 660-004-0022(6)
Ordinance - 2
attached as Exhibit A and incorporated herein by this reference and adopted in support of this
Ordinance.
Section 3. The findings set forth in attached Exhibit A are adopted as findings in
support of this Ordinance.
Section 4. If any section, subsection, sentence, clause, phrase or portion of this
Ordinance is for any reason held invalid or unconstitutional by a court of competent jurisdiction,
such portion shall be deemed a separate, distinct and independent provision and such holding
shall not affect the validity of the remaining portions thereof.
Section 5. The provisions of the Metro Plan amended by this Ordinance remain in full
force and effect to authorize prosecution of persons in violations of those provisions prior to the
effective date of this Ordinance.
Section 6. Notwithstanding the effective date of ordinances as provided in the Eugene
Charter of 2002, this Ordinance shall become effective 30 days from the date of its passage by
the City Council and approval by the Mayor, provided that by that date the Springfield City
Council and Lane County Board of Commissioners have adopted ordinances containing identical
provisions to those described in Section 1 of this Ordinance.
Passed by the City Council this
Approved by the Mayor this
~ day of July, 2008
28th day of July, 2008.
~\W~~
JJ \ J/ . P ~
r \-/ I 1. (.1/(.}
Mayor
Ordinance - 3
Exhibit A
Findings
1-5 Willamette Bridge Project
(Eugene files MA 07-3, RA 08-1;
Springfield file LRP2007-00010;
Lane County file P A08-5230)
Metro Plan Text Amendment & Goal Exception (MA 07-3~ LRP2007-000l O~ P A08-5230)
The proposed amendment includes an exception to Statewide Planning Goal 15 and a Metro Plan
text amendment to allow fill within the Willamette River greenway for the 1-5 Willalnette Bridge
Project. The project includes replacement of the Interstate 5 bridges over the Willamette River and
Canoe Canal (Patterson Slough), including construction and later removal of one or Inore temporary
bridges, demolition of the original and detour Willamette River and Canoe Canal bridges,
construction of replacement bridges, reconstruction of the roadway approaches to the bridges,
rehabilitation of project area, and completion of any required mitigation.
Eugene, Springfield and Lane County each adopted identical Metro Plan amendment criteria into
their respective implementing ordinances and codes. Eugene Code 9.7730(3), Springfield
Development Code Section Chapter 5, Section 5.14-100 through 5.14-155, and Lane Code
12.225(2)(a & b), set forth the corresponding Metro Plan amendment criteria. Since Eugene is the
lead jurisdiction on this application, those criteria are addressed below under the Eugene Code as
follows:
Eugene Code (EC) Section 9.7730(3) requires that the following criteria (in bold and italics) be
applied to a Metro Plan text amendment:
(a) The amendment must be consistent with the relevant Statewide Planning Goals adopted by the
Land Conservation and Development Commission; and
Goal 1 Citizen Involvement: To develop a citizen involvement program that insures the opportunity
for citizens to be involved in all phases of the planning process.
The City has acknowledged provisions for citizen involvement that ensure the oppoltunity for
citizens to be involved in all phases of the planning process and set out requirements for such
involvement. The action does not amend the citizen involvement program. The process for
reviewing these amendments complies with Goal 1 since it complies with, and surpasses the
requirements of, the citizen involvement provisions.
The City of Eugene land use code implements Statewide Planning Goal 1 by requiring that notice of
the proposed amendments be given and public hearings be held prior to adoption. As a Type I, site
specific Metro Plan amendment, consideration of the amendments begins with a joint City of
Exhibit A - Findings
Page 1
Eugene, City of Springfield and Lane County Planning Commission public hearing on April 29,
2008.
Subsequent to deeming the applications complete, on February 27, 2008, the City mailed notice of
the proposed plan amendments to the Department of Land Conservation and Development, as
required by the Eugene Code and in accordance with State statutes. Referrals concenling the
pending applications were sent to the Oregon Department of Transportation (ODOT), City of
Springfield, Lane County, the affected Neighborhood Associations (Laurel Hill Valley Citizens and
the Harlow Neighborhood Association), and to City departments. On March 14, 2008, notice of the
joint Planning Commission public hearing was mailed to the applicant, and owners and occupants
of property within 300 feet of the subject property, the affected neighborhood groups in all three
jurisdictions and other interested parties such as the Whilamut Natural Area of Alton Baker Park.
On March 26, 2008, notice was also posted in accordance with EC 9.7415(5) and 9.7735(1). On
March 14, 2008, notice of the joint Planning Commission public hearing was also published in the
Register-Guard, in accordance with the Eugene Code. An additional joint public hearing before the
elected officials of the City of Eugene, City of Springfield and Lane County will be scheduled
following Planning Commission action. Notice to interested and affected parties will also be
provided for that hearing.
In response to the public notice, letters of written testimony have been received, including
comments from two of the affected Eugene neighborhood groups; the Laurel Hill Valley Citizens
(LHVC) and the Harlow Neighborhood Association (HNA). Responses to these comments are
provided under the appropriate criteria below where applicable.
Additionally, the federal environmental process applicable to this project provides additional
opportunities for public involvement including public meetings, open houses, newsletters, public
comment period on the Environmental Assessment, and establishment of a Community Advisory
Group. These efforts will continue public involvement outside of the land use application process,
consistent with this Goal.
The processes used by Eugene, Springfield and Lane County including mailed, posted and
published notice (as well as posting on the City of Eugene web page) for reviewing these
amendments complies with Statewide Planning Goal 1, since it complies with and surpasses the
requirements of the State's citizen involvement provisions.
Goal 2 - Land Use Planning: To establish a land use planning process and policy framework as a
basis for all decisions and actions related to use of land and to assure an adequate factual base for
such decisions and actions.
Part I - Planning
Part I of Goal 2 requires that actions related to land use be consistent with acknowledged
comprehensive plans of cities and counties. The Eugene-Springfield Metropolitan Area General
Plan (Metro Plan) is the policy tool that provides a basis for decision-making in this area. The
Metro Plan was acknowledged by the State in 1982 to be in compliance with statewide planning
goals. These findings and record show that there is an adequate factual base for decisions to be
made concerning the proposed amendments. Goal 2 requires that plans be coordinated with the
Exhibit A - Findings
Page 2
plans of affected governmental units and that opportunities be provided for review and comment by
affected governmental units. To comply with the Goal 2 coordination requirement, the City
coordinated the review of these amendments with all affected governmental units. Specifically,
notice was mailed to the State Department of Land Conservation and Development, Oregon
Department of Transportation (ODOT), Lane County, and the City of Springfield. Lane County and
the City of Springfield are participating in this amendment.
Part II - Exceptions
Part II of Goal 2 provides the conditions and standards for which a lotal jurisdiction can adopt an
exception to a statewide goal. Relevant to this request is Statewide Planning Goal 15, Willamette
River Greenway which does not allow non water-dependent, non water-related uses, such as the
proposed transportation facility, within the greenway setback without receiving an exception.
Because a goal 15 exception is required by D.ll of the Metro Plan, it is unnecessary to determine if
Goal 15 itself would require such an exception. The need for a goal exception is specifically
triggered by Policy D.ll of the Metro Plan, Willamette River Greenway, River Corridors, and
Waterways Element, which states:
D.11 The taking of an exception shall be required if a non-water-dependent transportation
facility requires placing of fill within the Willamette River Greenway setback.
An exception to Statewide Planning Goal 15 Willamette River Greenway was
approved for Oregon Department of Transportation (ODOT) 1-5 right of way
crossing the Willamette River and within the Willamette River Greenway Setback
Line, for purpose of constructing a temporary detour bridge, implementing the
conditions imposed on the Discretionary Use Approval (Springfield Journal SHR
2003-00115) and removing the temporary detour bridge after completion of the
permanent replacement bridge. This exception satisfies the criteria of Oregon
Administrative Rule (OAR) 660-004-0022(5) Willamette Greenway; the exception
requirements of OAR 660-004-0020 Goal 2, Part II(c) for a 'reasons' exception; and
pursuant to OAR 660-004-0015, is hereby adopted as an amendment to the Metro
Plan text, Policy #D.11, Chapter IlL Section D.
The taking of an exception is consistent with Policy D.ll as the proposal includes the placement of
fill within the Willamette River Greenway setback for a non-water-dependent transportation
facility, and is consistent with the Goal 15 exception previously taken for the temporary bridge, as
described under Policy D.ll above. To acknowledge the 1-5 Willamette Bridge Project, Metro Plan
Policy D.ll is proposed to be amended as follows in bold:
An exception to Statewide Planning Goal 15 Willamette River Greenway was approved
for Oregon Department of Transportation (ODOT) for purposes of removing and
replacing the decommissioned 1-5 bridge, the temporary detour bridge and the Canoe
Canal bridge with two new parallel bridges (one southbound and one northbound)
within the 1-5 right-of-way crossing the Willamette River and Canoe Canal and within
the Willamette River Greenway Setback Line. The exception authorizes construction
and later removal of one or more temporary work bridges; demolition of the
decommissioned 1-5 Willamette River Bridge, Canoe Canal Bridge, and detour
Exhibit A - Findings
Page 3
bridges; construction of the two replacement bridges; reconstruction of the roadway
approaches to the bridges (1-5 and ramps); rehabilitation of the project area; and
completion of any required mitigation of project impacts. In association with these
tasks, the exception further authorizes within the Willamette River Greenway Setback
Line the addition and removal of fill within ODOT right-of-way and the removal of fill
within a temporary slope easement east of 1-5. This exception satisfies the criteria of
Oregon Administrative Rule (OAR) 660-004-0022(6), Willamette Greenway, and the
exception requirements of OAR 660-004-0020 Goal 2 Part II(c) for a "reasons"
exception, and pursuant to OAR 660-004-0015, is hereby adopted as an amendment to
the Metro Plan text, Policy D.ll, Chapter 111, Section D.
In compliance with Metro Plan Policy D.ll, the following provides analysis for a Goal 15
exception.
The Land Conservation and Development Commission (LCDC) administrative rule governing goal
exceptions, OAR 660-004-0022(6), states that within urban areas, the proposed siting of uses that
are neither water-dependent nor water-related within the Willamette River greenway setback area
requires exceptions. The rule states the following:
(6) Willamette Greenway: Within an urban area designated on the approved Willamette
Greenway Boundary maps, the siting of uses which are neither water-dependent nor water-
related within the setback line required by Section C.3.k of the Goal may be approved where
reasons demonstrate the following:
(a) The use will not have a significant adverse effect on the green way values of the
site under construction or on adjacent land or water areas;
(b) The use will not significantly reduce the sites available for water-dependent or
water-related uses within the jurisdiction;
(c) The use will provide a significant public benefit; and
(d) The use is consistent with the Legislative findings and policy in 0 RS 390.314 and
the Willamette Greenway Plan approved by LCDC under ORS 390.322.
The requirements for Goal exceptions are outlined in OAR 660, Division 4 and are as follows:
OAR 660-004-0018 Planning and Zoningfor Exception Areas
(4) "Reasons" Exceptions:
(a) When a local government takes an exception under the "Reasons" section of
ORS 197. 732(l) (c) and OAR 660-004-0020 through 660-004-0022, plan and zone
designations must limit the uses, density, public facilities and services, and
activities to only those that are justified in the exception;
Exhibit A - Findings
Page 4
(b) When a local government changes the types or intensities of uses or public
facilities and services within an area approved as a "Reasons" exception, a new
"Reasons" exception is required;
The taking of goal exceptions requires and results in amendments to the Metro Plan (ORS
197.732(8) defines an "exception" as a comprehensive plan provision, including an amendment to
an acknowledged comprehensive plan). The exception provides for the continuation of the existing
use of 1-5 by motor vehicles for interstate mobility and commerce purposes. The ne\\' 1-5
Willamette River bridges are needed to accommodate that use.
The new bridges will be replacement bridges to the decommissioned 1-5 bridge and Canoe Canal
bridge, which are part of the 1-5 interstate highway facility whose existence is identified in the
Transplan. As such, the new bridges will not be providing a use that does not already exist.
OAR 660-004-0022 Reasons Necessary to Justify an Exception Under Goal 2, Part II(c)
An exception under Goal 2, Part ll(c) can be taken for any use not allowed by the applicable
goal(s). The types of reasons that mayor may not be used to justify certain types of uses not
allowed on resource lands are set forth in the following sections of this rule: ...
(6) Willamette Greenway: Within an urban area designated on the approved Willamette
Greenway Boundary maps, the siting of uses which are neither water-dependent nor water-
related within the setback line required by Section C.3.k of the Goal may be approved where
reasons demonstrate the following:
(a) The use will not have a significant adverse effect on the green way values of the
site under consideration or on adjacent land or water areas; ...
The new bridges would be located in the same location as the decommissioned and detour bridges,
although they would require minor shifts of alignment and reconnection of portions of the Franklin
Boulevard northbound and southbound on and off ramps as dictated by bridge design. The
Whilamut Natural Area of Alton Baker Park lies west of the 1-5 right-of-way in Eugene and the
Eastgate Woodlands portion of the Whilamut Natural Area lies east of the 1-5 right-of-way in
Springfield. Since the project area includes portions of both parks where they are adjacent to 1-5 and
north of the Willamette River, unless otherwise differentiated, this area will be referred to as the
Whilamut Natural Area and Eastgate Woodlands for the remainder of these findings. The area
adjacent to ODOT's right-of-way is used as open space. This area contributes to the protection of
natural, scenic, and recreational greenway values, including fish and wildlife habitat, water quality,
protection from flooding, and public recreation.
