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PD BACKGROUND REPORT (USE 21-000087)
BATT-SaddleUSE.crk 5.12.21 COUNTY OF HAWAII PLANNING DEPARTMENT BACKGROUND REPORT AT&T MOBILITY USE PERMIT APPLICATION (USE 21-000087) AT&T MOBILITY is requesting a Use Permit to allow the construction a non -manned telecommunication facility consisting of a 105 -foot tall, stealth "monopine" tower with related equipment within a 616 -square foot portion of a 6.875 -acre property situated in the County's Agricultural -40 acre (A -40a) zoning district. The subject property, which is the site of Girl Scout's "Camp Kilohana", is situated approximately 122 feet south of the 44 -mile marker on Saddle Road (Route 200) and directly adjacent to the north of Mauna Kea State Park, Por. Kaohe Pa`auhau, Hamakua, Hawaii, TMK: (3) 4 4 015: portion of 005. APPLICANT'S REQUEST 1. Proposed Use: The applicant is requesting a Use Permit to construct a new, non -manned telecommunication facility, consisting of a 105 -foot tall, stealth `monopine" tower (100 - foot tower with 5 feet of branches), an antenna array consisting of three (3) sectors with four (4) antennas per sector for a total of twelve (12) antennas, thirty-six (36) remote radio heads, six (6) surge suppressors and one (1) GPS antenna. No exterior lighting is proposed for the site. In addition to the tower and antennas, the 616 -square foot 28' x 22') lease area would be used for accessory ground facilities located within a prefabricated 12' x 20' equipment shelter mounted on a raised concrete pad and a backup 30kW AC generator. The leased area will be enclosed with a 6 -foot -high chain-link fence with green privacy slats, and a 12 -foot -wide locked access gate. The proposed facility will be unmanned, and maintenance and repair activities will be performed by a technician on a periodic basis, typically once a month within normal working hours. The applicant will comply with all Federal Communications Commission (FCC) and Federal Aviation Administration (FAA) rules. Additionally, the facility will not interfere with the County's public safety radio system. 2. Reason for the Request: According to the applicant, the facility will provide an important public benefit by including equipment to support the FirstNet Nationwide Safety Public Broadband Network ("FirstNet"). As a FirstNet site, this proposed facility 1 is part of a more significant initiative by AT&T to upgrade existing wireless sites and to build new sites to support FirstNet and deploy the new frequency band for first responders ("Band 14"). The facility also is intended to provide expanded commercial AT&T 4G LTE wireless phone service along Saddle Road between Waimea and Pohakuloa Training Area (PTA). The Facility also will include AT&T's 850MHz low - band 5th Generation ("5G") technology. 3. Co -location: The monopole tower will be designed to accommodate co -location of antennas for other qualified providers if it can be done without substantial interference to AT&T's use of this tower. 4. Alternative Sites Considered: The applicant evaluated two alternative site location within a targeted search ring, 1) Waiki`i Ranch is located approximately 3.1 miles north of the proposed new tower location. The site has an approximate elevation of 4,730 feet above mean sea level (AMSL). This altemative location was not selected because it is at a lower elevation and does not close the coverage gap toward the existing site in PTA. 2) Lightning Trail, located on State of Hawai`i owned and Federally leased property approximately 1.6 miles south of the proposed new tower location. This site has an approximate elevation of 5,490 feet AMSL. The proposed location is at a higher elevation (5,654 AMSL) and would provide better coverage along Saddle Road toward the existing site in PTA. This site was also not selected because it is in the State Land Use Conservation District. 5. Tower Height Justification: According to Attachment 3 of the application, the proposed 105 -foot -tall monopole is the minimum height necessary to achieve the coverage objective of providing new FirstNet coverage as extensively as possible with this site to reach into surrounding areas and to extend service along Saddle Road from Pohakuloa toward Waikoloa/Waimea. The applicant also considered a 50 -foot -tall tower but determined a 105 -foot -tall tower is the minimum height needed to achieve adequate coverage. 6. Supportive Information: The applicant has submitted the attached in support of the request: (Planning Department Exhibit 1— Use Permit Application dated April 16, 2021.) 7. Landowner: Girl Scouts Council of the Pacific. 2 BACKGROUND INFORMATION 8. Telecommunications Act of 1996: The Telecommunications Act of 1996, Section 704, as amended, which amended portions of the 1934 Act, limits state or local authorities from regulating the placement, construction, and modification of personal wireless service facilities on the basis of environmental effects of radio frequency emissions, as long as such facility towers comply with the Federal Communication Commission (FCC) regulations concerning such emissions. The applicant will adhere to FCC regulations. STATE AND COUNTY PLANS 9. State Land Use District: Agricultural. 10. General Plan LUPAG Map Designation: Extensive Agriculture. 11. County Zoning: A -40a. 12. Hamakua Community Development Plan (CDP): The Hamakua CDP was adopted by the Hawaii County Council, Ordinance 18 08, on August 22, 2018. Policies and actions in the CDP encourage the development of rural broadband service in mauka areas and require the consideration of scenic views and visual impact mitigation in the siting and design of telecommunications facilities. 13. Special Management Area: The Special Management Area is a part of the Coastal Zone Management Program and regulated by the County. The property is outside of the Special Management Area and is located about 17 miles from the nearest coastline. DESCRIPTION OF PROPERTY AND SURROUNDING AREA 14. Description of Property and Permit Area: The subject, 6.875 -acre property is roughly diamond shaped and sits at an elevation of 5,640 feet. The property is the site of the Kilohana Girl Scout Camp and is improved with a main lodge structure, cabins, a catchment and water tanks and outdoor activity areas permitted under Special Permit Nos. 262 and 336 granted in 1974 and 1976, respectively. A private, gated dirt access road runs past the proposed site location approximately 325 feet from the gate on Saddle Road to the main Camp Kilohana building. The proposed 616 -square foot lease area is situated in the northeast corner of the property and is located 110 feet from Saddle Road and 112 feet from the main lodge building. 15. Surrounding Zoning/Land Uses: Surrounding properties to the north, east (across Saddle Road) and west are similarly zoned A -40a and consist of vacant lands. The 3 property to the south of the subject property is designated as Forest Reserve and consists of vacant lands. This property is also vacant of structures and other improvements in the vicinity of the subject property. 16. Flood Zone: Zone "X", which is determined to be an "Area of Minimal Flood Hazard." 17. Agricultural Lands of Importance to the State of Hawaii (ALISH): Other. 18. Land Study Bureau's Detailed Land Classification System: "D" or "Poor" soils. 19. U.S.D.A. Soil Survey: Waimea- Kemole Complex, 2 to 20 percent slope with fine sandy loam. 20. Flora and Fauna Resources: A Biological Resources Impact Analysis of the property was conducted by Environmental Assessment Specialists, Inc. in February 2021 and included examination of federal and state databases of species and critical habitats and a field reconnaissance survey. The proposed tower facility will be installed within an area of the property that has previously been disturbed and is covered by ornamental and ruderal vegetation. Common species observed in the project area are mainly grasses, shrubs, and native shrubs and trees like, Kawelu grasses, Pamakani, koa trees, `uki`uki, and 'A`ali`i. Vegetation would be cleared at the project site to accommodate the proposed facility. The Biological Resources Impact Analysis determined that the biological resources of the area have been altered by development and that the facility may affect but is unlikely to adversely affect one or more of the following threatened and endangered species that may be in the project vicinity: Palila (with the property to the east of the subject parcel designated as a designated critical habitat), Hawaiian hawk, Hawaiian hoary bat, Hawaiian goose, Hawaiian petrel, Newell's shearwater, band- rumped storm petrel, and Blackburn's sphinx moth. In their environmental review, the applicant identified several mitigation measures based on US Fish and Wildlife Service USFWS) information. Additionally, by memo dated October 8, 2020 the Department of Land and Natural Resource- Division of Forestry and Wildlife (DOFAW) recommended measures to avoid or minimize project impacts to the Hawaiian hoary bat and seabirds and general guidance on how to stop the spread of Rapid `Ohi`a Death and invasive species. 21. Archaeological/Historic/Cultural Resources: A cultural resources literature review, field inspection, and consultation with native Hawaiian organizations was completed by 4 ASM Affiliates (ASM) in November 2020 and found no historic properties in the lease area. In a letter dated January 11, 2021, the Department of Land and Natural Resources- State Historic Preservation Division (SHPD) concurred that no historic properties will be affected by the proposed project. 22. Scenic and Visual Resources: The General Plan identifies the nearby Mauna Kea State Park area as an example of natural beauty in the Hamiikua district. To lessen any adverse visual impacts on surrounding properties, the proposed facility is set back 110 feet from Saddle Road and the proposed tower is a stealth "monopine" design that will mimic a pine tree and will be located in an area with a concentration of other coniferous trees of various heights. 