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2024-05-28 PL-BOA-2024-000105 Petition (1250)_v1
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2024-05-28 PL-BOA-2024-000105 Petition (1250)_v1
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5/29/2024 11:00:49 AM
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Phases 1 and 2, various golf course related amenities, and all archaeological mitigation. The <br /> archaeological and cultural sites within Hokuli`a are actively monitored and maintained by the <br /> Hokuli`a Parks and Cultural Sites Association, which is funded out of Hokulia's membership <br /> dues. <br /> The Shoreline Park(which is being developed in five phases) has been opened to the <br /> public since 2002 and is also maintained by the Hokuli`a Parks and Cultural Sites Association. <br /> Oceanside has completed the improvements required for the Shoreline Park by the <br /> Comprehensive Public Access Plan for Phases 1 through 4, and improvements for Phase 5 are <br /> currently underway. The completed park improvements include planting naturally occurring <br /> native trees, shrubs, and ground covering vines; improving the shoreline trail system with wood <br /> chips generated from the debris from clearing of non-native invasive vegetation; creating public <br /> rest areas along the trail system complete with picnic tables and waste receptacles; and installing <br /> appropriate directional, hazard, and cultural protocol signage. Oceanside has also obtained <br /> permitting for a new public restroom facility with twenty-eight parking stalls. <br /> On December 12, 2016, Oceanside dedicated a 2.273-acre parcel abutting the north side <br /> of the Kona Scenic Park to the County. That land is now being used to provide much needed <br /> off-street parking for the public. As of August 23, 2012, the Planning Department confirmed <br /> that the total balance of fair share credits for Hokuli`a was $8,641,127.12. Oceanside is <br /> currently in the process of obtaining an updated total balance of fair share credits from the <br /> County. <br /> C. Coupe's Lawsuit. <br /> On March 31, 2023, Coupe filed its Complaint. Exhibit 6. Coupe's Complaint alleges <br /> that Oceanside has failed to comply with, and the County has failed to enforce, the Ordinances <br /> and Development Agreement. Specifically, Coupe alleges, inter alia, that: (a) the Makai <br /> 4860-3160-4157.3.051730- 00058 7 <br />
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