Because the replacement bridges and associated fill will be located within existing ODOT right-of-
way, which is outside of the Whilamut Natural Area and Eastgate Woodlands, there will be no
reduction in the amount of permanent open space available at the parks. Because the bridges replace
an existing, structurally defective bridge and existing 1-5 facility, there will be no change in use of
this area. Existing park and river users are accustomed to experiencing interstate travel at this
location. The bicycle-pedestrian path linking Eugene and Springfield will continue to traverse
Exhibit A - Findings
Page 5
ODOT's right-of-way below the new bridges. Public access to the river will not be affected in any
significant long-term manner and protection to riparian areas and fish and wildlife habitat will be
maintained to the greatest possible extent. Additionally, specific development details will be
reviewed for minimizing impacts through compliance with applicable approval criteria, related
standards and any necessary conditions of approval, as further reviewed under local permitting
processes such as the Willamette Greenway and Water Resources Conservation Overlay Zone.
The applicant acknowledges that the project will create some short term impacts to Willamette
Greenway values during construction. Staging for bridge construction is likely to occupy up to five
acres of park open space for up to four years. The bicycle/pedestrian path crossing ODOT's right-of-
way will be closed for periods of up to a few days at a time; however, another path under the Canoe
Canal Bridge, located approximately 600 feet to the north of this path, would remain open during
any closures to accommodate bicycle and pedestrian traffic.
The new replacement bridges will span the Willamette River and Canoe Canal. Piers will be placed
in the Willamette River to support the bridge structures. The new bridges will each have one pier
near the center of the river and one on or near the south bank, but no piers will be located in the
Canoe Canal. By comparison, the decommissioned bridge has five piers in the water, and the detour
bridge has six, so the new bridges will provide a substantial net reduction in piers cornpared to the
existing number. At a conceptual level, any reduction in the number of piers will have a positive
rather than adverse effect on recreational use of the river, consistent with this standard.
Additionally, the applicant proposes to implement a plan to prevent construction deblis from
dropping into the Willamette River. At a conceptual level, with the reduction in the number of piers,
the new bridges spanning the Canoe Canal, and the construction measures proposed, the
replacement bridges will not have an adverse affect but will have a positive affect on recreational
use of the river, consistent with this standard.
Regarding environmental resources, at the conclusion of bridge construction, fill placed for the
detour bridge and for temporary work bridges will be removed and those areas will be restored.
Bridge construction and demolition, including construction and removal of associated temporary
work platforms, will impact riparian vegetation within the greenway (see Figure 6, Approximate
Vegetation Disturbance Areas). However, ODOT's temporary easement for use of Eastgate
Woodlands requires ODOT to restore the property within 5 years of completion of the permanent
replacement bridges. The applicant also proposes several construction, site preparation, post
development, and coordination measures to minimize impacts to natural resources discussed under
Metro Plan Policy E.2, which is incorporated herein by reference. Additionally, preliminary data
indicates that there will be a net decrease of 31 ,000 cubic yards of fill in the Willamette River
(30,000 cubic yards of fill added and 61,000 cubic yards of fill removed; application, page 5). With
the exception of a few of the temporary storage areas, the replacement bridges are proposed within
existing ODOT right-of-way which reduces impacts to non-transportation utilized areas. Based on
these measures, affects on environmental resources will be minimized and mitigated. Furthermore,
additional review of detailed site plans during the federal, state and local processes will require
mitigation as appropriate, subject to applicable standards.
Regarding scenic values of the Willamette River greenway, the reduction in the total number of
piers and in the number of piers within the Willamette River will improve views of the river and, as
Exhibit A - Findings
Page 6
such, contribute to a positive visual impact. Also, because a key consideration of the project is
providing an aesthetically pleasing solution that recognizes the scenic beauty of the project area,
ODOT has considered a range of bridge types and pier options, taking carefully into consideration
community input obtained through a public process. At this phase, ODOT has developed two
conceptual schematics illustrating the new 1-5 bridges, but ODOT has not developed detailed
engineering design plans. Ultimately, selection of the bridge type for each segment will be
dependent primarily on aesthetic considerations and budget. The applicant has indicated the public
input on the design will also be provided through other public outreach efforts.
While construction activities will temporarily impact greenway values, with the reduction in piers
and fill, the location of the bridges in the existing right-of-way, and the mitigation measures
proposed by the applicant, the new 1-5 Willamette River bridges will have no significant adverse
effect on the greenway values of ODOT's right-of-way (if any) or the adjacent park lands and water
areas, consistent with this standard. Additionally, specific construction and operational details
regarding mitigation of riparian impacts will be appropriately addressed during local permitting
processes, subject to applicable approval criteria and related standards.
(b) The use will not significantly reduce the sites available for water-dependent or
water-related uses within the jurisdiction; ...
The two new replacement bridges will not reduce any sites available for water-dependent or water-
related uses in Eugene or Springfield because the bridges will be constructed entirely within the
same existing ODOT 1-5 right-of-way where the decommissioned 1-5 bridge and temporary detour
bridge are located. The new bridges will have one pier each near the center of the river and one pier
on or near the south bank (the Canoe Canal on the north side would be spanned completely and
these bridges will be perched on fill associated with the roadway). In contrast, the decommissioned
bridge has five piers in the water, and the detour bridge has six. At a conceptual level, a net
reduction in piers in the water will be beneficial for water-dependent uses. Therefore, in the context
of a plan amendment, this standard is met.
(c) The use will provide a significant public benefit; and ...
1-5 is the primary north-south highway corridor serving California, Oregon, and Washington. The
facility provides for the significant movement of people, freight, and other services, and serves as
the backbone for international, interstate, and intrastate commerce. The applicant notes that on
average, approximately 49,000 vehicles cross the Willamette River through the Eugene/Springfield
area on 1-5 each day, with numbers reaching greater than 63,000. Approximately 16 to 18 percent of
daily trips are made by tractor trailer rigs hauling freight. By the year 2030, 1-5 is expected to
accommodate approximately 73,000 daily vehicle trips. The connectivity and mobility that 1-5
provides to both the local community and to intrastate and interstate travelers constitutes a
significant public benefit. This facility is recognized in the 1999 Oregon Highway Plan and in
TransPlan. Therefore this standard is met.
(d) The use is consistent with the Legislative findings and policy in 0 RS 390.314 and
the Willamette Greenway Plan approved by LCDC under ORS 390.322.
Exhibit A - Findings
Page 7
The legislative findings and policy in ORS 390.3 14 are:
o RS 390.3 14. Legislative findings and policy
(I) The Legislative Assembly finds that, to protect and preserve the natural, scenic,
and recreational qualities of lands along the Willamette River, to preserve and
restore historical sites, structures, facilities, and objects on lands along the
Willamette River for public education and enjoyment and to further the state policy
established under ORS 390.010, it is in the public interest to develop and maintain a
natural, scenic, historical, and recreational green way upon lands along the
Willamette River to be known as the Willamette River Greenway.
As previously stated, the 1-5 Willamette River bridge predates the adoption of Goal] 5. As an
element of 1-5, the bridge is provided for in TransPlan, which has been acknowledged to be in
compliance with all statewide planning goals. Construction of the replacement bridges and removal
of the decommissioned Canoe Canal and detour bridges will temporarily affect greenway values
during construction. However, as discussed under Goal 6 (air, water quality, land), Goal 8
(recreation) and Metro Plan Policy E.2 (environment), and the remainder of these findings, the
applicant proposes several measures to reduce or mitigate environmental and recreational impacts,
and the reduction of piers and fill will have a positive affect on scenic resources along the
Willamette River Greenway, consistent with this standard. Additionally, specific construction and
operational details will be appropriately addressed during local permitting processes, subject to
applicable approval criteria and related standards.
(2) In providing for the development and maintenance of the Willamette River
Greenway, the Legislative Assembly:
(a) Recognizing the need for coordinated planningfor such green way. finds it
necessary to provide for development and implementation of a plan for such
green way through the cooperative efforts of the state and units of local government.
The State of Oregon and units of local government, including Lane County and the cities of
Springfield and Eugene, have cooperated in the implementation of greenway planning as required
by legislative intent. The 1-5 Willamette River Bridge Replacement Project, subject to this
application, is and will be permitted through this established local and statewide greenway planning
process.
(b) Recognizing the need of the people of this state for existing residential,
commercial, and agricultural use of lands along the Willamette River, finds it
necessary to permit the continuation of existing uses of lands that are included
within such green way; but, for the benefit of the people of this state, also to limit the
intensification and change in the use of such lands so that such uses shall remain, to
the greatest possible degree, compatible with the preservation of the natural, scenic,
historical and recreational qualities of such lands.
As previously stated, 1-5 and the 1-5 Willamette River bridge predate Goal 15. Like the original
Exhibit A - Findings
Page 8
bridge, the replacement bridges and their approaches will be located within ODOT's established 1-5
right-of-way, thus avoiding significant adverse effects on the greenway and greenway values,
consistent with this policy. Furthermore, as discussed under Goal 6 (air, water quality), Goal 8
Recreation and Metro Plan Policy E.2 (environment), and the remainder of these findings, the
applicant proposes several measures to reduce or mitigate environmental and recreational impacts,
and the reduction of piers and fill will have a positive affect on scenic resources along the
Willamette River Greenway, consistent with this standard.
(c) Recognizing that the use of lands for farm use is compatible with the purposes of
the Willamette River Greenway, finds that the use of lands for farm use should
continue within the greenway without restriction.
The 1-5 Willamette River replacement bridges will be located entirely within the urbanized area of
Springfield and Eugene, and not upon or near farm land within the greenway boundary. For this
reason, the project will in no way impede the continuation of farm uses within the greenway,
consistent with this policy.
(d) Recognizing the need for central coordination of such green way for the best
interests of all the people of this state, finds it necessary to place the responsibility
for the coordination of the development and maintenance of such greenway in the
State Parks and Recreation Department.
Constructing the 1-5 replacement bridges in no way limits or changes Oregon State Parks'
responsibilities for the coordination of the development and maintenance of the greenway.
(e) Recognizing the lack of need for the acquisition offee title to all lands along the
Willamette River for exclusive public use for recreational purposes in such
greenway, finds it necessary to limit the area within such green way that may be
acquired for state parks and recreational areas and for public recreational use
within the boundaries of units of local government along the Willamette River.
The replacement bridges and approaches will be located within existing public right-of-way that has
been used for interstate highway purposes since before the enactment of the Willamette River
greenway statutes and Goal 15. The land is in the public domain and will remain in the public
domain after completion of construction of the new replacement bridges and demolition and
removal of the decommissioned bridge, Canoe Canal bridge, and detour bridge. Therefore, the
proposed project will not increase or decrease the amount of land available for acquisition for state
parks and recreational areas or for public recreational use within the boundaries of units of local
government along the Willamette River. Temporary staging areas outside of public rights-of-way
will be rehabilitated to their previous state.
Therefore, an exception to Goal 15 is warranted for the reasons stated above, specifically OAR 660-
0040-0022 (6)( c) and consistency with the remaining reasons, for the placement of fill within the
greenway setback for the 1-5 Willamette Bridge Replacement project. Goal exception requirements
are as follows:
Exhibit A - Findings
Page 9
OAR 660-004-0020 Goal 2, Part II(c), Exception Requirements
(1) If a jurisdiction determines there are reasons consistent with OAR 660-004-0022 to use
resource lands for uses not allowed by the applicable Goal or to allow public facilities or
services not allowed by the applicable Goal, the justification shall be set forth in the
comprehensive plan as an exception.
The reasons consistent with OAR 660-004-0022(6) are set forth above to allow the construction of
the 1-5 Willamette River and Canoe Canal replacement bridges and the removal of the
decommissioned bridge, existing Canoe Canal bridge, and temporary detour bridge, including the
placement of fill needed for the new bridges or for temporary work bridges required to construct the
new bridges or remove the decommissioned or detour bridges. The justifications are set forth in the
comprehensive plan as an exception consistent with this rule.
(2) The four factors in Goal 2 Part II(c) required to be addressed when taking an exception
to a Goal are:
(a) "Reasons justify why the state policy embodied in the applicable goals should not
apply": The exception shall set forth the facts and assumptions used as the basis for
determining that a state policy embodied in a goal should not apply to specific
properties or situations, including the amount of land for the use being planned and
why the use requires a location on resource land;
The reasons justifying why the replacement bridges should be permitted within the greenway
setback area, and why associated fill should be permitted, are those addressed above in the analysis
demonstrating compliance with the criteria in OAR 660-004-0022(6). An exception to the Statewide
Planning Goal 15 is necessary to allow additional fill to be placed in the greenway per Metro Plan
Policy D.ll. Here, approximately 30,000 cubic yards of fill will be placed within ODOT's existing
1-5 right-of-way, while approximately 61,000 cubic yards offill will be removed, resulting in a net
decrease of 31 ,000 cubic yards of fill in the Willamette River.
Except for a few acres of park land needed temporarily for staging construction, all development
will occur within ODOT's existing 1-5 right-of-way, which is not resource land. The bridges require
a location over the Willamette River greenway because 1-5 already exists both north and south of
the Willamette River and the highway cannot practicably be relocated to avoid crossing the river.