23. Public Access: There is no public access to the mountains or the shoreline that runs through the property. PUBLIC UTILITIES AND SERVICES 24. Roadway Access: Access to the facility will be from Saddle Road, which is a State owned and maintained roadway. There is a private, gated dirt access road into the property that runs past the lease area to the main lodge structure. The applicant is proposing to secure a twelve (12)-foot wide, non-exclusive access easement over and along the edge of the service road to the lease area. 25. Water: The proposed use does not require water. 26. Wastewater: This use will not generate wastewater. 27. Utilities: Electrical and telephone services are available to the site. 28. Essential Utilities and Services: All essential utilities are available to the subject property. Police services are available from Waimea and fire services are available from Waimea and PTA. AGENCY COMMENTS 29. Fire Department (Planning Department Exhibit 2 — Memo dated May 18, 2021) AGENCY - NO COMMENTS/CONCERNS 30. Police Department. 5 AGENCY - NO RESPONSE 31. Department of Public Works — Engineering Division, Hawai`i County Civil Defense Agency, County Real Property Tax Office, and State Department of Health. PUBLIC COMMENTS 32. Letter of Support from the Girl Scouts of Hawai`i (Planning Department Exhibit 3 — Letter dated May 6, 2021) 6 COUNTY OF HAWAII PLANNING COMMISSION USE PERMIT APPLICATION Type or legibly print the requested information) APR 1H 62021 4R8ING 51 APPLICANT: AT&T Mobility by Andrew Tomlinson, J5 Infrastructure APPLICANTS SIGNATURE: (see Letter of Authorization)DATE: 4/16/2021 ADDRESS: 500 Kahelu Ave., Mililani, HI 96789 LIST APPLICANTS INTEREST IF NOT OWNER. Leasee TELEPHONE_(Bus.) 808.627.8924 (Res.) LANDOWNER(S): GIRL SCOUT COUNCIL OF HAWAII LANDOWNER SIGNATURE(S)see Letter of Authorizatin)DATE. Fax) May be by letter) ADDRESS: 410 ATKINSON DR STE 2E1 BOX 3, HONOLULU HI 96814 4730 TAX MAP KEY: (3) 4-4-015:005 STREET ADDRESS OF PROPERTY: ROUTE 200 (SADDLE ROAD) WAIMEA, HI 96743 REQUESTED USE: Telecommunications Tower ZONING: AG (A -40a) SIZE OF PROPERTY: 6.8750 ac AGENT: Andrew Tomlinson, J5 Infrastructure ADDRESS: 677 Ala Moana Blvd, Honolulu, HI 96813 TELEPHONE:(Bus.) (808) 864-8567 (Res.) (Fax) Please indicate to whom original correspondence and copies should be sent. ORIGINAL. Andrew Tomlinson COPIES. Planning Dept. Exhibit I PROJECT NARRATIVE CONDITIONAL USE PERMIT HIL03359 SADDLE ROAD 3 Submitted to Hawaii County Planning Commission and County of Hawaii Planning Department Applicant: Representative: Property -Owner: New Cingular Wireless PCS, LLC ("AT&T") 500 Kahelu Avenue Mililani, Hawaii 96789 15 Infrastructure Partners ("15") 677 Ala Moana Boulevard, Suite 917 Honolulu, Hawaii 96813 Contact: Andrew Tomlinson 808-864-8567 atomlinson@j5ip.com GIRL SCOUTS COUNCIL OF HAWAII 410 ATKINSON DR., STE 2E1, BOX 3 HONOLULU HI 96814 4730 Project Address: DANIEL K. INOUYE HIGHWAY (SADDLE ROAD) KAMUELA, HI 96743 Description & Tax Lot: GPS Coordinates: 19° 48' 48.54" N, 155° 38' 00.61" W Tax Map Key: (3) 4-4-015:005 Zoning Classification: State LUC Ag, County of Hawaii A -40a 15 is submitting this application on behalf of New Cingular Wireless PCS, LLC ("AT&T") and the underlying property owner. ATTACHMENT 1—Project Narrative AT&T's Application—HIL03345 Leilani Estates Page 2 of 19 1. PROJECT OVERVIEW New Cingular Wireless PCS, LLC, dba AT&T Mobility ("AT&T") is proposing to build a new telecommunications facility ("Facility") including a 105' monopine and equipment compound HIL03359 Saddle Road 3" at the above noted project address. The facility will provide an important public benefit by including equipment to support the FirstNet Nationwide Safety Public Broadband Network' ("FirstNet"). As a FirstNet site, this proposed Facility is part of a more significant initiative by AT&T to upgrade existing wireless sites and to build new sites to support FirstNet and deploy the new frequency band for first responders ("Band 14"). The facility also is intended to provide expanded commercial AT&T 46 LTE wireless phone service along Saddle Road between Waimea and Pohakuloa Training Area (PTA). The Facility also will include AT&T's 850MHz low -band 5th Generation ("SG") technology. AT&T intends for its application for the proposed Facility to include the following documents collectively, "AT&T's Application"): Attachment 1—Project Narrative (this document) Attachment 2—Statement of Code Compliance Attachment 3—AT&T RF Justification Attachment 4—AT&T MPE Report Attachment 5—FAA TOWAIR Determination Report Attachment 6—Site Photos and Photo Simulations Attachment 7—Letters of Authorization Attachment 8—Zoning Drawings Attachment 9—List of Property Owners Attachment 10—Real Property Tax Clearance Attachment 11—NEPA Screening Report Attachment 12 — Flood Hazard Report Attachment 13 —AT&T Option & Land License - redacted As shown in AT&T's Application, this proposed project meets all applicable requirements of the Hawaii County Code 1983 (2016 Edition, as Amended) for siting new wireless communications facilities and complies with all other applicable state and federal laws and regulations. AT&T's proposal is also the least intrusive means of meeting its coverage objectives for this site. Accordingly, AT&T respectfully requests the County of Hawaii Planning Director and 1 The First Responder Network Authority ("FirstNet Authority") is an independent authority within the U.S. Department of Commerce. Chartered in 2012, its mission is to ensure the building, deployment, and operation of the FirstNet Nationwide Safety Public Broadband Network—the nationwide broadband network that equips first responders to save lives and protect U.S. communities. FirstNet grew out of and addresses a 9/11 Commission recommendation calling for improved communications for all U.S. first responders. Learn more at FI rstN eteov/mediakit ATTACHMENT 1—Project Narrative AT&T's Application—HIL03345 Leilani Estates Page 3 of 19 Commission to approve this project as proposed, subject only to the County of Hawaii standard conditions of approval. 2. PROPOSED PROJECT DETAILS 2.1. Site Description Detailed information regarding the subject property and proposed lease area is included in Attachment 8—Zoning Drawings, to AT&T's application. 2.1.1. Subject property. The subject 6.875 -acre property ("Camp Kilohana") is owned by the Girl Scouts Council of Hawaii and is located on Rte. 200 (Daniel K. Inouye Highway—"Saddle Road"), Kamuela, HI between Waimea and Pohakuloa on Hawaii island, TMK: (3) 4-4-015:005 the "Property"). Camp Kilohana is used by the Girl Scouts for camping and outdoor activities. The camp has a kitchen and dining area in the main lodge, cabins, and outdoor activity areas. The only water comes from a catchment tank adjacent to the main. There is electricity powered by a generator in the lodge only. A private, gated dirt access road runs past the proposed site location approximately 325 feet from the gate on Saddle Road to the main Camp Kilohana building. The surrounding properties are undeveloped and zoned Agriculture to the north, northeast, and west with Conservation District land to the south. No residences or building are located on adjacent properties near the proposed facility. The Property is within the State "Agriculture" Land Use district and zoned by the County of Hawaii as A -40a. The area is designated as "Extensive Agriculture" in the Land Use Pattern Allocation Guide Map of the Hawaii County General Plan. The US Natural Resources Conservation Services (NRCS) Soil Survey identified the soils in the area as Waimea-Kemole Complex, 2 to 20 percent slope with fine sandy loam. The subject property is classified in the category of "Other Important Agricultural Lands" by the Agricultural Lands of Importance to the State of Hawaii (ALISH) Map. The proposed facility is not in the Special Management Area (SMA). The proposed facility is located within the area covered by the Hamakua Community Development Plan. A discussion of the relationship of the proposed facility to the plan is included in Attachment 2— Statement of Code Compliance. 2.1.2. Lease area. The proposed 28 -foot x 22 -ft lease area (616 sq. ft.) including the equipment compound and the 8 -foot diameter foundation for the monopine (the "Lease Area") is located on the northeastern corner of the Property . The proposed 105 -foot monopine (100 -foot tower plus branches) will be located approximately 22' from the equipment compound and connected by underground conduit. The equipment compound includes the 12'x20' equipment shelter and will be surrounded by a 6 -ft high chain link fence with green privacy slats and a 12 -ft wide locked access gate. The proposed equipment compound ATTACHMENT 1—Project Narrative AT&T's Application—HIL03345 Leilani Estates Page 4 of 19 would be located on the top of an elevated service ramp that is used to access the catchment tank. (See Attachment 8 Final Zoning Drawings). 2.1.3. Access and parking. Access to the Facility will be from Rte. 200 (Saddle Road) through the Camp Kilohana gate. AT&T is proposing a 12' wide non-exclusive access easement for utilities along the edge of the service road, as outlined in Attachment 8—Zoning Drawings. Access into the Facility itself will be for authorized personnel only. Parking will be on the service road adjacent to the equipment compound. No public parking is required or proposed for the site. 2.2. Project Description - Wireless Facilities and Equipment Specifications of the facilities outlined below, including a site plan, can be found in Attachment 8—Zoning Drawings, to AT&T's Application. 