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March 4, 2024 <br /> Hawaii County Council Chambers <br /> Planning Commission <br /> 25 Aupuni Street Hilo, HI 96720 <br /> To: The Windward Planning Commission of the County of Hawaii <br /> Re: BLACK SAND BEACH LLC (PL-SMA-2023-000046) <br /> Aloha Chair Lin, Vice Chair Danielle, and Windward Planning Commissioners, <br /> This testimony is being presented in strong opposition to the request made by Black Sands Beach, <br /> LLC to acquire a special management area use permit application to develop within the Ahupua`a of <br /> Nmole, Wailau and Punalu`u. A working group meeting formulated to look over the SMA took place <br /> on Tuesday, February 27, 2024. At the meeting, members of our community were able to generate a <br /> list of important issues we felt was important for those of you who are serving on the Windward <br /> Planning commission to highly consider, and we share those points with you below. We strongly feel <br /> that to approve this SMA Application prior to addressing other important factors, plans, <br /> documentation, and regulations puts the natural and cultural resources and people of Ka`u in <br /> irreversible jeopardy. We urge you to approach this SMAA with caution and hope that this testimony <br /> will give you a deeper understanding of the impacts that this project will have on `aina. Further SMA <br /> approval should be deferred until issues of life and limb are rectified, such as water, fire hydrants, <br /> waste treatment, access and traditional cultural practices, shoreline changes and certification, crowd <br /> control and safety. If and when further SMA projects are approved,specific and enforceable mitigation <br /> measures must be provided in detail. <br /> 1. Prior to any application or project,the area in the SMA should require an updated EIS/DEIS <br /> and EA,as well as updated coastal setbacks and a certified shoreline survey.Project consultant <br /> Daryn Arai (a former County Planning Department employee) is asking that the 1988 FEIS be <br /> accepted (this FEIS is over 35 years outdated). However, the SMA permit application contains a <br /> supplemental AIS to the 1988 FEIS, which, along with the fact that an EIS was being prepared for <br /> the 2006 proposed development, would indicate that at minimum a supplemental EIS be required <br /> as well. He is also requesting a waiver of a shoreline certification, which ignores the impacts that <br /> climate change has had on the coastline since the time of the last certifation. <br /> a. The proximity of proposed development to the shoreline is not appropriate and a certified <br /> shoreline survey must be conducted. <br /> A shoreline certification was waived by PD Zendo Kern in previous SMAA. The current <br /> shoreline certification is 50 years old, and since that certification, sea level changes, <br /> earthquake, and shoreline subsidence, and climate change would indicate that the 50 year old <br /> certification may be inaccurate. According to §13-222-11: Validity of certified shoreline. (a) <br /> Certification of the shoreline shall be valid for a period no longer than twelve months from <br /> the date of certification. <br /> The justification in the SMAA for waiving the survey is because "no new improvements or <br /> uses anywhere near the shoreline or in conservation zones. However, the 8,000 sq ft, 2.5 story <br />