(b) "Areas which do not require a new exception cannot reasonably
accommodate the use":
(A) The exception shall indicate on a map or otherwise describe the location
of possible alternative areas considered for the use, which do not require a
new exception. The area for which the exception is taken shall be identified;
(B) To show why the particular site is justified, it is necessary to discuss why
other areas which do not require a new exception cannot reasonably
accommodate the proposed use. Economic factors can be considered along
Exhibit A - Findings
Page 10
with other relevant factors in determining that the use cannot reasonably be
accommodated in other areas. Under the alternative factor the following
questions shall be addressed:
(i) Can the proposed use be reasonably accommodated on
nonresource land that would not require an exception, including
increasing the density of uses on nonresource land? If not, why not?
(ii) Can the proposed use be reasonably accommodated on resource
land that is already irrevocably committed to nonresource uses, not
allowed by the applicable Goal, including resource land in existing
rural centers, or by increasing the density of uses on committed
lands? If not, why not?
(iii) Can the proposed use be reasonably accommodated inside an
urban growth boundary? If not, why not?
(iv) Can the proposed use be reasonably accommodated without the
provision of a proposed public facility or service? If not, why not?
(C) This alternative areas standard can be met by a broad review of similar types
of areas rather than a review of specific alternative sites. Initially, a local
government adopting an exception need assess only whether those similar types of
areas in the vicinity could not reasonably accommodate the proposed use. Site
specific comparisons are not required of a local government taking an exception,
unless another party to the local proceeding can describe why there are specific sites
that can more reasonably accommodate the proposed use. A detailed evaluation of
specific alternative sites is thus not required unless such sites are specifically
described with facts to support the assertion that the sites are more reasonable by
another party during the local exceptions proceeding.
The applicant states that 1-5 replacement bridges are needed because the decommissioned bridge is
structurally unsafe and the detour bridge was not constructed to accommodate anticipated traffic
volumes over the long term, nor does it meet current seismic standards. The replacenlent bridges
and their approaches will be located entirely within ODOT's existing 1-5 right-of-way. Because the
Willamette River is quite wide in the vicinity of 1-5, piers will again be needed within the setback
area to support the proposed replacement bridges; however, fewer piers will be used compared to
existing conditions. In addition, fill is required to support the approaches to the new bridges,
including the new bridges over the Canoe Canal.
Given the non-water dependent and non-water-related nature of the use, and given that fill would be
required for pier support and bridge approaches regardless of where in the vicinity the bridges are
located, there are no alternative sites crossing the Willamette River that would not also require a
new exception. It is noted that the proposed use will be located inside an urban growth boundary on
land that is neither agricultural nor forest land. By remaining within the existing ODOT right-of-
way, the project avoids significant impacts to park lands. Because transportation improvements,
Exhibit A - Findings
Page 11
including bridges, are considered public facilities, the use cannot be reasonably accolnmodated
without the provision of the proposed public facility. Analysis regarding possible alternative sites is
discussed further under subsection (c) directly below, which is incorporated herein by reference.
(c) The long-term environmental, economic, social and energy consequences
resulting from the use at the proposed site with measures designed to reduce adverse
impacts are not significantly more adverse than would typically result from the same
proposal being located in other areas requiring a Goal exception. The exception
shall describe the characteristics of each alternative areas considered by the
jurisdiction for which an exception might be taken, the typical advantages and
disadvantages of using the area for a use not allowed by the Goal, and the typical
positive and negative consequences resulting from the use at the proposed site with
measures designed to reduce adverse impacts. A detailed evaluation ~f specific
alternative sites is not required unless such sites are specifically described with facts
to support the assertion that the sites have significantly fewer adverse impacts
during the local exceptions proceeding. The exception shall include the reasons why
the consequences of the use at the chosen site are not significantly more adverse
than would typically result from the same proposal being located in areas requiring
a goal exception other than the proposed site. Such reasons shall include but are not
limited to, the facts used to determine which resource land is least productive,' the
ability to sustain resource uses near the proposed use; and the long-term economic
impact on the general area caused by irreversible removal of the land from the
resource base. Other possible impacts include the effects of-the proposed use on the
water table, on the costs of improving roads and on the costs to special service
districts;
No other sites requiring exceptions are being considered for this use. This is because the use is not a
new use, but rather the replacement of an existing, structurally deficient bridge within an existing
right-of-way. Locating the replacement bridges within the existing right-of-way is both necessary
and practicable because that right-of-way lines up with the existing 1-5 approaches to the north and
south. Relocating the bridge replacement project outside the existing 1-5 right-of-way would require
ODOT to relocate the approaches at considerable additional cost and impact to not only the
greenway, but also to protected park and recreational resources, including the Whilamut Natural
Area and Eastgate Woodlands. Further, relocating the bridge could require the closure of one or
more existing interchanges or ramps, result in demolition of residences and businesses, and result in
a hazardous geometry due to the presence of immovable geologic features. Alternative bridge
alignment locations to the north or south of the existing footprint and right-of-way w"ere dismissed
from further analysis due to the following impacts:
. Right-of-way would need to be acquired from Alton Baker Park, which is prohibited under
Section 4(f) of the federal Department of Transportation Act of 1966 unless there are no
other prudent and feasible alternatives.
. Right-of-way would need to be acquired from homes and/or businesses on the south side of
the river that would not be required if the highway remains on its current alignment.
. A shifted highway would be closer to existing homes, resulting in higher noise and visual
impacts.
. Major high-tension power transmission lines are located on both sides of the bridge and one
Exhibit A - Findings
Page 12
would need to be relocated if the alignment was shifted.
Given the replacement nature of this project, the fact that crossing the Willamette River at some
location is unavoidable, and ODOT's inability to realign 1-5 on adjoining lands based on federal
restrictions protecting park lands, there are no feasible and prudent alternatives to re-using the
existing 1-5 right-of-way. Accordingly, in terms of economic, social, environmental, and energy
consequences, there are no areas warranting comparison. 1-5 is an important highway in the State of
Oregon and freight corridor on the west coast. The connectivity and mobility it provides statewide,
interstate, and regional travelers provides tremendous benefits both economically and socially. The
ability to rebuild within the existing ODOT 1-5 right-of-way minimizes energy consumption and
environmental impacts, as the current right-of-way use for interstate travel purposes is maintained.
As such, consistent with this standard, the right-of-way is the least productive land in the immediate
area in terms of sustaining resource uses. It's continued use for this purpose also means that no
other resource or recreational lands need be removed from the resource base therefore this standard
is met.
(d) The proposed uses are compatible with other adjacent uses or will be so
rendered through measures designed to reduce adverse impacts. The exception shall
describe how the proposed use will be rendered compatible with adjacent land uses.
The exception shall demonstrate that the proposed use is situated in such a manner
as to be compatible with surrounding natural resources and resource management
or production practices. Compatible is not intended as an absolute term meaning no
interference or adverse impacts of any type with adjacent uses.
Uses adjacent to the affected portion of 1-5 include park land and the Willamette River, and
residential and industrial uses. The temporary staging areas are adjacent to park land and the
Willamette River, ODOT and Lane County property, and between 1-5 and 1-5 ramps. With the
exception of the temporary staging areas, the replacement bridges and associated improvements are
being proposed within approximately the same location as both the original and temporary bridges
and will be located within existing rights-of-way and right-of-way easements. Considering that this
area has been utilized as the 1-5 bridge location since prior to the establishment of Goal 15,
replacement of the facility in the same location is more compatible than relocating the facility and
converting non-transportation areas to this use. The proposal also includes a reduction in the
number of piers from the existing 11 piers to 8, a net reduction in fill, and sound walls. At a
conceptual level, these elements will reduce adverse impacts to environmental, recreational and
scenic resources and will increase compatibility of the project with adjacent recreational, residential
and industrial uses of the area. Regarding the temporary staging locations, the impacts will be
temporary and the applicant has proposed several measures to reduce adverse impacts of the
construction activities including: a plan to prevent debris from falling into the Willamette River,
maintaining a continuous bicycle/pedestrian path, limiting work hours, and restoring the temporary
staging areas upon project completion. Additional measures proposed by the applicant to reduce
environmental, recreational and scenic impacts, are further discussed under Metro Plan Policy E.2,
Goal 8 below, and OAR 660-004-0022(6)(a) above, which are incorporated herein by reference.
These measures will further reduce adverse impacts to the adjacent park land and Willamette River,
residential, and industrial uses consistent with this standard.
Exhibit A - Findings
Page 13
In addition, compatibility with greenway and Goal 5 resource values associated with the Willamette
River, riparian areas both north and south of the river, the Whilamut Natural Area and Eastgate
Woodlands will be further ensured through compliance with acknowledged Eugene and Springfield
permitting requirements adopted to implement Goals 15 and 5; Willamette River Greenway and
greenway setback review, and the Water Resources Conservation Overlay Zone, subj ect to
applicable standards and conditions. As noted earlier, the bridges are an existing use within the
ODOT right-of-way. This proposal replaces the original bridge with two new bridges: one for
northbound traffic, the other for southbound traffic, and replaces the Canoe Canal bridge. It also
removes the detour bridge. Given that a bridge has been accommodating highway traffic in this area
for decades, most new impacts will be associated with bridge construction or demolition. By
remaining within the existing ODOT right-of-way, and employing Best Management Practices and
other impact avoidance or mitigation techniques identified or required during the local permitting
processes, impacts to surrounding natural resource lands can be minimized to protect natural
resource qualities in and the use and enjoyment of the Willamette River, the Willamette River
gr~enway, and the Whilamut Natural Area and Eastgate Woodlands.
Based on the above findings, an exception to Goal 15 is warranted and meets the requirements of
OAR 660-0040-0020 for the placement of fill within the greenway setback for the 1-5 Willamette
Bridge Replacement project.
Therefore, the amendments and goal exception are consistent with Statewide Planning Goal 2.
Goal 3 - Agricultural Land: To preserve and maintain agricultural lands.
Goal 3 is not applicable to these amendments as the subject property and actions do not affect any
agricultural plan designation or use. Goal 3 excludes lands inside an acknowledged urban growth
boundary from the definition of agricultural lands. Since the subject property is entirely within the
acknowledged urban growth boundary, Goal 3 is not relevant and the amendments do not affect the
area's compliance with Statewide Planning Goal 3.
Goal 4 - Forest Land: To conserve forest lands.
Goal 4 is not applicable to these amendments as the subject property and actions do not affect any
forest plan designation or use. Goal 4 does not apply within urban growth boundaries and,
.. therefore, does not apply to the subject property, which is within the Eugene-Springfield urban
growth boundary (OAR 660-006-0020). Therefore, Goal 4 is not relevant and the anlendments do
not affect the area's compliance with Statewide Planning Goal 4.
Goal 5 - Open Spaces. Scenic and Historic Areas. and Natural Resources: To conserve open space
and protect natural and scenic resources.
The following administrative rule (OAR 660-023-0250) is applicable to this post-acknowledgement
plan amendment (PAPA) request:
(3) Local governments are not required to apply Goal 5 in consideration of a PAPA unless the
PAPA affects a Goal 5 resource. For purposes of this section, a PAPA would affect a Goal 5
Exhibit A - Findings
Page 14
~
resource only if:
(a) The PAPA creates or amends a resource list or a portion of an acknowledged plan
or land use regulation adopted in order to protect a significant Goal 5 resource or to
address specific requirements of Goal 5;
(b) The PAPA allows new uses that could be conflicting uses with a particular
significant Goal 5 resource site on an acknowledged resource list; or
(c) The PAPA amends an acknowledged UGB andfactual information is submitted
demonstrating that a resource site, or the impact areas of such a site, is included in
the amended UGB area.
The subject project area includes Goal 5 resource sites; the Willamette River, a riparian resource
between 1-5 and E. 18th Avenue, and riparian resources in Alton Baker Park (the Canoe Canal).
Subsections (a) and (c) above are not applicable to this request as the proposed amendments do not
create or amend a list of Goal 5 resources, do not amend a plan or code provision adopted in order
to protect a significant Goal 5 resource or to address specific requirements of Goal 5, and do not
amend the acknowledged Urban Growth Boundary. Regarding subsection (b), the 1-5 Willamette
Bridge Proj ect is replacement of an existing use in approximately the same location, even
considering the additional widening of the roadway. Therefore, (b) is not applicable because the
project includes replacement of an existing use, not a new use.
Based on the findings above, Statewide Planning Goal 5 is either not applicable or is met through
compliance with the acknowledged local permitting process.
Goal 6 - Air. Water and Land Resources Qualitv: To maintain and improve the quality of the air,
water, and land resources of the state.
Goal 6 addresses waste and process discharges from development, and is aimed at protecting air,
water and land from impacts from those discharges. The proposal does not amend the metropolitan
area's air, water quality or land resource policies. The applicant's findings show that the City can
reasonably expect that future development of the site will comply with applicable environmental
laws as follows:
Additionally, regarding air quality, the replacement bridges themselves should have no adverse
impact on air quality because they merely replace an existing facility that has been decommissioned
as being structurally unsafe. Regardless of the potential future addition of 6 lanes, the new bridges
do not necessarily result in more people driving on 1-5. Instead, existing traffic volumes will be
shifted from the detour bridge to the new bridges. If the decommissioned 1-5 bridge is not replaced,
those vehicles would be forced each day onto city streets and county roads not designed for such
trips. The ensuing degradation to the air quality along these alternative routes caused by
unmanageable congestion would be in direct contradiction to the purpose of Goal 6. Even the
potential increase in the number of lanes does not necessarily increase the number of people driving
on 1-5, but rather increases continuous traffic movement. Regarding air quality, this goal is met by
the proposed plan amendments.