2.2.1. Support structure, Antennas, and accessory equipment. AT&T proposes to install an unmanned 105' monopine telecommunication tower (100' tower with 5' of branches) with related equipment. An antenna array for AT&T will be at a tip height of 100' consisting of three (3) sectors with four (4) antennas per sector for a total of twelve (12) antennas, thirty-six (36) remote radio heads, six (6) surge suppressors and on (1) GPS antenna. No exterior lighting is proposed for the site. 2.2.2. Hours of Operation. Besides the initial construction activity, the facility will be serviced by AT&T technicians on a periodic basis. It is reasonable to expect routine maintenance and inspection of the facility once a month during normal working hours. Beyond this intermittent service, AT&T will require 24-hour access to the facility to ensure that technical support is immediately available if, and when, warranted. 2.2.3. Ground equipment. All ground equipment will be constructed within the 616 sq ft equipment compound. The ground equipment will be enclosed within a prefabricated 20ft x 12ft walk-in, air-conditioned shelter mounted on a raised concrete pad. A backup 30kW AC generator with a 148 -gallon tank will also be housed within the enclosed shelter. The emergency generator is Tier 4 Final EPA -Certified for Stationary Emergency and Non -Emergency Applications. The fuel tank will be monitored and maintained by AT&T's technicians. 2.3. Project Environment and Impacts A National Environmental Policy Act Screening Report ("NEPA Screening Report") was completed for the proposed facility by Environmental Assessment Specialists, Inc. on February 12, 2021 to evaluate the proposed wireless facility in accordance with Federal ATTACHMENT 1—Project Narrative AT&T's Application—HIL03345 Leilani Estates Page 5 of 19 Communications Commission (FCC) NEPA implementing rules (47 CFR §1.1301-1.1320) to determine if it may have a significant environmental effect for which an Environmental Assessment (EA) is required. (See Attachment 11—NEPA Screening Report) Based upon the results of the assessment, the Wireless Facility will not result in a significant environmental effect per §1.1307(a) of FCC NEPA Rules. As such, the preparation of an Environmental Assessment for these criteria is not required. Please refer to the NEPA Summary Checklist, Section 2.0, and the attachments for complete details of EBI's evaluation in Attachment 11—NEPA Screening Report. 2.3.1. Natural Resources Review A Biological Resources Impact Analysis of the Property was conducted by Environmental Assessment Specialists, Inc. in February 2021 (See Attachment 11—NEPA Screening Report). The review included examination of federal and state databases of species and critical habitats and a field reconnaissance survey. The proposed site will be installed within an area of the property that has previously been disturbed and is covered by ornamental and ruderal vegetation. Common species observed in the project area are mainly grasses, shrubs, and native shrubs and trees like, Kawelu grasses, Pamakani, koa trees 'uki'uki, and 'A'ali'i. The project site is located within a heavily disturbed grassland area of Camp Kiliohana and does not contain habitat for any of the listed sensitive wildlife species. The surrounding area may provide habitat for wildlife species that commonly occur in rolling hills west of Mauna Kea but will not be affected by the installation of this proposed facility. 2.3.1.1. Wilderness Areas The project area and vicinity is not located within a federal -designated Wilderness Area. Please refer to Attachment 11—NEPA Screening Report for relevant supporting documentation. 2.3.1.2. Wildlife Preserves The project area is not located within a federal -designated Wildlife Preserve. Please refer to Attachment 11—NEPA Screening Report for relevant supporting documentation. 2.3.1.3. Protected Species and Critical Habitats Environmental Assessment Specialists, Inc. utilized on-line U.S. Fish and Wildlife Service (USFWS) information to identify federal -listed threatened and endangered species and designated critical habitat that are known to occur within the vicinity See Attachment 11—NEPA Screening Report). Environmental Assessment Specialists, Inc. also reviewed the USFWS Critical Habitat Portal online mapping tool ATTACHMENT 1—Project Narrative AT&T's Application—HIL03345 Leilani Estates Page 6 of 19 to identify critical habitats within the immediate project vicinity. EBI also evaluated State -protected species and habitat data to evaluate whether either might be present in the project vicinity. The USFWS provided the Biosecurity Protocol - Hawaii Island for operating on Hawaii island that includes recommendations to prevent the introduction of invasive species. Waters of the U.S. - During the biological assessment survey, the site was evaluated according to the guidelines provided in the USACE 1987 Manual (i.e. Environmental Laboratory, 1987). Waters of the U.S. were absent from the site; no water bodies having a perceptible OHWM were identified on site or adjacent to the site. Wetlands - The proposed project will be contained within the previously disturbed landscape. No jurisdictional wetlands will be impacted by the installation of the proposed facility. Special Status Species - Special status species are native species that have been accorded special legal or management protection because of concern for their continued existence. The Species List for the Keamuku, HI USGS quadrangle provided by the U.S Fish & Wildlife, Pacific Islands (USFW 2021) lists (0) sensitive plant species, (8) sensitive wildlife species and (0) sensitive plant communities. Plants - There are no sensitive plant species within the project vicinity and the proposed facility is not anticipated to result in any impacts to sensitive plant species. No sensitive plant communities occur on the project site. Wildlife - The sensitive wildlife species listed for the Keamuku, HI USGS quadrangle include Hawaiian goose (Branta sandvicensis); Hawaiian hoary bat (Lasiurus cinereus semotus); Hawaiian petrel (Pterodroma sandwichensis), Hawaii DPS band-rumped storm -petrel (Oceanodroma castro) Blackburn's sphinx moth (Manduca blackburni), Hawaiian hawk (Buteo solitarius), Palila (Loxioides baillieu) and the threatened Newell's shearwater (Puffinus auricularis newelli). No portions of the proposed facility contain the important habitat suitability elements for any of the above -listed sensitive wildlife species; none are likely to occur within the proposed development footprint itself. The site consists of heavily disturbed grassland, and no small mammal burrows occur on the project site. Therefore, no direct impacts are anticipated to result to any sensitive wildlife species and their habitat from implementation of the proposed project. Camp Kilohana is adjacent to designated critical habitat for palila (USFWS 1977). The critical habitat abuts the Camp property along the length of its eastern boundary across Saddle Road from the proposed facility. Since the proposed facility is within the previously disturbed grassland of the camp and will not impact native habitats that constitute primary constituent elements (PCEs) as described in the critical habitat final rule, the proposed activities are not likely to adversely affect critical habitat. Environmental Assessment Specialists, Inc. determined no further ATTACHMENT 1—Project Narrative AT&T's Application—HIL03345 Leilani Estates Page 7 of 19 consultation is necessary regarding critical habitat. (See Attachment 11—NEPA Screening Report) Based on U.S. Fish and Wildlife Service (USFWS) Environmental Assessment Specialists, Inc. review the following measures are recommended to avoid and minimize project impacts to listed and endangered species: Palila - Hawaiian forest birds' current ranges are predominately restricted to montane forests above 3,500 ft in elevation due to habitat loss and threats at lower elevations. Hawaiian forest bird habitat has been lost due to development, agriculture, grazing, wildfire, and spread of invasive habitat -altering species. Forest birds are also affected by mosquito -borne diseases. Mosquitoes are not native to Hawaii; their occurrence increases in areas where ungulate presence results in small pools of standing water. Actions such as road construction and development increase human access and result in increased wildfire and invasive species threats. Grazing results in reductions in woody vegetation and increased grass cover, which reduces forest habitat quality and results in increased wildfire risk on the landscape. To avoid and minimize potential project impacts to palila and their habitat the USFWS and Environmental Assessment Specialists, Inc. recommend that: Removing tree cover during the peak breeding season between January 1 and June 30 should be avoided. Do not approach, feed, or disturb Palila. If Palila are observed within the project area, have a biologist familiar with the nesting behavior of Palila survey for nests in and around the project area prior to the resumption of any work. Cease all work immediately and contact the USFWS for further guidance if a Palila nest is discovered within a radius of 150 ft of proposed work. Hawaiian hawk (Buteo solitarius) is known to inhabit a broad range of forested areas throughout the Island of Hawaii. Breeding Season is between March 1— September 30th. The hawk depends on native forest for nesting from sea level to 8,530 feet above mean sea level (amsl). This is the only broad -winged hawk that breeds on the Big Island in trees greater than 30 feet tall. To avoid and minimize potential project impacts to Hawaiian hawk Environmental Assessment Specialists, Inc. recommends the following measures: If work must be conducted during the March 1 through September 30 Hawaiian hawk breeding season, have a biologist familiar with the species conduct a nest search of the project footprint and surrounding areas immediately prior to the start of construction activities. ATTACHMENT 1—Project Narrative AT&T's Application—HIL03345 Leilani Estates Page 8 of 19 No clearing of vegetation or construction activities should occur within 1,600 feet of any active Hawaiian hawk nest during the breeding season until the young have fledged. Hawaiian hoary bat (Lasiurus cinereus semotus) roosts in both exotic and native woody vegetation taller than 15 feet, foraging in trees and shrubs