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4.a8 FB1 Geronimo Argo Navis Project Narrative; BSM 58544941-v3-c 7650 EDINBOROUGH WAY , STE 725, EDINA, MN 55435| P 952.988.900 0 | F 952.988.90 01 www.geronimoenergy.com Argo Navis Community Solar Gardens, LLC Variance Application Evidence Responses to Practical Difficulty Criteria 1) The applicant proposes to use the property in a reasonable manner not permitted by the development code. Argo Navis Community Solar Gardens, LLC (ANCSG) proposes to use the property to develop a solar energy project consisting of up to three solar gardens. The site is located on a reclaimed and yet to be reclaimed gravel mine currently operated by Tiller Corp. The parcel of land ANCSG is proposing to use for its solar project is currently zoned as Agricultural – Core by the City of Scandia’s zoning code. Solar projects like those proposed by ANCSG are a Conditionally Permitted use under Scandia Zoning Code Chapter 2, Section 4. This same section of the zoning code prohibits development “[w]ithin six hundred (600) feet of areas designated or formally protected from development by Federal, State or County agencies as wildlife habitat, wildlife management areas, or designated as National Wild and Scenic land or corridor.” ANCSG has filed this request for a variance to obtain relief from this requirement. ANCSG began working with the landowner in mid-2015 on the development of the proposed solar project. During that time ANCSG made financial and development commitments to the interconnecting utility (Northern State Power, Inc. d/b/a Xcel Energy) requiring it to operate under Xcel Energy Solar*Rewards Community tariff. Concurrently with ANCSG making such commitments to the project, Tiller Corp was implementing their reclamation plan as required by their agreement with the City. As part of Tiller Corp.’s reclamation of the northwestern portion of the proposed property, Tiller Corp. installed grades on the site on which the installation of a solar project is not feasible. Accordingly, ANCSG has had to move the location of its proposed solar project on the site so as to avoid these grade issues. ANCSG requests a variance of the 600’ setback reducing it to 150 foot setback to the scenic river easements and 10 foot setback to the St. Croix River District as described in Section 4 of the Scandia Ordinance in order to allow the installation of the solar gardens at the site indicated on the plans submitted herewith. Locating the project at the proposed location is reasonable because it avoids the challenging grades on the site, aligns the project with the reclamation of the mine, allows for use of the natural screening in the area, and is fully within an area of existing disturbance on the site. Importantly, the setback variance will best mitigate any visual impacts 7650 EDINBOROUGH WAY , STE 725, EDINA, MN 55435| P 952.988.900 0 | F 952.988.90 01 www.geronimoenergy.com that would otherwise occur along the scenic byway by creating a larger setback from the byway and by using existing hills and berms on the site to create a visual break. The variance will also provide for more room to plant vegetation should the City determine that additional plantings would be important for visual screening along the byway. In short, because of the heavy woods existing along the north, east, and south sides of the project that completely screen the project in such locations, installing the solar gardens as far east on the site as possible is the most reasonable way of locating such gardens in a manner that has the least amount of visual impact to the public and neighboring property owners. Notably, the existing reclaimed portion of the site contains some grades of between 12% and 25%. Because racking for solar panels requires a 5% grade or less, any location of solar panels in these areas would require substantial retaining walls and other site modifications. However, removal and modification of these grades would impact the hydrologic and visual character of the area. The shade from the grades and associated walls would result in shading such that it would prevent the solar facility from generating a majority of the time, nullifying an otherwise appropriate use in that portion of the parcel. 2) The plight of the landowner is due to circumstances unique to the property not created by the landowner. ANCSG’s parcel contains an existing and reclaimed gravel mine the presence of which impacts the project as described in item 1. The current mining operations are ongoing and need to be accommodated with the development plan so as to avoid conflict between the two uses. The current topography of the portion of the property that exists outside the setback would require a significant amount of re-grading and engineering to make construction of solar panels possible and would result in a situation that nullifies the usefulness of the site for solar generation. The gravel mining and the reclamation plan were developed by the mining company and implemented as part of their reclamation agreement with the City. The reclamation plans were developed without ANCSG in mind and are primarily what is preventing the installation on the reclaimed parcel. The operating mine is preventing installation in other portions of the parcel. 3) The variance, if granted, will not alter the essential character of the locality. The current use of the parcel is mining, and the surrounding area is primarily agricultural and rural residential in nature. The facility will be primarily natural in visual appearance from the roadway because the use of native plantings and the substantial setback of approximately 300 feet from the road centerline along the west site of the parcel will minimize any visual impact. 7650 EDINBOROUGH WAY , STE 725, EDINA, MN 55435| P 952.988.900 0 | F 952.988.90 01 www.geronimoenergy.com The solar facility will reduce the intensity of the use from the current mining activity and will also be a lower intensity use than many other alternatives for the site, including housing development and farming. The topography provides a visual screen from St Croix Trail and existing homes. Due to the vegetation along the Riverway, it will not be highly visible from the other side of the river. No significant tree removal is planned for the installation of the facility; indeed, trees will be added to the site in connection with the project. Pollinator friendly native vegetation will provide a more natural appearance around the Lower St. Croix National Scenic Riverway. The solar panels are dark in color and the racking will be low lying with a maximum height of 15 feet, and consequently would not be a dominant feature on the landscape. The ultimate project will continue to support the natural character of the surrounding area while still providing an economic use of the land. 4) Economic conditions alone shall not constitute practical difficulties. The practical difficulty is related to the grade of developable land, the environmental concerns that arise from the existing