Regarding water quality, construction of the replacement bridges and the removal of the
decommissioned and detour bridges will impact water quality by affecting soils and vegetation
Exhibit A - Findings
Page 15
within the Willamette River and along the greenway setback. Water Buality may also be affected
where impervious surfaces are added along the bridge approaches. Where areas are paved, water
cannot penetrate the soils so it rushes over the surface. This can increase erosion and the movement
of fine sediments and increase pollutant loads in watercourses. While construction of the
replacement bridges will result in some new impervious surfaces, overall the project will result in a
net decrease in impervious surface because ODOT will remove the approach roadway for the detour
bridge.
The applicant also proposes that water quality impacts will be mitigated through the use of effective
land-based stormwater treatment systems that include measures to preserve and restore mature
vegetation and maximize infiltration. The use of construction techniques that include temporary and
permanent Best Management Practices for erosion and sediment control and spill control and
prevention also can achieve compliance with clean water standards. Oregon Highway Plan 5A.l
directs ODOT to implement Best Management Practices. Based on these findings, water quality will
be maintained and mitigated, consistent with this goal. In addition, through the local permitting
process, Eugene and Springfield can impose appropriate conditions to ensure that Best Management
Practices are employed and that water quality is maintained, subject tg applicable approval criteria
and related standards. By doing so, Goal 6 is satisfied.2
Regarding noise, a proj ect noise technical report was prepared as part of the Environmental
Assessment (as required by NEP A) to analyze potential noise impacts resulting from the project.
Per the ODOT Noise Manual (June 1996) analysis procedures, noise mitigation measures were
evaluated to reduce noise levels to nearby residences as a result of the project. Noise walls were
determined to meet the ODOT effectiveness and cost-effectiveness criteria in two locations and are
recommended as mitigation (see supplemental information, Figures 7-9). The final \valllocations
will be determined after public input is completed as part of the NEP A process. Additionally, as
stated on page 13 of the written statement, the applicant proposes the following general measures:
. Continue public involvement through design and construction
. limit work hours
. limit noise
Therefore, in the context of a plan amendment, the proposed amendments are consistent with
Statewide Planning Goal 6. Additionally, specific construction and operational details will be
appropriately addressed during local permitting processes, subject to applicable approval criteria
and related standards.
Goal 7 - Areas Subiect to Natural Disasters and Hazards: To protect life and property from natural
disasters and hazards.
Goal 7 requires that local government planning programs include provisions to protect people and
2 Currently, there is no stormwater treatment for the decommissioned and detour bridges. Providing water quality
treatment for the new bridges, which would be required through the applicant's proposed Best Management Practices,
would have a beneficial effect on water quality. The water quality report for the project noted that the amount of runoff
from the bridges would be so minor relative to the volume of flow in the Willamette River that the effect would be
negligible. v
Exhibit A - Findings
Page 16
property from natural hazards such as floods, land slides, earthquakes and related hazards, tsunamis
and wildfires. It is not subject to hazards normally associated with wildfires, or tsunamis.
Consistent with this goal, the City of Eugene has adopted provisions regulating development in
floodplains and floodways, and building codes regulations that address slopes and seismic concerns.
To the extent that this is relevant to the proposed plan amendment, the existing detour bridge does
not meet current seismic standards. Consistent with this goal, the proposed bridge replacement
project will provide bridges that meet current seismic, safety and design standards.
Additionally, regarding slopes, portions of the project area are identified on the map for Relative
Slope Instability Hazards. The portions of the project site in the Whilamut Natural Area and
Eastgate Woodlands, and the area southeast of 1-5 and the Willamette River are identified as
moderate hazard areas. However, both of these areas are proposed for only temporary staging
locations. The applicant has completed 10 borings on either side of the river as part of a
geotechnical investigation related to the temporary detour bridge (three north of the river, seven
south of the river). A geological report (which was not submitted for this application) indicates that
geological resources in the project area consist of fill material, alluvium, and bedrock. The
processes affecting these materials are man-made, such as excavation and grading, and natural.
Since there is an existing bridge, impacts to geological resources would consist of relatively minor
changes in topography, minor settlement of near-surface materials, possible increase in erosion,
minor changes to the river flow regime and related sediment and related sediment transport, and
potential changes in slope stability (from vegetation removal). These impacts would occur as a
result of excavation, placement of structure and fills, and clearing and grading. Impacts related to
construction would be temporary, localized changes to river flow regime; stability of partially
constructed slopes; erosion; and resultant sedimentation. The highest risk to landslide would be
slope failure into the Willamette River; however, considering the low height of the riverbank, such a
failure would be limited to a small area relative to the width of the river. The applicant states that
geotechnical investigations will also be completed during design to determine the best method to
seat foundations and piers and to reduce effects related to hazards. Additionally, slopes will be
constructed in a manner that reduces potential for erosion or small landslides.
\)
Therefore, the project would have no permanent effects on geological resources. In the context of a
plan amendment, landslide and earthquake hazards are addressed consistent with this goal.
Furthermore, specific construction details will be further reviewed during the local permitting
processes, subject to applicable standards, such as, based on the earthquake hazard, geotechnical
investigations should be completed prior to construction to determine the best method to seat
foundations, piers, and bents to reduce effects related to earthquakes (e.g., lateral spread,
liquefaction). In addition, slopes should be constructed in a manner that reduces the potential for
erosion or small landslides.
Regarding flooding, portions of the project area are located within the floodway and floodplain of
the Willamette River. As previously stated, both Eugene and Springfield have adopted ordinances
regulating construction within floodways and floodplains. Furthermore, in response to Metro Plan
policies C.30 and C.31 below, which is incorporated herein by reference, because the 1-5
Willamette Bridge project is located within a FEMA designated regulatory floodway and
Exhibit A - Findings
Page 17
floodplain, the design of the replacement bridges must satisfy the regulations set forth in the
National Flood Insurance Program (NFIP). The NFIP requires that any modifications that cause a
rise in the Base Flood Elevations (BFEs, which corresponds to water surface elevations associated
with the 100-year flood event) must be approved by FEMA.
Two pier location scenarios are currently under consideration (Proposed Option A and Proposed
Option B, see written statement page 9). Based on preliminary modeling, Option A \vould result in
an increase of 0.02 feet over existing conditions for the 100-year flood event. For the Environmental
Assessment, 'the hydraulic conditions of the 1-5 Willamette Bridge Project were analyzed using the
U.S. Army Corp of Engineers' HEC-RAS model. Natural, existing and proposed conditions (with
pier locations Options A and B) were modeled. Conservative assumptions regarding pier size were
used for this modeling. Refined design of the concepts and further hydraulic analysis will allow
confirmation that the proposed project will result in no rise of the base flood elevation.
Option B would result in a decrease of 0.54 feet for the 100-year flood event, which is consistent
with the no-rise standard and consistent with this goal. While Option A shows an increase of 0.02,
which does not meet the no-rise requirement, this is not a detailed analysis and modeling will be run
again when the design is refined for the permitting process in order to meet the no-rise requirement.
A FEMA "no-rise" certification will be obtained from the City of Eugene for any construction or
structures within floodways/special flood hazard areas that are outside of rights-of-way, within
Eugene. In addition, the applicant states that the no-rise condition is also a requirement of ODOT
for any bridge replacement project.
Other hazards, such as earthquakes and severe winter storms can be mitigated at the time of
development based on accepted building codes and building techniques. As previously stated,
specific construction and operational details will be appropriately addressed during local permitting
processes, subject to applicable approval criteria and related standards.
Therefore, in the context of a plan amendment, the preliminary no-rise data, the landslide
information, and findings above, the proposed plan amendments are consistent with Statewide
Planning Goal 7.
Goal 8 - Recreational Needs: To satisfy the recreational needs of the citizens of the state and
visitors and, where appropriate, to provide for the siting of necessary recreational facilities
including destination resorts.
Goal 8 ensures the provision of recreational facilities to Oregon citizens and is primarily concerned
with the provision of those facilities in non-urban areas of the state. East Alton Baker Park is
located to the east and west of 1-5 right-of-way, which includes recreation, bicycle and pedestrian
paths and the canoe canal (utilized by kayakers). The portion of the park that is west of 1-5 in
Eugene is now called the Whilamut Natural Area and the portion of the park east ofl-5 in
Springfield is called the Eastgate Woodlands of the Whilamut Natural Area (abbreviated here as
Eastgate Woodlands) and these areas will be referred to as such for the remainder of these findings
unless otherwise indicated. The demolition and construction of the bridges will take place within the
1-5 right-of-way, which is not part of the park; therefore the replacement bridges will not remove or
increase recreational opportunities at the park. However, removal of the detour bridge will include
Exhibit A - Findings
Page 18
removal of fill material from and rehabilitation of a portion of Eastgate Woodlands. The temporary
easement obtained by ODOT to do this work requires rehabilitation of the area within 5 years of
completion of the permanent bridges. This easement will ensure that recreational use of this area
will return to pre-proj ect conditions.
Additionally, during construction the park will be temporarily affected. Through the other local
permitting processes (Willamette Greenway permit, Water Resources Conservation Overlay review,
Willamette Greenway setback, etcetera) construction impacts will be required to be minimized
through conditions of approval that would preserve bicycle, pedestrian and boater safety, and to
maintain consistency with operational provisions in the East Alton Baker Park Plan (which includes
the Whilamut Natural Area and Eastgate Woodlands). Public access to the Willamette River will
continue to be provided through ODOT's right-of-way under the bridges therefore public access to
the river will not be affected (written statement page 49, Metro Plan Policy D.9). Although the
bicycle/pedestrian pathways may be impacted during construction, the application will provide a
continuous route across ODOT right-of-way for the bicycle/pedestrian pathways that will be
maintained on both the north and the south sides of the river during construction (written statement,
page 61, Willakenzie Area Plan, Neighborhood Design Element- Willamette Greenway, Use
Management Standard 2). Additionally, specific construction and operational details regarding
public access and recreational impacts will be appropriately addressed during local permitting
processes, subject to applicable approval criteria and related standards.
Comments were received stating that (to summarize) the bridge provides a crossing of Franklin
Boulevard and the railroad and that this provides an opportunity for those crossing to be made
available to pedestrians and bicyclists. Additionally, the comments note that since the replacement
is not accommodating such a crossing, the applicant has insufficient analysis regarding the
provision of adequate access to Alton Baker Park. As discussed in more detail under the Metro Plan
Transportation Element, Policy F .14 below which is incorporated herein by reference, the applicant
proposes a continuous route across ODOT right-of-way for the bicycle/pedestrian pathways to be
maintained on both the north and the south sides of the river during construction. This mitigates for
the temporary impacts to the existing bicycle/pedestrian pathways and ensures that connections
between existing paths and to near-by Knickerbocker Bridge are maintained. In the context of the
proposed plan amendments, this adequately addresses access for bicyclists and pedestrians as these
are the existing bicycle and pedestrian facilities affected by the proposed amendments.
Based on the findings above, in the context of a plan amendment, the proposal will not impact the
provision of public recreational facilities, nor will they affect access to existing or future public
recreational facilities. The amendments are therefore consistent with Statewide Planning Goal 8.
Goal 9 - Economic Development: To provide adequate opportunities throughout the state for a
variety of economic activities vital to the health, welfare, and prosperity of Oregon's citizens.
The Administrative Rule for Statewide Planning Goal 9 (OAR 660 Division 9) requires that the City
"[p ]rovide for at least an adequate supply of sites of suitable sizes, types, location, and service
levels for a variety of industrial and commercial uses consistent with plan policies[.]" Among other
things, the rule requires that cities complete an "Economic Opportunities Analysis." OAR 660-009-
0015. Based on the Economic Opportunities Analysis, cities are to prepare Industrial and
Exhibit A - Findings
Page 19
Commercial Development Policies. OAR 660-009-0020. Finally OAR 660-009-0025 requires that
cities designate industrial and commercial lands sufficient to meet short and long term needs. OAR
660-009-0010(2) provides that the detailed planning requirements imposed by OAR 660 Division 9
apply "at the time of each periodic review of the plan (ORS 197.712(3))." In addition, OAR 660-
009-0010(4) provides that, when a city changes its plan designations of lands in excess of two acres
to or from commercial or industrial use, pursuant to a post acknowledgment plan amendment, it
must address all applicable planning requirements and (a) demonstrate that the proposed
amendment is consistent with the parts of its acknowledged comprehensive plan which address the
requirements of OAR 660 Division 9; or (b) amend its comprehensive plan to explain the proposed
amendment pursuant to OAR 660 Division 9; or (c) adopt a combination of (a) and (b) consistent
with the requirements of Division 9.
In the context of OAR 660-009-0010(4), the Eugene Commercial Lands Study (ECLS) is
acknowledged for compliance with the requirements of Goal 9 and its Administrative Rule. The
ECLS constitutes the City's obligation under OAR 660 Division 9. However, since the 1-5
Willamette Bridge Proj ect is occurring in approximately the same location of the existing bridges,
within existing right-of-way, existing right-of-way easements, or temporary staging areas (within
existing right-of-way or park property), OAR 660-009-0010(4) does not apply because the proposed
amendment will not remove any land from the commercial land supply. Therefore, the amendments
are consistent with Statewide Planning Goal 9.