from as low as 3 feet from the ground to higher than 500 feet. Birthing and pup rearing season fall between June 1st — September 15th. This elusive bat is found primarily from sea level to 13,000 feet msl on the island of Hawaii. To minimize the impacts to the endangered Hawaiian hoary bat, Environmental Assessment Specialists, Inc. recommends woody plants greater than 15ft tall should not be disturbed, removed, or trimmed during the bat birthing and pup rearing season (June 1 through September 15). Site clearing should be timed to avoid disturbance to Hawaiian hoary bats in the project area. Hawaiian goose (nene, Branta sandvicensis) prefers open areas such as pastures, golf courses, beach strands, wetlands, natural grasslands, shrublands, and lava flows. It nests on the ground in ruderal vegetation and breeds from September—April. It ranges from coastal lowlands to alpine areas occurring from sea level to 7,800 feet msl. To avoid and minimize potential project impacts to Hawaiian geese Environmental Assessment Specialists, Inc. recommends the following measures: Do not approach, feed, or disturb Hawaiian geese. If Hawaiian geese are observed loafing or foraging within the project area during the breeding season (September through April), a biologist familiar with Hawaiian goose nesting behavior should survey for nests in and around the project area prior to the resumption of any work. Repeat surveys after any subsequent delay of work of 3 or more days (during which the birds may attempt to nest). Cease all work immediately and contact the Service for further guidance if a nest is discovered within a radius of 150 feet of proposed project, or a previously undiscovered nest is found within the 150 -foot radius after work begins. In areas where Hawaiian geese are known to be present, post and implement reduced speed limits, and inform project personnel and contractors about the presence of endangered species on-site. Hawaiian petrel, Newell's shearwater, and band-rumped storm petrel. Hawaiian seabirds may traverse the project area at night during the breeding, nesting and fledging seasons (March 1 to December 15). Outdoor lighting could result in seabird disorientation, fallout, and injury or mortality. Seabirds are attracted to lights and after circling the lights they may become exhausted and collide with nearby wires, buildings, or other structures or they may land on the ground. Downed seabirds are subject to increased mortality due to collision with automobiles, starvation, and ATTACHMENT 1—Project Narrative AT&T's Application—HIL03345 Leilani Estates Page 9 of 19 predation by dogs, cats, and other predators. Young birds (fledglings) traversing the project area between September 15 and December 15, in their first flights from their mountain nests to the sea, are particularly vulnerable. To avoid and minimize potential project impacts to seabirds Environmental Assessment Specialists, Inc. recommends the following measures: Construction activities should only occur during daylight hours. Any increase in the use of nighttime lighting, particularly during peak fallout period (September 15 through December 15, could result in additional seabird injury or mortality. If lights cannot be eliminated due to safety or security concerns, then they should be positioned low to the ground, be motion triggered, and be shielded and/or full cut-off. Effective lighting shields should be completely opaque, sufficiently large, and positioned so that the bulb is only visible from below. Blackburn's sphinx moth adults feed on nectar from native plants, including Ipomoea pescaprae (beach morning glory), Plumbago zeylanica ('ilie'e), Capparis sandwichiana (maiapilo), and others. Blackburn's sphinx moth larvae feed on non- native tree tobacco (Nicotiana glauca) and native Nothocestrum spp. ('aiea). To pupate, the larvae burrow into the soil and can remain in a state of torpor for a year or more before emerging from the soil. Soil disturbance can result in death of the pupae. The USFWS recommends the following: A biologist familiar with the species should survey areas of proposed activities for Blackburn's sphinx moth and its larval host plants prior to work initiation. Surveys should be conducted during the wettest portion of the year (usually November -April or several weeks after a significant rain) and within 4-6 weeks prior to construction. Surveys should include searches for adults, eggs, larvae, and signs of larval feeding chewed stems, frass, or leaf damage). If moths, eggs, larvae, or native 'aiea or tree tobacco over 3 feet tall, are found during the survey, the USFWS should be contacted for additional guidance. 2.3.2. Archaeology, Historic, and Cultural Resources. A cultural resources literature review, field inspection, and consultation with native Hawaiian organizations was completed by ASM Affiliates (ASM) in November 2020 Attachment 11 -NEPA Screening Report). An announcement of the proposed project and request for information on historical resources in the area was posted in the Hawaii Herald -Tribune on 9/16/20. No significant historic properties or National Register - eligible historic properties were identified in the lease area or its vicinity. The State Historic Preservation Division on January 11, 2021 concurred with the determination of the NEPA Screening Report of "No Historic Properties Affected" pursuant to HAR §13- 284-7(a)(1) and 36 CFR 800.4(d)(1). ATTACHMENT 1—Project Narrative AT&T's Application—HIL03345 Leilani Estates Page 10 of 19 2.3.3. Visual Impacts. The proposed tower is set back 110 feet from Saddle Road adjacent to the Camp Kilohana dirt service road. Camp Kilohana has many mature trees surrounding the proposed monopine location. The stealth monopine is designed to blend with the existing tree cover and surroundings of the camp. It is anticipated that the monopine will not be overtly visible from Saddle Road and there will be minimal visual impacts to the community. (See Attachment 6—Site Photos). 2.3.4. Public Services, Utilities, and Traffic. The proposed project does not require wastewater disposal or water facilities. The proposed project does not require public parking or traffic control measures. The unmanned facility only requires periodic maintenance and will not generate addition& traffic in the area. Electrical power and backhaul will be accessed through existing overhead power lines. The location, size, design and operating characteristics of the proposed communications facility will not create unusual noise, traffic or other conditions or situations that may be objectionable, detrimental or incompatible with other permitted uses in the vicinity, in particular: The equipment associated with the facility operates virtually noise -free. The equipment does not emit fumes, smoke, dust, wastewater or odors. The equipment does not require water, or sewage disposal. The facility is unmanned and requires only periodic maintenance. The proposed facility will not result in conditions or circumstances contrary to the public health, safety and general welfare in that advanced technologies, such as wireless telecommunications, are an asset to local businesses and individual customers. All AT&T telecommunications facilities operate in full compliance with the regulations and licensing requirements of the Federal Communications Commission (FCC) and the Federal Aviation Administration (FAA). 2.3.5. Radio Frequency Radiation. A Maximum Permissible Exposure (MPE) study (see Attachment 4—MPE Report) was completed by Sitessafe, RF Compliance Experts for the proposed Facility to determine if the Facility would comply with FCC regulations. Sitesafe determined that the maximum cumulative simulated RFE Level at ground level would be < 1% General Public Limit. Upon evaluation of the cumulative RF emission levels from all operators at this site, RF hazard signage and antenna locations, SiteSafe determined that: ATTACHMENT 1—Project Narrative AT&T's Application—HIL03345 Leilani Estates Page 11 of 19 AT&T Mobility, LLC will be compliant when the remediation recommended in Section 5.2 or other appropriate remediation is implemented. The compliance determination is based on General Public RFE levels derived from theoretical modeling, RF signage placement, proposed antenna inventory and the level of restricted access to the antennas at the site. Any deviation from the AT&T Mobility, LLC's proposed deployment plan could result in the site being rendered non- compliant. Required Changes include: Monopole Access Location 1) Yellow Caution 2B sign required at structure access. 2.3.6. Flood Hazards The Property is in Flood Hazard Zone X: "Areas determined to be outside the 0.2% annual chance floodplain" (see Attachment 12—Flood Hazard Report). 2.3.7. Community Engagement An announcement of the proposed project and request for information on historical resources in the area was posted in the Hawaii Herald -Tribune on 9/16/20. There are no residential properties near Camp Kilohana and the surrounding properties are undeveloped. Adjacent property owners within 500' were notified of the proposed project. (See Attachment 9—List of Property Owners). 3. AT&T NETWORK COVERAGE AND SERVICES 3.1. Overview—AT&T 5G and 4G LTE AT&T is upgrading and expanding its wireless communications network to support the latest 5G and 4G LTE technology. 