With this Goal 5 label, the City has declared the entire property is part of the City-adopted <br />natural resource inventory. Per the application for Standards Review: Water Resources <br />(/WR) Overlay Zone the applicant has failed to complete the application process in these <br />areas: <br />• All wetlands within 50 feet of property lines need to be identifled and noted. While <br />the wetlands are mapped on the site plan, there are no indicators identifying or <br />noting those within 50 feet of property lines. <br />• The site plan does not properly identify/indicate all trees by species and dimension. <br />As these, too, are a natural resource and speciflcally one of the categories under <br />which the City’s determination of this property’s Goal 5 designation falls, there <br />needs to be a complete and comprehensive inventory of all trees on the property. <br />As there are native Willamette White Oaks on the property aged between 150-300 <br />years old, they should be identifled and protected. <br />EC 9.4930 (3) (e) 3 has not been met as it wasn’t addressed by the applicant at all. <br />Considering the critical nature of native soil in a natural resource protected area, the <br />developer must absolutely ensure that any excavated and disturbed areas are backfllled <br />with the existing native soil. <br />EC 9.4980 (4) (a) 1 & 2: The applicant uses the terms stockpiled and stored only. As the soil <br />in the setback area is always saturated by the nature of it being a wetland area and not just <br />a stream, speciflcity that any machinery, tools or construction materials be removed from <br />the /WR conservation area each day is mandated. <br />EC 9.4980 (4) (b) has not been met. “Acknowledged and agreed,” means nothing without a <br />description of how compliance will be achieved. The applicant must describe exactly what <br />measures will be taken to ensure petroleum products, chemicals, or other deleterious <br />materials used in the construction process will be prevented from entering the stream or <br />wetland. <br />It is extremely important to note that the adjoining property, which shares a substantial <br />length of property line, is Videra Park, a natural park owned and maintained by City of <br />Eugene Parks and Open Space. The park contains the continuation of the Category C <br />stream, as well as associated Goal-5 wetlands. These have not been mapped nor given an <br />established conservation zone as a part of the application process, yet will be impacted in <br />a major way by the proposed construction. <br />It is incumbent on the applicant to provide and describe in detail a means of protecting the <br />Goal 5 natural resources in Videra Park from any incursion by chemicals, petroleum <br />products, or other deleterious materials used in the construction process as required in