Goal 10 - Housing: To provide for the housing needs of the citizens of the state.
Goal 10 requires that communities plan for and maintain an inventory of buildable residential land
for needed housing units. The Administrative Rule for Statewide Planning Goal 10 (OAR 660
Division 8) states that "the mix and density of needed housing is determined in the housing needs
projection. Sufficient buildable land shall be designated on the comprehensive plan nlap to satisfy
housing needs by type and density range as determined in the housing needs projection. The local
buildable lands inventory must document the amount of buildable land in each residential plan
designation." The comprehensive plan map for the City is the Metro Plan land use diagram. The
1999 Eugene-Springfield Metropolitan Area Residential Lands and Housing Study (RLS) is
acknowledged for compliance with the requirements of Goal 10 and its Administrative Rule.
As previously stated, the proposed plan amendment will accommodate a bridge replacement project
that will occur in approximately the same location as the existing bridges, within existing right-of-
way, existing right-of-way easements, or temporary staging areas (that are within right-of-way or
park property). Therefore, the inventory of residential land will not be impacted and thus Statewide
Planning Goal 10 is not applicable.
Goal 11 - Public Facilities and Services: To plan and develop a timely, orderly and efficient
arrangement of public facilities and services to serve as a framework for urban and rural
development.
The area affected by the amendments, the bridge right-of-way, is located entirely within the City
limits of both the City of Eugene and the City of Springfield. The proposed amendments would
allow demolition and replacement of the temporary 1-5 bridge and reconstruction of the roadway
Exhibit A - Findings
Page 20
approaches to the bridges, which are all public facilities that are acknowledged in the Oregon
Highway Plan and the local regional transportation plan (TransPlan) as necessary public facilities
and services. Replacement of the temporary bridge with permanent bridges that meets current
seismic standards ensures that this public facility continues to safely serve the area. The provision
of these amendments does not significantly affect the planning or development of future public
facilities or services. Therefore, the amendments are consistent with Statewide Planning Goal 11.
Goal 12 - Transportation: To provide and encourage a safe, convenient and economic
transportation system.
Goal 12 is implemented through the Transportation Planning Rule (TPR), as defined in Oregon
Administrative Rule OAR 660-012-0000, et seq. The Eugene-Springfield Metropolitan Area
Transportation Plan (TransPlan) provides the regional policy framework through which the TPR is
implemented at the local level. The TPR (OAR 660-012-0060) states that when land use changes,
including amendments to acknowledged comprehensive plans, significantly affect an existing or
planned transportation facility the local government shall put in place measures to assure that the
allowed land uses are consistent with the identified function, capacity and performance standards
(level of service, volume to capacity ratio, etc.) of the facility. TransPlan, which implements Goal
12, identifies 1-5 (including the 1-5 bridge) as an existing transportation facility.
Determination of Significant Effect
The TPR requires a determination of which existing and planned transportation facilities will
experience a significant effect as a result of the proposed plan amendment, and defines what
constitutes a significant effect.
OAR 660-012-0060(1) Plan and Land Use Regulation Amendments
As stated in the following findings, the plan amendments propose no significant effect on any
planned or existing facilities under OAR 660-012-0060(1)(a), (b) or (c). OAR 660-012-0060(1)
Plan and Land Use Regulation Amendments states the following:
(1) Where an amendment to a functional plan, an acknowledged comprehensive plan, or a
land use regulation would significantly affect an existing or planned transportation facility,
the local government shall put in place measures as provided in section (2) of this rule to
assure that allowed land uses are consistent with the identified function, capacity, and
performance standards (e.g. level of service, volume to capacity ratio, etc.) of the facility. A
plan or land use regulation amendment significantly affects a transportation facility if it
would:
(a) Change the functional classification of an existing or planned transportation facility
(exclusive of correction of map errors in an adopted plan);
(b) Change standards implementing a functional classification system; or
The proposed amendment will not change the functional classification of an existing or planned
transportation facility or change the standards implementing a functional classification system.
Exhibit A - Findings
Page 21
(c) As measured at the end of the planning period identified in the adopted transportation
system plan:
(A) Allow land uses or levels of development that would result in types or levels of
travel or access that are inconsistent with the functional classification of an existing
or planned transportation facility;
(B) Reduce the performance of an existing or planned transportation facility below
the minimum acceptable performance standard identified in the TSP or
comprehensive plan; or
(C) Worsen the performance of an existing or planned transportationfacility that
is otherwise projected to perform below the minimum acceptable performance
standard identified in the TSP or comprehensive plan.
The proposed amendment will allow for the construction of bridges to replace existing bridge
facilities that have been decommissioned as being structurally unsafe. The replacement bridges will
be constructed in approximately the same location as the decommissioned bridge. Since 2004
(when the primary bridges were decommissioned as unsafe), a (temporary) detour bridge has
provided 1-5 traffic access over the Willamette River. Once the proposed bridges are constructed,
existing traffic volumes currently using the detour bridge will be shifted from the detour bridge to
the new bridges. Construction of the proposed bridges will simply reroute traffic from the current
detour bridge to the (permanent) replacement bridges allowed by the proposed amendment.
While the replacement bridges will be designed and constructed to accommodate six lanes of travel,
because 1-5 is only four lanes, the bridges will be striped for four lanes. Until 1-5 is \videned to six
lanes, the bridges will remain striped for four lanes. Designing and constructing the bridges to
allow for six lanes of travel is intended to accommodate future traffic needs traveling along 1-5; the
additional 1-5 traffic will be generated by future development throughout the State of Oregon and,
because 1-5 is a major interstate, throughout the United States. The construction of the replacement
bridges, whether striped for four lane or six lanes, does not generate any additional vehicular trips, it
simply provides passage over the Willamette River. When the bridges are eventually striped for six
lanes (to be made consistent with 1-5), the additional bridge capacity will increase the performance
and function of 1-5, not worsen it.
Accordingly, the proposed amendment will not allow land uses or levels of developnlent that will
result in types or levels of travel or access that are inconsistent with the functional classification of
an existing or planned transportation facility under OAR 660-012-0060(l)(c)(A).
Further, the proposed amendments will not reduce the performance of an existing or planned
transportation facility below the minimum acceptable performance standard identified in the TSP or
comprehensive plan under (1)( c )(B), or worsen the performance of an existing or planned
transportation facility that is otherwise projected to perform below the minimum acceptable
performance standard identified in the TSP or comprehensive plan under (1)( c )(C).
Exhibit A - Findings
Page 22
For the reasons discussed above, the proposed amendment will not significantly affect an existing or
planned transportation facility.
OAR 660-012-0015 Preparation and Coordination of Transportation System Plans
OAR 660-012-0015(1) directs ODOT to prepare and adopt a state transportation system plan that
identifies a system of transportation facilities and services adequate to meet identified state
transportation needs. The Oregon Transportation Commission has done that through adoption of the
Oregon Transportation Plan (OTP) and modal plans, including the Oregon Highway Plan. The OTP
includes policies to increase the efficient movement of people and goods for commerce and
production of goods and services that is coordinated with regional and local plans. It emphasizes
managing the existing transportation system effectively and improving that system before adding
new facilities.
The OTP also promotes a safe, efficient, and reliable freight system to support economic vitality.
The OHP identifies 1-5 as an interstate highway within the state's roadway network. That highway
necessarily includes a bridge over the Willamette River in Eugene/Springfield. OAR 660-012-
0015(2) and (3) require that regional and local TSPs be consistent with the state TSP. Transplan
currently recognizes the importance of 1-5 to the region. Because the replacement bridges are
necessary to maintaining 1-5, by approving the proposed plan amendments, all plans will remain
consistent and the requirements of Goal 12 will be satisfied.
Based on the above findings, the proposal is consistent with Statewide Planning Goal 12.
Goal 13 - Energy Conservation: To conserve energy.
Statewide Planning Goal 13 calls for land uses to be managed and controlled "so as to maximize the
conservation of all forms of energy, based upon sound economic principles." Goal 13 is directed at
the development of local energy policies and implementing provisions and does not state
requirements with respect to other types of land use decisions. It is not clear that the goal has any
bearing on a site-specific decision such as the one at issue. There is no implementing rule that
clarifies the requirements of Goal 13. To the extent that Goal 13 could be applied to the proposed
plan amendments, the proposal is consistent with Goal 13; the 1-5 Willamette Bridge project is
located in the same location as the existing and previous bridges and will continue to make efficient
use of energy with safe, direct and efficient access though the area.
Comments were received that, in summary, the applicant fails to consider the conservation of
energy by any means other than that of maximizing the efficiency of car and truck traffic.
Specifically, failure to consider any provision for incorporating bicycle traffic into the crossing does
not maximize the conservation of all forms of energy, particularly petroleum energy. However,
given that Goal 13 is directed at developing local energy conservation policies, it is determined- that
Goal 13 is not a means to require a specific proj ect to add a bicycle and pedestrian component.
Based on the findings above, the proposal is consistent with Statewide Planning Goal 13.
Goal 14 - Urbanization: To provide/or an orderly and efficient transitionfrom rural to urban land
Exhibit A - Findings
Page 23
use.
The amendments do not affect the transition from rural to urban land use, as the project area is
centrally located to the Metro Plan and is entirely within the Eugene-Springfield UGB. Therefore,
Statewide Planning Goal 14 does not apply.
Goal 15 - Willamette River Greenway: To protect, conserve, enhance and maintain the natural,
scenic, historical, agricultural, economic and recreational qualities of lands along the Willamette
River as the Willamette River Greenway.
Portions of the project area are within the boundaries of the Willamette River Greenway. As found
under Goal 2 above, which is incorporated herein by reference, a goal 15 exception is required by
Policy D .11 of the Metro Plan and the applicant meets the requirements for an exception to Goal 15.
Based on these findings, the proposal complies with Statewide Planning Goal 15 as excepted.
Goal 16 through 19 - Estuarine Resources. Coastal Shore lands. Beaches and Dunes. and Ocean
Resources:
There are no coastal, ocean, estuarine, or beach and dune resources related to the property affected
by these amendments. Therefore, these goals are not relevant and the amendments will not affect
compliance with Statewide Planning Goals 16 through 19.
(b) Adoption of the amendment must not make the Metro Plan internally inconsistent.
The applicant proposes to amend the Metro Plan text of Policy D.ll to allow the placement of fill
within the Willamette River greenway for the construction of the 1-5 Willamette Bridge Project. As
found below, this text amendment will not create an internal conflict with the remainder of the
Metro Plan. The applicant provided detailed findings intending to show how the Metro Plan text
amendment is consistent with the policy direction contained in the Metro Plan. To the extent that
they may be applicable, the applicant's findings are also incorporated herein by reference.
The following Metro Plan polices are applicable to this request:
B. Economic Element
B.18 Encourage the development of transportation facilities which would improve access to
industrial and commercial areas and improve freight movement capabilities by
implementing the policies and projects in the Eugene-Springfield Metropolitan Area
Transportation Plan (TransPlan) and the Eugene Airport Master Plan.
While the expressed'language of this policy may not be mandatory, the applicant's findings are
provided as further support for the proposed amendments. Replacing the decommissioned 1-5
Willamette River bridge with two new bridges, and associated improvements, will maintain the
access, mobility, and freight movement capabilities that the decommissioned bridge and temporary
detour bridge have provided. By ensuring mobility is maintained along the interstate highway
system through Eugene and Springfield, the replacement bridges will help provide convenient
Exhibit A - Findings
Page 24
access to industrial and commercial areas on connecting roads consistent with this policy.
C. Environmental Resources Element
C.8 Local governments shall develop plans and programs which carefully manage development
on hillsides and in water bodies, and restrict development in wetlands in order to prevent
erosion and protect the scenic quality, surface water and groundwater quality, forest values,
vegetation, and wildlife values of those areas.
C.9 Each city shall complete a separate study to meet its requirements under the Goal 5 Rule for
wetlands, riparian corridors, and wildlife habitat within the UGB. Lane County and the
respective city jointly will adopt the inventory and protection measures for the area outside
the city limits and inside the UGB.
C.lO Local governments shall encourage further study (by specialists) of endangered and
threatened plant and wildlife species in the metropolitan area.
C.ll Local governments shall protect endangered and threatened plant and wildlife species, as
recognized on a legally adopted statewide list, after notice and opportunity for public input.
These policies are directed to the local governments of Eugene, Springfield and Lane County and
not necessarily the applicant. However, they are applicable to the extent that the cities of Eugene
and Springfield and Lane County have adopted regulations to protect these resources, and that the
applicant will be required to apply for applicable permits pursuant to those local requirements
(Eugene's Willamette Greenway permit and Water Resources Conservation Overlay Zone, and
Springfield's 75-riparian setback review).
C.23 Design and construction of new noise-sensitive development in the vicinity of existing
and future streets and highways with potential to exceed general highway noise levels
shall include consideration of mitigating measures, such as acoustical building
modifications, noise barriers, and acoustical site planning. The application of these
mitigating measures must be balanced with other design considerations and housing
costs.