5G and 4G stand for "5th Generation" and "4th Generation" and LTE stands for "Long Term Evolution." These acronyms refer to the ongoing process of improving wireless technology standards, which is now in its 5th generation. With each generation comes improvement in speed and functionality -4G LTE offers speeds up to ten times faster than 3G and 5G offers speeds up to 1 -gigabit per second (See Attachment -3 RF Justification). This technology is the next step in increasing broadband speeds to meet the demands of uses and the variety of content accessed over mobile networks, and is necessary to facilitate capabilities that are being designed into the latest devices (i.e. Samsung Galaxy S20, iPhone 12). ATTACHMENT 1—Project Narrative AT&T's Application—HIL03345 Leilani Estates Page 12 of 19 5G, specifically, is the next generation of wireless technology expected to deliver latency and capacity enhancements that will help enable revolutionary new capabilities for consumers and businesses. There are several components of 5G wireless technology and separate bands of wavelength spectrum used to build a 56 network: Low -band 5G. Low -band 5G frequencies (generally below 2GHz) are the oldest cellular and TV) frequencies and are being used by AT&T to provide widely -available 5G service in residential, suburban, and rural areas. This is the same spectrum used for 3G and 4G today. The low -band 850MHz SG frequency is proposed for this Facility. Low -band SG frequencies are a tradeoff of download speed versus distance and service area—they are slower than the high -band mmWave and mid -band frequencies, but they travel the farthest and can pass through more obstacles to provide a better, more reliable indoor and outdoor signal for a larger service area (i.e., miles, not feet). Mid -band 5G. Mid -band 5G frequencies (generally 3-10GHz) cover most current cellular and WiFi frequencies and provide broader coverage than high -band mmWaves (typically a half a mile), but with slower speeds. Use of these frequencies is not as prevalent for building a 5G network as much of the bandwidth in this range is currently unavailable. High -band 5G+ mmWave. High -band millimeter wave (mmWave) frequencies (generally 20-100GHz) are the new FCC -approved frequencies most associated with 5G service— 5G+" is AT&T's name for 5G service delivered using high -band mmWave spectrum. AT&T offers an enhanced wireless experience on 5G+ with mmWave service though with more limited coverage. Results continue to be impressive, with peak download speeds up to 1 gigabit per second (Gbps) - fast enough to stream 41( movies. High -band mmWave frequencies deliver this unprecedented performance by transmitting a large amount of data more efficiently than 4G LTE, but can only travel short distances (-1,000ft). Accordingly, high -band mmWave sites need to be in close proximity to one another and are typically used in dense, high trafficked areas such as urban areas, stadiums/arenas, airports, manufacturing and healthcare centers, etc. 5G wireless technology also includes enhanced network radio protocols and other improvements in data transmission that allow the network to more efficiently use the same frequencies currently used today for 4G. As noted, AT&T is proposing to deploy low -band 850MHz 5G at this Facility. Upon completion, the Facility will become part of AT&T's statewide and nationwide communications networks. 3.2 Statement of Objectives for Proposed Facility This proposed Facility meets AT&T's service objectives (providing outdoor, in -vehicle, and in- ATTACHMENT 1—Project Narrative AT&T's Application—HIL03345 Leilani Estates Page 13 of 19 building wireless coverage) by filling a gap in AT&T's 4G LTE network coverage experienced by its customers along Saddle Road between Waimea and Pohakuloa Training Area. The Facility also meets AT&T's objective to provide expanded FirstNet coverage for first responders (as further detailed in Section 4, below). In addition to expanding the 4G LTE network, this site will also expand AT&T's 5G network in support of the next generation of wireless technology using low -band 850MHz 5G . (See Attachment 3—AT&T RF Justification). AT&T has determined a need for service in this geographic area through a combined analysis of market demand, service requests, radio frequency engineering design, and input from public safety officials. This proposed Facility will provide all AT&T/FirstNet customers with reliable wireless service in the Targeted Service Area, including fewer dropped calls, improved call quality, and emergency 911 calls. The FirstNet network will allow the utilization of the priority and preemption feature and wireless applications (Computer Aided Dispatch (CAD), Records Management System (RMS), Geographic Information System Mapping (GIS), etc.) for faster response and situational awareness, especially during emergency events. 4. FIRSTNET FirstNet is the country's first nationwide communications platform dedicated to public safety, representing a giant leap in communications capabilities for public safety personnel that will benefit the communities they serve. FirstNet gives first responders access to one highly secure, dedicated, interoperable network and ecosystem supporting voice, data, text, and video communications—technology they need to better communicate and collaborate across agencies and jurisdictions. The FirstNet Authority's mission is to provide and maintain a single, interoperable platform that consistently satisfies the demanding communications needs of the public safety community in Hawaii and across the country. New radio access network (" RAN") sites are essential to the success of the program and delivering the mission critical coverage public safety needs to communicate and save lives. FirstNet will enhance emergency communications for everyday use as well as for large-scale emergencies, weather events and other natural disasters that disrupt the state. For example, Hawaii County Fire Department (HCFD) uses the FirstNet network to view real-time data related to emergency conditions prior to their arrival on site. Similarly, Hawaii County Police Department (HCPD) utilizes the FirstNet network in concert with the County owned Land Mobile Radio (LMR) system to provide communications and rapid access to data. 4.1. FirstNet Authority The First Responder Network Authority ("FirstNet Authority") is an independent authority within the U.S. Department of Commerce. Chartered in 2012, the FirstNet Authority is charged with carrying out public safety's vision of FirstNet, bringing first responders a dedicated communications ecosystem. The FirstNet Authority consulted extensively with each state, ATTACHMENT 1—Project Narrative AT&T's Application—HIL03345 Leilani Estates Page 14 of 19 tribes, local governments, and the public safety community regarding how FirstNet will be deployed. 4.2. AT&T FirstNet Partnership Through a first -of -its -kind public-private partnership with FirstNet, AT&T is responsible for building, maintaining, operating, and upgrading FirstNet for the next 25 years. AT&T is upgrading its existing wireless sites and building new wireless facilities to deploy the wireless spectrum set aside for public safety—Band 14. Band 14 is designed to be reliable, functional, safe, and secure and provide optimal levels of operational capacity at all times. Additionally, as of January 1, 2018, FirstNet users have access to FirstNet on all AT&T commercial LTE bands, allowing them to also benefit from AT&T's overall improvements to its commercial network. Simply put, FirstNet provides public safety users with the assurance of network access whenever they need it. Accordingly, AT&T must closely consider location, lease, and facility requirements for the siting, placement, and operation of FirstNet facilities to ensure that, over the course of its 25 -year partnership, appropriate accommodations can be made to support the evolving mission -critical services of FirstNet. In August 2017, Governor Ige opted into the FirstNet Authority plan for RAN deployment in Hawaii and thus authorizing construction of the FirstNet network in areas of the state where public safety needs coverage and capacity. By opting -in, Governor Ige enabled public safety to rapidly access broadband services in Hawaii, while also allowing the prompt buildout and deployment of the network which began in March of 2018. His decision also directed the FirstNet Authority to take on all the risks, costs, and responsibilities associated with deploying the network in Hawaii for 25 years and take immediate steps to make prioritized services and features available to public safety in the state. 4.3. FirstNet Coverage FirstNet, built by AT&T, will span all 50 states, five U.S. territories, and the District of Columbia, including rural communities and tribal lands in those states and territories. As an all -band solution, FirstNet is built on AT&T's commercial LTE bands in addition to Band 14. This gives FirstNet users access to even more coverage and capacity. 4.4. FirstNet Core FirstNet is a separate communications platform operating on a physically separate, dedicated core that is purpose-built for public safety based on their specifications and requirements. The FirstNet core is built on physically separate hardware, which effectively separate public safety's traffic from commercial traffic. The FirstNet core is also monitored 24/7/365 by a dedicated Security Operations Center with a dedicated team of experts. 4.5. Priority and Preemption A key differentiator of FirstNet is always -on priority and preemption with multiple priority ATTACHMENT 1—Project Narrative AT&T's Application—HIL03345 Leilani Estates Page 15 of 19 levels that primary users can allocate as needed. This technology is available to FirstNet users over the AT&T LTE commercial bands and Band 14. Priority means first responders connect first. Priority moves first responders to the front of the communications line," prioritizing their network needs—they don't have to compete with non -emergency users for a connection. Preemption goes a step further to make sure first responders can access FirstNet when they need to, 24/7/365. Preemption helps ensure first responders have the bandwidth they need, when they need it most—when the communications line becomes crowded, preemption shifts non -emergency traffic, freeing up space for FirstNet users to easily get through. Calls or texts to 911 will never be preempted or shifted from the network. 