grade of the reclaimed mine, and the existing mine operations. Further, the proposed location of the solar gardens is simply the best and most logical place to install solar panels on this site. 5) That the proposed variance will not impair an adequate supply of light and air to adjacent property, or substantially increase the congestion of the public streets, or increase the danger of fire, or endanger the public safety, or substantially diminish or impair property values within the neighborhood. Solar panels are low profile, typically with a maximum height of 15 feet. The spacing and height of the solar array would not impair the supply of light and air to the adjacent properties. The installation of vegetation would not cast significant shadows or prevent airflow on adjacent properties any more so than the existing wooded lots in the area already do. Traffic during construction of the facility is anticipated to be approximately 25-35 trucks daily, ramping down significantly after commissioning. During normal operations of the solar farm, maintenance staff visits will occur infrequently with monthly visits being the average frequency. The associated traffic in both construction and operations would not create congestion. Community solar gardens are required by the City of Scandia ordinance to be compliant with any applicable local, state and federal regulatory standards, including electric and building codes. Compliance with these codes will insure the proper installation methods and mitigate dangers to fire and public safety. ANCSG does not anticipate that the change in use from a mining operation to a solar facility will alter property values. To the contrary, ANCSG anticipates that its use of the 7650 EDINBOROUGH WAY , STE 725, EDINA, MN 55435| P 952.988.900 0 | F 952.988.90 01 www.geronimoenergy.com property will be more desirable than the other potential alternative uses for the site (i.e. housing, farming, etc.), which would preserve, if not enhance, property values in the vicinity of the project. 6) That the requested variance is the minimum action required to eliminate the practical difficulty. ANCSG has analyzed a number of design scenarios for this project. Through this design process, ANCSG has determined that the proposed design will have the least environmental impact of any project that may be constructed on the site that still meets market conditions, the requirements of the tariffs it will operate under, and that still complies with the spirit of Scandia’s Development Code. Because of the existing area of disturbance on the site and other site constraints, ANCSG does not believe that there is a reasonable way to reduce the extent of the requested variance. 7) Practical difficulties include, but are not limited to, inadequate access to sunlight for solar energy systems. ANCSG anticipates it will have adequate access to sunlight in the proposed location on the enclosed site plan. The plan shows the required design setback to avoid shading from existing vegetation. If, however, ANCSG was unable to obtain the requested variance and required to construct the project in the reclaimed area of the site (assuming such construction was even possible), the extreme grades in that area, as well as the retaining walls that would be required for the solar gardens, would create shading such that the project would not be able to operate normally. Supplementary Responses to Scandia’s Review Criteria In addition to ANCSG feedback regarding the practical difficulty criteria, the Project is also supplying replies to the other Review Criteria set forth in Section 6.0 of the City of Sca ndia Development Code. One of the review criteria components in the City of Scandia Code refers to the variance terms’ adherence to the Comprehensive Plan. Below are responses to the goals laid out in the Scandia’s Comprehensive Plan. 7650 EDINBOROUGH WAY , STE 725, EDINA, MN 55435| P 952.988.900 0 | F 952.988.90 01 www.geronimoenergy.com Natural Resources Goal 2: Preserve, protect, and enhance surface water quality in Scandia. Policy 2.4: Design new development to minimize impacts on surface water, groundwater, floodplains, steep slopes, wetlands, and other environmentally sensitive areas. Policy 2.5: Encourage landowners in already developed areas to improve stormwater drainage to reduce the volume of runoff and polluted runoff Natural Resources Goal 6: Protect and preserve native, endangered, threatened and unique plants and animals. Natural Resources Goal 7: Eliminate, reduce or mitigate the negative effects of invasive species on natural areas Policy 7.1 Encourage public and private development to landscape with noninvasive, native species. Response: One of the primary benefits to installation of ANCSG’s proposed project will be to water quality. Natural Resources Goal 2 and Policies 2.4 and 2.5 support this proposal in that ANCSG, by revegetating the site into a meadow like condition, will minimize impacts on surface water and improve stormwater drainage on an already developed area. Further, in accordance with Natural Resources Goals 6 and 7, the Project will also allow for the growth of native grasses and will provide habitat for grassland birds, reptiles, mammals and other insects. Land Use Goal 13: Allow for the safe and orderly extraction of aggregate resources now and in the future while protecting sensitive resources on or near those properties and providing for transitions to other uses when resource extraction is complete. Mining is limited to existing locations. Response: Extraction of aggregate resources on the subject property is continuing and will continue while the project is under development. The site design ANCSG is proposing will allow it to develop its solar project in an area of the subject property where mining is complete while at the same time allowing Tiller Corp. to complete the extraction of resources from the property. Additionally, after reclamation ANCSG’s site will have rejuvenated soils because of the nitrogen and mineral replacing nature of the plantings allowing it to be restored to high production agricultural uses. This coincides with Land Use Goal 13 as providing for transitions to other land uses when resource extraction is complete. 7650 EDINBOROUGH WAY , STE 725, EDINA, MN 55435| P 952.988.900 0 | F 952.988.90 01 www.geronimoenergy.com Energy Use and Systems Goal 1: The City encourages the use of renewable, local and diverse forms of energy in order to increase use of local resources, mitigate the local risk from fossil fuel scarcity and price increases, and help meet Minnesota’s climate protection goals. Response: The construction of a Community Solar Garden in the City of Scandia will help mitigate the local risk from fossil fuel scarcity and help meet Minnesota’s climate protection goals, as referenced in Energy Use and Systems Goal 1. Moreover, the addition of this solar project in the City will provide a substantial source of local, renewable energy, which further supports Energy Use and Systems Goal 1. 58544941_3.docx