Comments were also received regarding the noise abatement walls and limiting noise from the
project. Since the project is not a "new noise-sensitive development in the vicinity of existing and
futures streets and highways..." but is rather the reverse, a highway in the vicinity of existing
residential development, this policy is not applicable. Furthermore, the highway is replacing an
existing highway in approximately the same location. In the event that this policy is found
applicable, the applicant's findings are incorporated to demonstrate consistency. As previously
discussed under Goal 6 above, a project noise technical report was prepared as part of the
Environmental Assessment (as required by NEP A) to analyze potential noise impacts resulting from
the project. Per the ODOT Noise Manual (June 1996) analysis procedures, noise mitigation
measures were evaluated to reduce noise levels to nearby residences as a result of the project. Noise
walls were determined to meet the ODOT effectiveness and cost-effectiveness criteria in two
locations and are recommended as mitigation (see supplemental information, Figures 7-9). The final
Exhibit A - Findings
Page 25
wall locations will be determined after public input is completed as part of the NEP A process.
Additionally, as stated on page 13 of the written statement, the applicant proposes the following
general measures:
. Continue public involvement through design and construction
. limit work hours
. limit noise
Based on these findings, this policy is satisfied.
C.26 Local Governments shall continue to monitor, to plan for, and to enforce applicable air and
water quality standards and shall cooperate in meeting applicable federal, state and local
air and water quality standards.
As previously stated under Goal 6, which is incorporated herein by reference, it is not anticipated
that the replacement bridges will have a permanent adverse impact on air quality as the bridges are
replacing an existing bridge. The applicant is proposing several measures including site preparation,
site construction, coordination and post development measures discussed under Metro Plan Policy
E.2, which is incorporated herein by reference, to reduce and mitigate impacts to water quality,
consistent with this policy. In addition, water quality impacts will be further reviewed for
compliance with local standards under the local permitting process for Willamette Greenway
permit, Water Resources Conservation Overlay Zone and the 75-foot riparian setback and under the
NEP A Environmental Assessment, subject to applicable requirements.
C.30 Except as otherwise allowed according to Federal Emergency Management Agency (FEMA)
regulations, development shall be prohibited in floodways if it could result in an increased
flood level. The flo0 dway is the channel of a river or other water course and JII-C-16 the
adjacent land area that must be reserved to discharge a one-percent-chance flood in any
given year.
C.31 When development is allowed to occur in the floodway or floodway fringe, local regulations
shall control such development in order to minimize the potential danger to l(fe and
property. Within the UGB, development should result in in-filling ofpartially developed
land. Outside the UGB, areas affected by the floodway and floodway fringe shall be
protected for their agricultural and sand and gravel resource values, their open space and
recreational potential, and their value to water resources.
C.32 Local governments shall require site-specific soil surveys and geologic studies where
potential problems exist. When problems are identified, local governments shall require
special design considerations and construction measures be taken to offset the soil and
geologic constraints present, to protect life and property, public investments, and
environmentally-sensitive areas.
Regarding Policy C.30 and C.31, as discussed under Statewide Planning Goal 7, Natural Hazards,
which is incorporated herein by reference, the 1-5 Willamette Bridge Project is partially located
within a FEMA designated regulatory floodway and floodplain. Therefore, the design of the
replacement bridge must satisfy the regulations set forth in the National Flood Insurance Program
Exhibit A - Findings
Page 26
(NFIP). The NFIP requires that any modifications that cause a rise in the Base Flood Elevations
(BFEs, which corresponds to water surface elevations associated with the 100-year flood event)
must be approved by FEMA. The no-rise condition is also a requirement of ODOT for any bridge
replacement project.
Consistent with C.31, both Eugene and Springfield have adopted ordinances regulating construction
within floodplains and floodways; City of Eugene FEMA "no-rise" certification for any
construction or structures within floodways/special flood hazard areas; and City of Springfield Type
I permit to allow any construction in the floodplains or floodways within Springfield. Comments
from the Eugene Floodplain Manager note that a FEMA no-rise certificate would only be required
through the City of Eugene for construction (fill) or structures within the floodway or floodplain
that are outside of the right-of-way. The proposal includes temporary staging areas outside of the
ODOT right-of-way; portions of the Whilamut Natural Area and Eastgate Woodlands, and ODOT
and Lane County property both located southeast of 1-5 and the Willamette River. For these areas,
prior to any fill or other development within the regulatory floodway, ODOT will be required to
obtain a "no-rise" certification stating that the development will not impact the pre-project (before
the temporary bridge) base flood elevation elevations, floodway elevations and floodway data
widths. This certification must be signed by a professional engineer and supported by technical data
consistent with current FEMA standards.
Based on the preliminary modeling, the proposed pier location options would result in the
following; Option A would result in an increase of 0.02 feet over existing conditions for the 100-
year flood event and, Option B would result in a decrease of 0.54 feet for the 100- year flood event.
Option B, including a decrease in base flood elevation, is consistent with the no-rise and Policies
C.30 and C.31. Option A's preliminary analysis shows an increase of 0.02 base flood elevation,
which does not meet the no-rise requirement. However, a detailed no-rise analysis has not been
submitted and the modeling will be run again to meet the no-rise requirement when the design is
refined for the permitting process. Furthermore, ODOT requires its bridges to meet the no-rise
requirement. Therefore, in the context of a plan amendment, these policies are met. Specific
construction and operational details will be appropriately addressed during local and state
permitting processes, subject to applicable approval criteria and related standards.
Regarding Policy C.32, as noted under Goal 7, portions of the project area proposed for temporary
staging areas are identified as moderate hazard risk areas on the map identifying Relative Slope
Instability Hazards in Eugene. However, while this information may guide the City in adopting
code revisions, it does not apply directly to land use applications as it is not adopted as refinement
plan or as codified land use criteria. Additionally, based on the earthquake hazard, geotechnical
investigations can be completed prior to construction to determine the best method to seat
foundations, piers, and bents to reduce effects related to earthquakes (e.g., lateral spread,
liquefaction). In addition, slopes can be constructed in a manner that reduces the potential for
erosion or small landslides.
Based on the findings above, in the context of a plan amendment, the proposed plan amendments
are consistent with these policies.
D. Willamette River Greenway. River Corridors. and Waterways Element
Exhibit A ~ Findings
Page 27
D.9 Local and state governments shall continue to provide adequate public access to the
Willamette River Greenway.
The applicant proposes that the public access connecting to the Willamette River Greenway will
continue to be provided through ODOT's right-of-way under the 1-5 bridges, therefore public access
to the Willamette River Greenway will not be permanently affected. As noted under Goal 8
Recreational Need above, which is incorporated herein by reference, a continuous route across
ODOT right-of-way for the bicycle/pedestrian pathways will be maintained on both the north and
the south sides of the river during construction (written statement, page 61, Willakenzie Area Plan,
Neighborhood Design Element- Willamette Greenway, Use Management Standard 2). Therefore, in
the context of a plan amendment, this policy is met. Additionally, these specific construction and
operational details will be appropriately addressed during local permitting processes, subject to
applicable approval criteria and related standards.
D.11 The taking of an exception shall be required if a non-water-dependent transportation
facility requires placing of fill within the Willamette River Greenway setback.
An exception to Statewide Planning Goal 15 Willamette River Greenway was approved for
Oregon Department of Transportation (ODOT) 1-5 right of way crossing the Willamette
River and within the Willamette River Greenway Setback Line, for purpose of constructing a
temporary detour bridge, implementing the conditions imposed on the Discretionary Use
Approval (Springfield Journal SHR 2003-00115) and removing the temporary detour bridge
after completion of the permanent replacement bridge. This exception satisfies the criteria of
Oregon Administrative Rule (OAR) 660-004-0022(5) Willamette Greenway; the exception
requirements of OAR 660-004-0020 Goal 2, Part II(c) for a 'reasons' exception; and
pursuant to OAR 660-004-0015, is hereby adopted as an amendment to the Metro Plan text,
Policy #D.11, Chapter IlL Section D.
As discussed under Goal 2 above, in accordance with Policy D.ll, the applicant is requesting an
exception to Goal 15 for reasons outlined under OAR 660-004-0022. An exception is warranted per
the standards set forth in OAR 660-004-0020. Therefore, the above Metro Plan text for Policy D.ll
must be amended to acknowledge this Goal 15 exception. Accordingly, the following text
amendment is proposed, with old text struck out and new text in bold:
i\n exception to Statev/ide Planning Goal 15 '}lillamette Ri"/er Greenv.Tay '.vas approved for
Oregon Department of Transportation (ODOT) I 5 right ofv/ay crossing the \Villamette
River and ".vithin the 'Nillamette River Green".vay Setback Line, for purpose of constructing
a temporary detour bridge, implementing the conditions imposed on the Discretionary Use
~\pproval (Springfield J oumal SHR 2003 00115) and remo"ling the temporary detour bridge
after completion of the permanent replacement bridge. This exception satisfies the criteria of
Oregon .Administrative Rule (OAR) 660 001 0022(5) \Villamette Greenvlay; the exception
requirements ofO~\R 660 004 0020 Goal 2, Purt II(c) for a 'reasons' exception; und
pursuant to Of~R 660 001 0015, is hereby adopted as an amendment to the 11etro Plan text,
Policy #D.ll, Chapter III, Section D.
Exhibit A - Findings
Page 28
An exception to Statewide Planning Goal 15 Willamette River Greenway was approved
for Oregon Department of Transportation (ODOT) for purposes of removing and
replacing the decommissioned 1-5 bridge, the temporary detour bridge and the Canoe
Canal bridge with two new parallel bridges (one southbound and one northbound)
within the 1-5 right-of-way crossing the Willamette River and Canoe Canal and within
the Willamette River Greenway Setback Line. The exception authorizes construction
and later removal of one or more temporary work bridges; demolition of the
decommissioned 1-5 Willamette River Bridge, Canoe Canal Bridge, and detour
bridges; construction of the two replacement bridges; reconstruction of the roadway
approaches to the bridges (1-5 and ramps); rehabilitation of the project area; and
completion of any required mitigation of project impacts. In association with these
tasks, the exception further authorizes within the Willamette River Greenway Setback
Line the addition and removal of fill within ODOT right-of-way and the removal of fill
within a temporary slope easement east of 1-5. This exception satisfies the criteria of
Oregon Administrative Rule (OAR) 660-004-0022(6), Willamette Greenway, and the
exception requirements of OAR 660-004-0020 Goal 2 Part II(c) for a "reasons"
exception, and pursuant to OAR 660-004-0015, is hereby adopted as an amendment to
the Metro Plan text, Policy D.ll, Chapter 111, Section D.
The proposed text amendment replaces the stand-alone paragraph under Policy D.ll regarding the
temporary bridge. The applicant's proposed Metro Plan text amendment to Policy D.ll is adequate
and with this text amendment and Goal 15 exception granted under Goal 2 above, Policy D.ll will
be satisfied.
E. Environmental Design Element
E.2 Natural vegetation, natural water features, and drainage-ways shall be protected and
retained to the maximum extent practical. Landscaping shall be utilized to enhance those
natural features. This policy does not preclude increasing their conveyance capacity in an
environmentally responsible manner.
Bridge construction and demolition, including construction and removal of associated temporary
work platforms, will impact riparian vegetation within the greenway.
Construction is proposed within existing ODOT rights-of-ways and easements, with the exception
of temporary staging areas. As discussed above under Goal 8 Recreational Need, removal of the
detour bridges will include removal of fill material from and rehabilitation of a portion of the
Whilamut Natural Area. ODOT has obtained a temporary easement to do this work which requires
rehabilitation of the area within 5 years of completion of the permanent bridges. Construction best
management practices will be implemented to minimize the effects of construction activities.
Disturbed areas will be restored and ODOT will work with the community throughout the design
and construction process to get input and advice on ways to avoid and minimize environmental
impacts.
According to the applicant, a species list provided by ORNHIC (Oregon Natural Heritage
Information Center) indicates that there are no federal or state-listed Endangered Species Act (ESA)
Exhibit A - Findings
Page 29
terrestrial wildlife species known to reside within the project area. There are no known federal or
state ESA -listed plant species or plant habitats have been identified within the project area. Two
salmonid populations listed under the ESA are documented as occurring within the reach of the
Willamette River that flows through the project area:
· Upper Willamette River spring Chinook (Oncorhynchus tshawytscha) and critical habitat -
federally threatened - FT.
· Columbia River bull trout (Salvelinus confluentus) Distinct Population Segment (DPS) and
critical habitat - FT.
ODOT will coordinate with Oregon Department ofFish and Wildlife through the design process to
identify opportunities to minimize habitat disturbance. To avoid and minimize potential impacts to
fish and wildlife species habitat during and after construction activities, all applicable OTIA III
State Bridge Delivery Program EPS will be implemented to reduce the extent of direct and indirect
impacts to habitat. These include:
. Minimize effects to natural stream and floodplain by keeping the work area to the smallest
footprint needed.
. Prepare and implement a plan to prevent construction debris from dropping into the
Willamette River and to remove materials that may drop with a minimum disturbance to
aquatic habitat.
. Prepare site restoration plans for upland, wetland, and streambank areas to include native
plant species and noxious weed abatement techniques, and use large wood and rock as
components of streambed protection treatments.
. Flag boundaries of clearing limits and sensitive areas to be avoided during construction.
. Coordinate with Willamalane Park and Recreation District and the Eugene Parks and Open
Space Division regarding sensitive areas in the Whilamut Natural Area and Eastgate
Woodlands that should be avoided during construction.