5. SEARCH RING AT&T's radio frequency ("RF") engineers performed an RF engineering study, considering multiple objectives, to determine the approximate site location and antenna height required to fulfill the noted network objectives for the Targeted Service Area. From this study, AT&T's RF engineers identified a "search ring" area where a wireless facility may be located to provide effective service in the target coverage area. This includes vital coverage under the FirstNet program for First Responders. The search ring established for this proposal, and a description of the methodology used to identify the search ring, is provided in Attachment 3 -RF Justification. 6. ALERNATIVE ANALYSIS AT&T considers all siting possibilities within, and adjacent to, a search ring to determine the best location for a new facility to meet AT&T's service objectives for the Targeted Service Area. AT&T will first attempt to utilize an existing tower or structure for collocation at the desired antenna height. If an existing tower or structure is not available or determined to be infeasible, AT&T will then propose a new tower. For this proposed Facility, AT&T's construction and real estate group, with the assistance of outside consultants, thoroughly analyzed all siting options and requirements, as outlined below, and did not identify any available and/or feasible alternative locations within the search ring to locate the proposed new Facility. AT&T's RF engineers evaluated two alternative site locations within the targeted search ring as possible locations for the proposed new WCF. Alternative Site #1 Waiki'i Ranch, 67-1026 Palekaiko Rd Waimea, HI 96743: Raw land build of a 100 -foot tower with a private landowner located approximately 3.1 miles north from the proposed new tower location. The site has an approximate elevation of 4730 ATTACHMENT 1—Project Narrative AT&T's Application—HIL03345 Leilani Estates Page 16 of 19 feet AMSL. This alternative location was not selected because it is at a lower elevation and does not close the coverage gap toward the existing site in Pohakuloa. The proposed location is further south and closer to Pohakuloa. Alternative Site #2 Lightning Trail, Waimea, HI 96743: Raw land build of a 100 -foot tower on State of Hawaii owned and Federally leased property approximately 1.6 miles south from the proposed new tower location. This site has an approximate elevation of 5490 feet AMSL. The proposed location is at a higher elevation (5654 AMSL) and would provide better coverage along Saddle Road toward the existing site in Pohakuloa. This site was also not selected because it is in the Conservation District. 7. APPLICABLE LAW 7.1. Local Codes 7.1.1. Use Permit Pursuant to Chapter 25 section 25-2-61 of the Hawaii County Code relating to Zoning the following uses shall be permitted within designated County zoning districts only if a use permit is obtained for the use from the commission. 11) Telecommunication antennas and towers in RS, RD, RM, RCX, RA, FA, A and IA districts." Also, under Chapter 25 section 25-4-12 of the Hawaii County Code relating to Telecommunications antennas or towers states "a telecommunication antenna or tower may be permitted in all districts, except RS, RD, RM, and RCX districts; provided that the antenna, tower and its use are not hazardous or dangerous to the surrounding area and the director has issued plan approval for such use. A telecommunication antenna or tower may be permitted in the RS, RD, RM and RCX districts if a use permit is obtained for such use." In accordance with the above County Codes, AT&T requests approval of a Use Permit for a new telecommunication facility at the proposed site. See Attachment 2—Statement of Code Compliance for AT&T's demonstration of compliance with the applicable code. 7.2. State of Hawaii Law Chapter 205-4.5 HRS, Permissible uses within the state agricultural district. State Land Use Chapter 205-4.5, HRS, and Chapter 205-5(b) define permissible uses within the state agricultural district and authorize the County of Hawaii to determine uses by zoning ordinance. The Hawaii County zoning for the subject property is A -40a which allows for telecommunications antennas with a Use Permit. See Attachment 2—Statement of Code Compliance for AT&T's demonstration of compliance with the applicable code. 7.3. Federal Law Federal law, primarily found in the Telecommunications Act of 1996 ("Telecom Act"), ATTACHMENT 1—Project Narrative AT&T's Application—HIL03345 Leilani Estates Page 17 of 19 acknowledges a local jurisdiction's zoning authority over proposed wireless facilities but limits the exercise of that authority in several important ways. Local jurisdictions may not materially limit or inhibit. The Telecom Act prohibits a local jurisdiction from taking any action on a wireless siting permit that "prohibit[s] or [has] the effect of prohibiting the provision of personal wireless services." 47 U.S.C. § 332(c)(7)(B)(i)(II). According to the Federal Communications Commission ("FCC") Order adopted in September 2018,2 a local jurisdiction's action has the effect of prohibiting the provision of wireless services when it "materially limits or inhibits the ability of any competitor or potential competitor to compete in a fair and balanced legal and regulatory environment."3 Under the FCC Order, an applicant need not prove it has a significant gap in coverage; it may demonstrate the need for a new wireless facility in terms of adding capacity, updating to new technologies, and/or maintaining high quality service.' While an applicant is no longer required to show a significant gap in service coverage, in the Ninth Circuit, a local jurisdiction clearly violates section 332(c)(7)(B)(i)(II) when it prevents a wireless carrier from using the least intrusive means to fill a significant gap in service coverage. T -Mobile U.S.A., Inc. v. City of Anacortes, 572 F.3d 987, 988 (9th Cir. 2009). Significant Gap. Reliable in -building coverage is now a necessity and every community's expectation. Consistent with the abandonment of land line telephones and reliance on only wireless communications, federal courts now recognize that a "significant gap" can exist based on inadequate in -building coverage. See, e.g., T -Mobile Central, LLC v. Unified Government of Wyandotte County/Kansas City, 528 F. Supp. 2d 1128, 1168-69 (D.Kan. 2007), affirmed in part, 546 F.3d 1299 (10th Cir. 2008); MetroPCS, Inc. v. City and County of San Francisco, 2006 WL 1699580, `10-11 (N.D. Cal. 2006). Least Intrusive Means. The least intrusive means standard "requires that the provider 'show that the manner in which it proposes to fill the significant gap in service is the least intrusive on the values that the denial sought to serve.'" 572 F.3d at 995, quoting MetroPCS, Inc. v. City of San Francisco, 400 F.3d 715, 734 (9th Cir. 2005). These values are reflected by the local code's preferences and siting requirements. 2 Accelerating Wireless and Wireline Broadband Deployment by Removing Barriers to Infrastructure Investment, Declaratory Ruling and Third Report and Order, WT Docket No. 17-79, WC Docket No. 17-84, FCC 18-133(ret Sept 27, 2018); 83 Fed. Reg. 51867 Oct. 15, 2018) ("FCC Order"). 3 Id. at 11 35. Id. at 11134-42. ATTACHMENT 1—Project Narrative AT&T's Application—HIL03345 Leilani Estates Page 18 of 19 7.3.1. Environmental and health effects prohibited from consideration. Also, under the Telecom Act, a jurisdiction is prohibited from considering the environmental effects of RF emissions (including health effects) of the proposed site if the site will operate in compliance with federal regulations. 47 U.S.C. § 332(c)(7)(B)(iv). AT&T has included with this application a statement from its radio frequency engineers demonstrating that the proposed facility will operate in accordance with the Federal Communications Commission's RF emissions regulations. See Attachment 4—AT&T MPE Report. Accordingly, this issue is preempted under federal law and any testimony or documents introduced relating to the environmental or health effects of the proposed Facility should be disregarded in this proceeding. 7.3.2. No discrimination amongst providers. Local jurisdiction also may not discriminate amongst providers of functionally equivalent services. 47 U.S.C. § 332(c)(7)(B)(i)(I). A jurisdiction must be able to provide plausible reasons for disparate treatment of different providers' applications for similarly situated facilities. 7.4. Timeline for Review The following state and federal timelines for review apply to AT&T's Application for the proposed Facility, none of which are exclusive. 7.4.1. State timeline for review. AT&T's Application is also subject to the state timeline for review of broadband -related permits under Section 46-89 HRS. Section 46-89(a) HRS states: a) A county shall approve, approve with modification, or disapprove all applications for broadband -related permits within sixty days of submission of a complete permit application and full payment of any applicable fee. If, on the sixty-first day, an application is not approved, approved with modification, or disapproved by the county, the application shall be deemed approved by the county." Section 46-89(f) HRS states: f) If an application is incomplete, the county agency shall notify the applicant in writing within ten business days of submittal of the application. The notice shall inform the applicant of the specific requirements necessary to complete the application. The sixty-first day automatic approval provisions under subsection (a) shall continue to apply to the application only if the applicant satisfies the specific requirements of the notice and submits a complete application within five business days of receipt of the notice. ATTACHMENT 1—Project Narrative AT&T's Application—HIL03345 Leilani Estates Page 19 of 19 Section 46-89(h) states: h) For the purposes of this section, "broadband -related permits" means all county permits required to commence actions with respect to the installation, improvement, construction, or development of infrastructure relating to broadband service or broadband technology, including the interconnection of telecommunications cables, cable installation, tower construction, placement of broadband equipment in the road rights-of- way, and undersea boring, or the landing of an undersea communications cable. 