. Restore and revegetate disturbed areas.
ODOT also proposes (written statement, page 13) to avoid, minimize and/or mitigate impacts of this
project, consistent with this policy, by utilizing the following general measures amongst others:
. Continue public involvement through design and construction
. Plan traffic management to keep all travel modes open and safe during construction
. Limit work hours
. Restore/ enhance affected areas
. Limit proj ect noise
Public comment was received expressing support for these measures, especially limiting project
noise and work hours, especially for pile driving activities.
In addition, specific design details will be reviewed and conditioned to minimize environmental
impacts during federal and local permitting processes, subject to applicable approval criteria and
related standards. The applicant proposes that the project will meet the OTIA III Environmental
Performance Standards (EPS) in order to satisfy the requirements of the programmatic
Exhibit A - Findings
Page 30
environmental permits that apply to the statewide bridge program. These performance standards
define the level of effect that a project may have upon the environment, thereby limiting or avoiding
impacts to the environment through the use of proper planning, design, and construction activities.
To avoid fish and wildlife species and minimize temporary impacts from construction activities, all
applicable OTIA III State Bridge Delivery Program EPS will be implemented to reduce the extent
of direct and indirect impacts to fish and wildlife species. Effects to water resources during
construction and operation of the project will be minimized through the implementation of
applicable mitigation measures in the OTIA III State Bridge Delivery Program EPS. It is noted that
with regard to pier locations shown on page 9 of the application, Option B indicates a pier closer to
the Mill Race, while Option A shows a pier closer to the Willamette River, however, no specific
design is being reviewed at this time in the context of a plan amendment. Local permitting
processes include Willamette Greenway permit and Water Resources Conservation Overlay for
Eugene, and a 75- foot riparian setback review for Springfield. Natural vegetation, natural water
features, and drainage-ways shall be protected and retained to the maximum extent practical,
consistent with these permitting processes.
This adequately addresses protection of natural vegetation, natural water features, and drainage-
ways in the context of the proposed plan amendments. Additionally, these specific construction and
operational details will be appropriately addressed during local permitting processes, subject to
applicable approval criteria and related standards.
E.4 Public and private facilities shall be designed and located in a manner that preserves and
enhances desirable features of local and neighborhood areas and promotes their sense of
identity.
The replacement bridges will be located within the same ODOT right-of-way where the
decommissioned bridge is located, an area already utilized by transportation infrastructure. The
proposal also includes a reduction in the total number of piers, a reduction in the number of piers in
the Willamette River, and review of bridge design options (based on aesthetic and budgetary
considerations) through a separate public process; all of which should contribute to a positive visual
impact, consistent with this policy.
Additionally, impacted riparian areas and other lands within the greenway setback will be protected
during the later permitting process through the imposition of approval conditions as necessary to
comply with applicable approval criteria and related standards. Specifics of the bridge design can be
considered during the plan amendment process or, for Springfield, through the Discretionary Use
Approval process as provided in SDC 3.3-325 25.050 and 5.9-120. Conceptual designs are being
addressed as part of the federal draft environmental process that precedes local land use decision-
making. Additionally, as noted above in the discussion of Statewide Planning Goal 1, the public is
involved in this process. Among other things, ODOT established a Community Advisory Group
(CAG) composed of representatives of local neighborhood associations, parks departments (City of
Eugene and Willamalane Park and Recreation District), the Citizen Planning Committee for the
Whilamut Natural Area, chambers of commerce, and the University of Oregon that has been
involved in the development of the project and will continue to be involved during selection of the
bridge type, its design, and construction.
Exhibit A - Findings
Page 31
Comments were received regarding concerns with traffic during the construction period along
Martin Luther King Blvd, in the Alton Baker Park/Autzen Stadium area, and North Walnut Path
where there will be large construction vehicles entering and exiting for several years. As noted
above, the applicant has proposed limiting work hours and project noise as well as sound walls.
Conceptually, this is consistent with this policy. Furthermore, these concerns are more appropriately
addressed during the local permitting processes where a construction management plan and detailed
site plan will be reviewed in detail for minimizing these types of impacts.
F. Transportation Element
As previously mentioned, comments were received stating that the applicant's responses to Goals 1
and 2 of the Metro Plan, Transportation Element, do not demonstrate that these goals have been
met. To summarize, Goals 1 and 2 support a transportation system that supports choices in modes of
travel that will reduce reliance on the automobile and that enhances quality of life and economic
opportunity by being balanced, accessible, efficient, safe, interconnected, environmentally
responsible, etcetera (see Metro Plan pages III-F-l and 2). According to the Metro Plan (page 1-4), a
goal is "a broad statement of philosophy that describes the hopes of the people of the community for
the future of the community. A goal may never be completely attainable, but is used as a point to
strive for." A goal is not something for which an application is measured against. Whereas a policy,
which is a "statement adopted as part of the Metro Plan to provide a consistent course of action,
moving the community toward attainment of its goal," can be used for determining consistency with
the Metro Plan. As such, compliance with the goals, as measured through application of the
policies, is determined as follows:
F. 10 Protect and manage existing and future transportation infrastructure.
Consistent with this policy, the 1-5 Willamette Bridge Project replaces a structurally deficient bridge
with two new permanent bridges built to current seismic standards using construction methods
meeting environmental requirements for permanent (rather than temporary) structures, and
associated improvements, to accommodate anticipated traffic volumes and weight loads. This
project reflects an effort to manage and protect 1-5, which is an essential part of the region's and
state's existing transportation infrastructure, consistent with this policy.
Furthermore, in response to the same policy in TransPlan (TSI System-Wide Policy 1), that this
policy calls for the protection and management of existing transportation facilities in a way that
sustains their long-term capacity and function. 1-5 is an existing transportation facility whose
function is that of an interstate highway providing connections to major cities, regions of the state
and other states. As an interstate highway, 1-5 also serves as a major freight route. TransPlan
recognizes 1-5 as a single facility that includes a connection over the Willamette River. Failure to
replace the decommissioned 1-5 bridge and temporary detour bridge with new permanent bridges
capable of sustaining I-5's long-term capacity and functions would be inconsistent \vith TransPlan
and this policy.
F.14 Address the mobility and safety needs of motorists, transit users, bicyclists, pedestrians and
the needs of emergency vehicles when planning and constructing roadway system
improvements.
Exhibit A - Findings
Page 32
As described in TransPlan, the intent of this policy is to support the design and construction of
systems and facilities that accommodate multiple modes. However, it also supports consideration of
the needs of emergency vehicles in the design and construction of system improvements. 1-5 across
the Willamette River is an existing transportation facility identified in Transplan and the OHP.
Because the original 1-5 bridge is structurally deficient and had to be decommissioned, new
permanent bridges are needed to address the safety and mobility needs of motorists and facilitate
efficient movement of emergency vehicles between the north and south sections of Eugene and
Springfield. The new permanent replacement bridges will be designed to meet applicable state and
federal safety and mobility standards. The temporary detour bridge cannot accommodate the safety
needs of motorists because it does not meet current seismic standards and the construction methods
used to build it only met environmental requirements as they applied to temporary, not permanent,
structures.
Comments were received stating that (to summarize) the bridge provides a crossing of Franklin
Boulevard and the railroad and provides an opportunity for those crossing to be made available to
pedestrians and bicyclists, and since the replacement is not accommodating such a crossing, the
applicant has insufficient analysis addressing the mobility and safety needs of bicyclists and
pedestrians. As previously discussed under Goal 8, Recreation which is incorporated herein by
reference, the applicant proposes a continuous route across ODOT right-of-way for the
bicycle/pedestrian pathways to be maintained on both the north and the south sides of the river
during construction. In the context of the proposed plan amendments, this adequately addresses
mobility and safety for bicyclists and pedestrians as these are the existing bicycle and pedestrian
facilities affected by the proposed amendments.
Existing bicycle/pedestrian connections between the Laurel Hill Valley area and Alton Baker Park
(and other areas north of the Willamette River) exist via Riverview, then westerly along the
widened sidewalk on the south side of Franklin Boulevard to Walnut Street (where there is a
signalized crossing of Franklin/ORE99/BusinessOREI26), northeasterly to an underpass beneath
the railroad, then east to the Knickerbocker Bridge which connects to the southbank path and Day
Island area that have connections to the canoe canal bridge and bike path north along the west side
of 1-5 to Martin Luther King Jr. Boulevard. The applicant proposes to maintain a continuous
bicycle/pedestrian pathway along the south (and north) side of the river through construction.
Additionally, TransPlan has identified some improvements (unfunded projects) to the local system
between the W alnut/Garden Avenue path connections to the Knickerbocker Bridge and path
connections within Alton Baker Park. Furthermore, while the policies do not require a new
pedestrian and bicycle connection in conjunction with this plan amendment, the applicant is not
prohibited from incorporating a new pedestrian/bicycle element into their facility.
Additionally, the findings under Statewide Planning Goal 12 regarding transportation are
incorporated herein by reference as demonstration of consistency with this policy. Based on these
findings, this policy is met.
F.15 Motor vehicle level of service policy:
a. Use motor vehicle level of service standards to maintain acceptable and reliable
performance on the roadway system. These standards shall be usedfor:
Exhibit A - Findings
Page 33
(1) IdentifYing capacity deficiencies on the roadway system.
(2) Evaluating the impacts on roadways of amendments to transportation
plans, acknowledged comprehensive plans and land-use regulations,
pursuant to the TPR (OAR 660-012-0060).
(3) Evaluating development applications for consistency with the land-use
regulations of the applicable local government jurisdiction.
b. Acceptable and reliable performance is defined by the following levels of service
under peak hour traffic conditions: LOS E within Eugene's Central Area
Transportation Study (CATS) area, and LOS D elsewhere.
c. Performance standards from the OHP shall be applied on state facilities in the
Eugene-Springfield metropolitan area.
In some cases, the level of service on a facility may be substandard. The local government
jurisdiction may find that transportation system improvements to bring performance up to
standard within the planning horizon may not be feasible, and safety will not be
compromised, and broader community goals would be better served by allowing a
substandard level of service. The limitation on the feasibility of a transportation system
improvement may arise from severe constraints, including but not limited to environmental
conditions, lack of public agency financial resources, or land use constraint factors. It is not
the intent ofTSI Roadway Policy #2: Motor Vehicle Level of Service to require deferral of
development in such cases. The intent is to defer motor vehicle capacity increasing
transportation system improvements until existing constraints can be overcome or develop
an alternative mix of strategies (such as: land use measures, TDM, short-term safety
improvements) to address the problem.
The 1-5 Willamette River replacement bridges will be striped to provide two travel lanes in each
direction, consistent with current striping patterns. As noted under Goal 12 above, incorporated by
reference, the construction of the replacement bridges, whether striped for four lane or six lanes,
does not generate any additional vehicular trips, it simply provides passage over the Willamette
River and greenway. When the bridges are eventually striped for six lanes (to be made consistent
with 1-5), the additional bridge capacity will increase the performance and function of 1-5, not
worsen it. Additionally, it is noted that TransPlan projects 150 and 260 provide for the future
widening of 1-5 from four to six travel lanes north and south of the Willamette River.
(Because the 1-5 Willamette River Bridge and roadway is already recognized in TransPlan, there is
no need to amend the plan. The required exceptions are not taken to meet requirements of Statewide
Planning Goal 12 or the Transportation Planning Rule (TPR), but to comply with Willamette River
Greenway requirements in Goal 15 and the Metro Plan. These findings address the consistency of
the needed plan amendments with applicable Metro Plan requirements and land use regulations.
Other applicable land use regulations will be addressed during the local permitting processes.)
F. 16 Promote or develop a regional roadway system that meets the combined needs for travel
through, within and outside the region.
Although this policy language is not mandatory, the applicant's findings are incorporated herein as
further demonstration of compliance with the Transportation Element: 1-5 is a state facility that
Exhibit A - Findings
Page 34
serves both statewide and regional transportation needs as defined in the TPR, i.e., needs for
movement of people and goods (1) between and through regions of the state and between states
(state need), and (2) between and through communities and accessibility to regional destinations
within a metropolitan area (regional need). As such, it is an integral element of the Eugene-
Springfield metropolitan area's regional roadway system. Indeed, it is likely the principal arterial
serving the combined needs for travel through, within, and outside the region. Replacing a
structurally deficient bridge with two new bridges and associated improvements pronlotes the
maintenance and continuation of the regional roadway system serving the combined needs for travel
through, within, and outside the region, consistent with this policy.
F.29 Support reasonable and reliable travel times for freight/goods movement in the Eugene-
Springfield region.
Although this policy language is not mandatory, the applicant's findings are incorporated herein as
further demonstration of compliance with the Transportation Element: consistent with this policy,
connecting 1-5 north and south of the Willamette River via new, structurally safe bridge crossings is
essential to ensuring that reasonable and reliable travel times for moving freight and goods in the
region are maintained. Without the connection, tens of thousands of vehicles daily would be
required to seek alternative means for crossing the river, clogging capacity and causing congestion
and delay throughout Eugene and Springfield. Existing roadways lack sufficient capacity to
accommodate the existing 49,000 daily vehicle trips or the 73,000 daily vehicle trips anticipated on
the 1-5 Willamette River Bridge by 2030.
F.34 Operate and maintain transportation facilities in a way that reduces the needfor more
expensive future repair.
Permanent replacement for the decommissioned bridge is necessary to improve safety and ensure
mobility of all users of 1-5 in the Eugene/Springfield area. Replacing the unsafe decommissioned
bridge and substandard detour bridge with permanent bridges and associated improvements that
meets current safety and design standards and that handles increasing traffic volumes will result in
the continued operation of 1-5 and will eliminate the potential for a more costly, expedited future
repair to ensure continued mobility, consistent with this policy.
G. Public Facilities and Services Element
G.18 The cities and Lane County shall adopt a strategy for the unincorporated area of the UGB
to: reduce the negative effects of filling in floodplains and prevent the filling of natural
drainage channels except as necessary to ensure public operations and maintenance of
these channels in a manner that preserves and/or enhances floodwater conveyance capacity
and biological function.
G.19 Maintain flood storage capacity within the floodplain, to the maximum extent practical,
through measures that may include reducing impervious surface in the floodplain and
adjacent areas.
As discussed under Goal 7 Natural Hazards and Metro Plan Policies C.30 and C.31, which are
Exhibit A - Findings
Page 35
incorporated herein by reference, in the context of the plan amendments the proposal is consistent
with these policies. Specifically, the applicant's preliminary no-rise analysis indicates Option B
would decrease the base flood elevation and Option A would increase the base flood elevation by
0.02 feet, which does not meet the no-rise requirement. However, the applicant has not submitted a
detailed analysis and the modeling will be run again when the design is refined for the permitting
process to meet the no-rise requirement. ODOT also requires its bridges to meet the no-rise
requirement. Therefore, in the context of a plan amendment, these policies are satisfied.
Additionally, the specific details of the development will be appropriately addressed during local
and state requirements, subject to applicable approval criteria and related standards.
Additionally, both the cities of Springfield and Eugene have adopted ordinances to regulate the
construction within floodplains and floodways outside of rights-of-way. The applicant will be
required to apply for the necessary permits which can be conditioned to enSlJre appropriate
floodplain and floodway construction and mitigation. Furthermore, ODOT's own project rules
require that the proposal result in a no-rise of flood elevation.
The following findings are regarding consistency with other applicable refinement plans
(TransPlan, Riverfront Park Study, Laurel Hill Plan) that are not proposed to be amended:
TransPlan
TransPlan was adopted as a refinement to the Metro Plan. The 1-5 bridge and roadway is identified
within TransPlan, therefore, determination of consistency with TransPlan is necessary. However, it
is noted that the applicable TransPlan policies have been incorporated into the Metro Plan under the
Transportation Element policies above. The applicable TransPlan policies are as follows: TSI
System-Wide Policies, Policy 1; TSI Roadway Policies, Policies 1-3; and TSI Goods Movement
Policies, Policy 1. Therefore, the findings for Metro Plan policies F.I0, F.14, F.15, F.16, and F.29
are incorporated herein by reference to demonstrate compliance with these applicable policies of
TransPlan.
As previously mentioned, comments were received stating that the applicant's response to
TransPlan Goals 1 and 2 (Metro Plan, Transportation Element, Goal 1 and 2), Objective #3, and TSI
Roadway Policy #1 do not demonstrate that these goals and objectives have been met. To
summarize, Goals 1 and 2 support a transportation system that supports choices in modes of travel
that will reduce reliance on the automobile and that enhances quality of life and economic
opportunity by being balanced, accessible, efficient, safe, interconnected, environmentally
responsible, etcetera (see TransPlan Chapter 2, page 3 and Metro Plan pages III-F-l and 2).
According to the TransPlan (Chapter 2, page 3), a goal is "a broad statement of philosophy that
describes the hopes of the people of the community for the future of the community. A goal may
never be completely attainable, but is used as a point to strive for." A goal is not something for
which an application is measured against. Similarly, an objective is "an attainable target that the
community attempts to reach in striving to meet a goal. An objective may also be considered as an
intermediate point that will help fulfill the overall goal." Whereas a policy, which is a "statement
adopted as part of TransPlan to provide a consistent course of action, moving the cOlnmunity
toward attainment of its goal," can be used for determining consistency with the TransPlan. As
such, compliance with the goals and objectives, as measured through application of the policies, is
determined under the Metro Plan, Transportation Element policies above. Regarding TSI Roadway
Exhibit A - Findings
Page 36
Policy # 1, see findings under Metro Plan Policy F .14.
Riverfront Park Study
Riverfront Park Study (RPS) is adopted as a refinement of the Metro Plan. Review of the RPS
indicates that the study boundary includes the south bank of the Willamette River up to the 1-5
bridge. Figure 5 of the applicant's February 22, 2008 submittal materials identify a broad area for
the temporary construction bridge location, which includes the south bank of the Willamette where
it abuts the 1-5 bridge. Although the exact temporary construction bridge locations will determined
through subsequent permitting processes, the RPS is applicable to the extent the area is potentially
impacted as shown on Figure 5, and the applicable polices are as follows:
Transportation
5. Required transportation projects will be phased and the phasing schedule will depend upon
the level of participation of non-public funds (i. e., participation by a developer) and the
level of actual development.
The applicant indicates that it is not expected that the project will be phased.
Environment
2. The existing Millrace which passes through a portion of the study area is an important
environmental and historic city feature. Development occurring in the Riverfront Park shall
maintain or improve the visual and bicycle/pedestrian access to and along the Mill Race,
expanding its use for public recreation while at the same time recognizing its role as a storm
runoff channel.
3. Development occurring in the Riverfront Park area shall be designed to preserve a
significant cluster of black locust, English oak, and redleaf plum trees located just east of
the current location of the bicycle path.
4. Development in the Riverfront Park area shall, when possible, maintain and enhance the
public's physical access to the river and the riparian strip along its banks.
The new bridges will be constructed in approximately the same location as the decommissioned and
detour bridges. Though there would be a slight shift in the alignment of 1-5, all improvements
would remain within the existing ODOT right-of-way. The new bridges therefore will not be
located within the Riverfront Park Study area. However, as previously stated, portions of the
temporary work bridges may be located within a small portion of the Riverfront Park Study area.
ODOT would acquire temporary easements for use of non-ODOT property during construction. The
Riverfront Park Study area in which a portion of the temporary work bridges may be located is just
east of the 1-5 replacement bridges shown in Figure 3, south of the Willamette River~ and north of
Franklin Boulevard. The section of the Riverfront Park Study area that may be affected by the
temporary work bridges does not include the Millrace and cluster of trees mentioned in the
Riverfront Park Study Environmental Policies 2 and 3; therefore, these elements would not be
affected. Public access to the river and along the Millrace will not be directly affected. See
Exhibit A - Findings
Page 37
responses to Goal 5 and Metro Plan Policy E.2.
Laurel Hill Plan
The Laurel Hill Plan (LHP) is adopted as a refinement of the Metro Plan. Review of the LHP
indicates that a portion of the 1-5 project is within the study boundary (see applicant's February 22,
2008 submittal materials, Figures 6 and 8). Therefore, the applicable policies are as follows:
Land Use and Future Urban Design
C. Policies
6. The Laurel Hill Plan supports the South Hill Study standards. In general, alteration of the land
contours shall be minimized to retain views of natural features and retain as much of the forested
atmosphere as possible. Aside from purely aesthetic considerations, these hillsides demand care in
development because the topsoil is thin and the water runoff is rapid. Proposed developments shall
respect the above considerations. The Valley hillside policy applies to all land with an average
slope, from toe to crest, of 15 percent or greater. (A 15-percent slope is one in which the land rises
15 feet per 100 horizontal feet.)
a. If, in the opinion of the responsible City official, an adverse conservation or geological condition
exists upon a parcel of land proposed for a subdivision, or before any major hillside clearing,
excavation, filling or construction is contemplated, the requirements of the Uniform Building Code,
Chapter 70, Excavation and Grading, and those sections of the code relative to foundation design
may be invoked.
b. Considerable latitude shall be allowed the developer in the shaping, depth, and required street
frontages of lots where it is necessary to preserve the terrain.
Regarding the standards of the South Hills Study which the LHP supports, the land within the
southern portion of the project area (within the South Hills Study area) is below 500 feet in
elevation (written statement, page 65). Project work within this area consists of roadway alignment.
Therefore, since the project is below 500 feet in elevation, the project is not subject to the South
Hills Study policies referred to above.
In addition, geological resources in the project area consist of fill material, alluvium, and bedrock.
The processes affecting these materials are man-made, such as excavation and grading, and are
naturally created. The project would have no permanent effects on geological resources. Based on
the earthquake hazard, geotechnical investigations should be completed prior to construction to
determine the best method to seat foundations, piers, and bents to reduce effects related to
earthquakes (e.g., lateral spread, liquefaction). In addition, slopes should be constructed in a manner
that reduces the potential for erosion or small landslides.
Furthermore, project improvements would occur within the existing ODOT right-of-way. The
vegetation removed will be limited to the minimum area necessary for construction and staging
activities. Following construction, cleared areas will be revegetated and returned to existing
conditions to the extent practicable. Grading would be limited to minimum area necessary. Areas
Exhibit A - Findings
Page 38
affected by construction activities would be restored following construction.
Conclusion
Based on the findings above and the Goal 15 exception provided under Goal 2, the proposed
amendments are consistent with the Statewide planning goals and the remainder of the Metro Plan.
Recommendation
Metro Plan Amendment Conclusion: Based on the available information and materials in the
record, and the above preliminary findings, are found consistent with the applicable approval
criteria regarding the Statewide Planning Goals and the remaining portions of the Metro Plan.
Exhibit A - Findings
Page 39
c
Planning & Development
Planning ,
City of Eugene
99 West 10th Avenue
Eugene, Oregon 97401
(541) 682-5377
(541) 682-5572 FAX
www.eugene-or.gov
NOTICE OF DECISION'
August 1, 2008
On July 28, 2008, the Eugene City Council adopted Ordinance No. 20414 and 20415 amending the
Eugene-Springfield Metropolitan Area General Plan (Metro Plan) text including an exception to Goal
15, and amend~ng theWillakenzie Area Plan text, for the 1-5 Willamette Bridge Project City Files
, (MA 07-3 &RA08-1).
Ordinance 20414 specifically amendsthe text of policy D.l1 of the Eugene-Springfield Metropolitan "
Area General Plan (Metro Plan) to read and provide as follows: "An exception to Statewide Planning
Goal 15 Willamette River Greenway Was approved for Oregon Department of Transportation -
(GnOT) for purposes of removing and replacing the decommissioned 1-5 bridge~ the temporary
detour bridge and the Canoe Canal bridge with two new parallel bridges (one southbound and one
northbound) within the 1-5. right-of-way crossing the Willamette River and CanoeCat1alimd within
the Willamette River Greenway Setback Line. The exception authorizes construction and later
removal of one or more temporary work bridges; demolition of the decommissioned 1-5 Willamette
River Bridge, . Canoe Canal Bridge, and detour bridges; construction of the two replacement bridges;
reconstruction of the roadway approaches to the bridges (1-5 and ramps); rehabilitation of the project
, area; and completion 'of any required mitigation of proj ect impacts. In association with these tasks,
the exception further authorizes within the Willamette Riyer Greenway Setback Line the addition and
removal of fill within OnOT right-of-way and the removal of fill within a temporary slope easement
east .of 1-5. This exception satisfies the criteria of Oregon Administrative Rule (OAR) 660-004-
0022(6), WillametteGreenway, and the exception requirements.of OAR 660-004-0020 Goal 2 Part
II(c) fora "reasons" exception, and pursuant to OAR 660-004.,.0015, is hereby adopted as an
amendment to the Metro Plan text, Policy D.11, Chapter III, Section D'."
Ordinance 20415 specifically amends the text of the Willakenzie Area Plan .for portions of paragraph
one in the Willamette Greenway section to read and provide as follows:
"1. Provision that all new structures, expansion of existing structures, drives, parking areas, or
storage areas shall not be permitted within the first 35 feet back from the top of the riverbank, unless
the location of the flood way boundary requires a greater separation. ' , .
There are four exceptions to this standard:
A.Structures designed solely for recreational use (e.g., a deck or steps leading to the river) and
driveways for boat landings and water-related or water-dependent uses are permitted within
the 35-foot setback.
B. Public improvements, including pedestrian a~d bicycle trials, public plazas, and similar
amenities, but excluding roads and parking areas, are exempt from the setback requirements
specified above.
C. Structures existing as of the date of adoption oftrus plan shall be allowed to rebuild at the
same distance from the river that they were before destmction by fire, flood, or other disaster.
D. Replacement or expansion of the I~5 Willamette Rivet Bridge and its approaches."
The amendments, findings and related materials can be reviewed at ,I st Floor Reception, Atrium
Building, 99 West 10th Avenue, between 9:00 a.m. and 5:00 p.m., Monday through Friday.
All decisions of the eleetedofficials are final. Persons who participated either orally .or in writing in
the local government proceedings leading to adoption of the amendments may appeal the decision to
the Land Use Board of Appeals within 21 days of the decision. Appeals to the Oregon Land Use
Board of Appeals are governed by ORS 197.825 to 197.845.
For additional information, please contact:
Heather O'Donnell, Associate 'Planner
City of Eugene Planning Division
99 West 1 0~J1 A venue
Eugen~, OR 97401
E"'mai,~:l' heather.m.odorinell@ci.eugene~or. us
Phone: (5~}) 682-54~8
,"\
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