7.4.2. Shot Clock. Finally, the Telecom Act requires local jurisdictions to act upon applications for wireless communications sites within a "reasonable" period of time. 47 U.S.C. § 332(c)(7)(B)(ii). The FCC has issued a "Shot Clock" rule to establish a deadline for the issuance of land use permits for wireless facilities. 47 C.F.R. § 1.6001, et seq. A presumptively reasonable period of time for a local government to act on all relevant applications for a "macro" wireless facility on a new structure is 150 days. 47 C.F.R. § 1.6003(c)(1)(iv). The Shot Clock date is determined by counting forward 150 calendar days from the day after the date of submittal, including any required pre -application period. 47 C.F.R. § 1.6003(e). Pursuant to federal law, the reasonable time period for review of this application is 150 days. ATTACHMENT 2 - STATEMENT OF CODE COMPLIANCE STATEMENT OF CODE COMPLIANCE CONDITIONAL USE PERMIT HIL03359 SADDLE ROAD 3 Submitted to Hawaii County Planning Commission and County of Hawaii Planning Department AT&T's proposal complies with all requirements of Hawaii County Codes, which are addressed in this Statement of Code Compliance in the following order: Requirements for the New Wireless Facility Use Permit Chapter 25-2-61, Table: Permitted Uses by Zoning District County of Hawaii Planning Department Rules of Practice and Procedure Telecommunications Towers Attachment to Special Permit or Use Permit Applications State Land Use Chapter 205-4.5 HRS – Permissible uses within the state agricultural district. Department of Business, Economic Development, and Tourism, Hawaii Revised Statues (HRS) Chapter 15-15-95, Land Use Commission Rules Hawaii State Planning Act–Title 13 Chapter 226-10.5 Objectives and policies for the economy—information technology industry. PLEASE NOTE: AT&T's responses to the above referenced criteria are indicated below each applicable provision in the bold italicized blue text below. Wireless Facilities Requirements HAWAII COUNTY—CHAPTER 25 -ZONING CODE Use Permit T 111111..11 25-1-5 Definitions. "Telecommunications Antenna," Telecommunications antenna" means an antenna, tower and other accessory structures for radio frequency (RF) transmissions intended for specific users who must have special equipment for transmission and/or reception. Also included are broadcasting facilities regulated by the Federal Communication Commission (FCC) under the Code of Federal Regulations, par. 74, which includes low power television. Included are land -mobile or two-way radio, and one-way radio paging service broadcasting. Also included are independent receiving facilities which do not qualify as accessory uses. Not included are portable, hand held and vehicular transceivers or radios; industrial, scientific and medical equipment operating at frequencies designated for that purpose by the Federal Communications Commission (FCC); marketed consumer products, such as microwave ovens, citizens band radios, ham radios and remote control toys; and facilities for the receiving of these transmissions, including individual radio and television appliances. AT&T Response: Applicant is proposing to construct a new freestanding antenna structure so the use is classified as a Telecommunication antenna. Division 6. Use Permits Sec. 25-2-61 Applicability: use permit required. 10) Telecommunication antennas and towers in RS, RD, RM, RCX, RA, FA, A, IA and 0 districts. AT&T Response: Per Table above, the use proposed is a telecommunication facility which is an allowed use in the A district with a Use Permit. The application is accompanied by a site plan - See Attachment 8 Zoning Drawings. Sec. 25-2-62. Application for use permit; requirements. a) An application for a use permit shall be made to the commission, in accordance with its rules, on a form prescribed by the commission. AT&T Response: The application is being submitted to the Commission in accordance with its rules with the prescribed Use Permit application form and format. b) The application shall be accompanied by: 1) A filing fee of $500; AT&T Response: A filing fee of $500 is included with this application. 2) A description of the property in sufficient detail to determine the precise location of the property involved; AT&T Response: A description of the property is included in the Project Narrative (See Attachment 1) and on the Zoning Drawings (See Attachment 8 Zoning Drawings). 3) A plot plan of the property, drawn to scale, with all existing and proposed structures shown thereon; AT&T Response: A plot plan is included on the Zoning Drawings (See Attachment 8). 4) A list of names, addresses and tax map key numbers for those owners and lessees of record of surrounding properties who are required to receive notice under section 25-2-4; AT&T Response: The list of names, addresses, and tax map numbers for owners and lessees of record of surrounding properties within a 500' radius is included in Attachment 10. 5) A written description of the proposed use and a statement of objectives and reasons for the request, including an analysis of how the request satisfies each of the standards contained in section 25-2-65. AT&T Response: A project narrative is included in Attachment 1. The analysis of how the request satisfies each standard in section 25-2-65 is included in this Statement of Code Compliance (see below). Sec. 25-2-63. Procedure for use permit. a) Upon acceptance of a use permit application, the commission shall fix a date for a public hearing. The public hearing shall be commenced no later than ninety days after the acceptance of a use permit application by the director. AT&T Response: Acknowledged. b) The applicant shall serve notice of the use permit application on surrounding owners and lessees of record as provided by section 25-2-4. The applicant shall also serve notice on owners and lessees of record interests in other properties which the commission may find to be directly affected by the use permit sought. The applicant shall also post a sign for public notification on the property as provided by section 25-2-12. AT&T Response: AT&T will serve notice to those listed in Attachment 10 and to those identified by the commission. A notice will be posted on the property as provided by section 25-2-12. c) Prior to the public hearing, the commission shall publish notice of the public hearing in accordance with the requirements of this chapter. AT&T Response: Acknowledged. Section 25-2-65. Criteria for granting a use permit. A use permit may be granted by the commission upon finding that: 1) The granting of the proposed use shall be consistent with the general purpose of the zoning district, the intent and purpose of this chapter, and the general plan; AT&T Response: The proposed use is included as a permitted use within Zoning District A. The proposed Facility is also consistent with the county's general plan. As stated in the County of Hawaii General Plan Overview, "The General Plan for the County of Hawaii strives to position Hawaii Island for economic progress while preserving the environment and strengthening community foundation." The proposed Facility will also provide greater communications capability in remote areas, as envisioned in The Hamakua Community Development Plan, Sec. 5.14: Enhance Telecommunications & Energy Infrastructure courage enhancement of cell phone service to expand coverage to more remote areas. Sec. 5.14.1 Community Objective 6 states, "Develop and improve critical community infrastructure, including utilities, healthcare, emergency services, affordable housing, educational opportunities and recreational facilities to keep our ohana safe, strong, and healthy." Similarly, the plan includes prioritization of rural broadband development in Kokua Action 64, "Prioritize rural broadband access in undeveloped areas in Planning Area (e.g., rural and mauka areas)." Currently, there is insufficient wireless service within this specific area and this new site will provide reliable coverage to the immediate area. Increased cell phone coverage and service contributes to the general welfare of a community by facilitating contact with emergency responders and promoting better connectivity for residents, businesses and visitors. This proposed Facility would fill a gap in AT&T's 4G LTE network coverage experienced by its customers along Saddle Road between Waimea and Pohakuloa. The Facility also will provide expanded FirstNet coverage for first responders and expand AT&T's 5G network in support of the next generation of wireless technology (See Attachment 3— AT&T RF Justification). 2) The granting of the proposed use shall not be materially detrimental to the public welfare nor cause substantial, adverse impact to the community's character, to surrounding properties; and AT&T Response: Expanded and improved wireless service will be an asset to the general public, businesses, and public safety personnel and will contribute to the general welfare of the community. Additionally, all AT&T wireless facilities operate in full compliance with the regulations and licensing requirements of the Federal Communications Commission (FCC) and the Federal Aviation Administration (FAA). The proposed Facility will also not cause substantial, adverse impact to the community's character or surrounding properties. The proposed facility is designed as a stealth monopine tower and is setback 110 feet from Saddle Road to reduce the visual impact to the surrounding area. 3) The granting of the proposed use shall not unreasonably burden public agencies to provide roads and streets, sewer, water, drainage, schools, police and fire protection and other related infrastructure. The proposed project does not require wastewater disposal or water facilities. The proposed site does not require public parking or traffic control measures. The unmanned facility only requires periodic maintenance and will not generate additional traffic in the area. Electrical power and backhaul will be accessed through existing overhead power lines. The project proposes construction of minimal impervious surfaces within the lease area so potential impacts to drainage will be negligible. The location, size, design and operating characteristics of the proposed communications facility will not create unusual noise, traffic or other conditions or situations that maybe objectionable, detrimental or incompatible with other permitted uses in the vicinity, in particular: The equipment associated with the facility operates virtually noise -free. The equipment does not emit fumes, smoke, dust, wastewater or odors. The equipment does not require water, or sewage disposal. The facility is unmanned and requires only periodic maintenance. The proposed facility will not result in conditions or circumstances contrary to the public health, safety and general welfare in that availability of advanced technologies, such as wireless telecommunications, are an asset to local businesses and individual customers. The Facility will be part of the FirstNet Network used by Hawaii County First Responders. All AT&T telecommunications facilities operate in full compliance with the regulations and licensing requirements of the Federal Communications Commission (FCC) and the Federal Aviation Administration (FAA). Section 25-4-12. Telecommunication antennas or towers. a) A telecommunication antenna or tower shall be permitted in the V, CN, CG, CV, MCX, ML, MG and CDH districts; provided that the antenna, tower, and its use are not hazardous or dangerous to the surrounding area and the director has issued plan approval for such use. A telecommunication antenna or tower may be permitted in the RS, RD, RM, RCX, RA, FA, A, IA, and 0 districts if a use permit is obtained for such use. Where there is an existing telecommunication tower, co - location of additional antenna or equipment will be permitted provided the director has issued plan approval for such use. AT&T Response: The proposed telecommunications tower is in the A district. A Use Permit application for the facility is included in this proposal. b) The minimum setbacks for a telecommunication antenna and tower are as follows: 1) Freestanding antennas and towers shall be set back from every property line a minimum of one foot for every five feet of antenna or tower height. AT&T Response: The proposed telecommunications tower is setback 110 feet from the property line. This meets the minimum setback requirement for a freestanding facility. 2) Telecommunication antennas and towers supported by guy wires shall be set back from every property line a minimum of one foot for every one foot of antenna or tower height. AT&T Response: There are no guy wires proposed for this facility. c) The tower, together with the initial antennas or other equipment proposed to be installed thereon, shall have a hard survivability for sustained winds of at least one hundred miles per hour. AT&T Response: The proposed tower, initial antennas, mounts, and supporting equipment will have a hard survivability for sustained winds of at least one hundred and twenty miles per hour. (See Attachment 8 Zoning Drawings). Hawaii County Code—Division 2. Heights. Section 25-5-73. Height limit. The height limit in the A district shall be thirty-five feet for any residential structure, including any single-family dwelling, or farm dwelling, and forty-five feet for all other structures. The director may, however, permit by plan approval, any nonresidential agricultural structures to be constructed to a height of one hundred feet, if the director determines that the additional height above the forty-five foot height limit is necessary. AT&T Response: Purseant to section 25-4-22, the proposed Facility as "telecommunication antennas" are exempt from these zoning district height limits, not to exceed 500 ft. The proposed Facility is 105 ft and qualifies for this height exemption. Section 25-4-22. Exemptions from height limitations: The following structures are exempt from zoning district height limits under the specified restrictions: c) Utility poles and lines and telecommunication antennas not to exceed five hundred feet from existing grade. AT&T Response: The proposed facility is a telecommunications antenna and will not exceed 500 feet from the existing grade. Therefore, it is exempt from zone height limitations. TELECOMMUNICATION TOWERS ATTACHMENT TO SPECIAL PERMIT OR USE PERMIT APPLICATIONS In addition to the requirements for submitting a Special Permit or Use Permit Application, please provide the following additional information when applying for a telecommunication tower: 1. What is your schematic plan for tower development on the Big Island? Provide a map and written description of these sites. Justify how this particular subject site plays an integral part in this overall plan. AT&T Response: Tower development planning is dependent on many factors including dynamic demand and capacity requirements, budget, and resource availability. This proposed site would provide important coverage for emergency responders under the FirstNet program along Saddle Road. The proposed site would fill a gap between AT&T's existing sites in Waikoloa Village, Puuanahulu and Pohakuloa (H1L03313, H1L03013, H1L03064). Further, area specific justification for this site are included in the RF Justification (See Attachment 3). 2. Building plans for the tower, certified by a structural engineer licensed in the State of Hawaii, verifying that the tower, together with initial antennas and other equipment proposed to be installed thereon for co- location, are structurally sound and wind, resistant. AT&T Response: Stamped Zoning Plans for the proposed telecommunications facility are included as Attachment 8. 3. A design plan for the tower and appurtenant structures, including discussion on tower selection and antennas, visual impacts, color, lighting, landscaping and safety. AT&T Response: The Project Narrative (See Attachment 1) and the Zoning Plans (See Attachment 8) for the proposed telecommunications facility include a discussion and design for the antennas, the visual impact, color, landscaping and safety. No exterior lighting is proposed for this facility. 4. A statement from the applicant that the request complies with the Federal Aviation Administration that the application has not been found to be a hazard to air navigation. AT&T Response: The FAA TOWAIR Determination Report is included as Attachment 5. 5. A statement from the applicant that the request complies with the regulations of the Federal Communications Commission, including requirements on radio frequency emissions, or a statement that no such compliance is necessary. AT&T Response: The proposed facility will comply with all FCC requirements for emissions. The statement of compliance with FCC requirements is included in Attachment 4. 6. A statement from the applicant that the proposed use will not interfere with the County of Hawaii public safety radio system. AT&T Response: The proposed facility will not interfere with the County of Hawaii Public Safety Radio System. (See Attachment 4 MPE report). 7. A statement from the applicant that space on the tower for co -location of antennas or attachments will be made available to other providers, if this can be done without substantial interference to the applicant's use of the tower. If you are an infrastructure company, a commitment from a minimum of two service providers shall be identified in the application. AT&T Response: Space on the tower will be made available for other qualified providers for colocation if it can be done without substantial interference to ATT&T's use of this tower. 8. A statement from the applicant that diligent, but unsuccessful efforts to install or co - locate the applicant's telecommunication antennas on existing towers or feasible antenna support structures have been made. Identify those sites that you have investigated and explain how those sites are inadequate and how the site selected is the least obtrusive. AT&T Response: There are no existing telecommunications facilities available for collocation. that address coverage needs along Saddle Road in the area of the proposed facility. (See Attachment 3 RF Justification). 9. Provide justification for the height of the proposed tower by including propagation maps for the coverage area at proposed the height and at a lower height if the proposed tower is more than 100 -feet tall. If the site involves increasing the height of an existing tower, provide propagation maps to show analysis of signal quality at the existing and proposed height. AT&T Response: Propagation maps showing coverage from a 50 foot tower and a 100 -foot tower are included in Attachment 3 RF Justification. The background and justification for design and development of this proposed site also is included in the RF Justification (See Attachment 3). 10. Have you met with adjacent landowners and/ or community regarding the development? Provide information regarding those meetings. AT&T Response: All adjacent landowners owners within a radius of 500' radius will be consulted pursuant to this application process. Please see Section 2.3.7— Community Engagement included in Attachment 1 — Project Narrative. The list of property owners is included in Attachment 9. STATE LAND USE CHAPTER 205, HRS and CHAPTER 226-10.5, HRS Chapter 205-4.5 HRS, Permissible uses within the state agricultural district. C) Within the agriculture district, all lands with soil classified by the land study bureau's detailed land classification as overall (master) productivity rating class C, D, E, or U shall be restricted to the uses permitted for agricultural districts as set forth in section 205-5(b). Chapter 205-5 (b) HRS Zoning. Within the agricultural districts, uses compatible to the activities described in section 205-2 as determined by the commission shall be permitted; provided that accessory agricultural uses and services described in sections 205-2 and 205-4.5 may be further defined by each county by zoning ordinance. AT&T Response: Permitted uses on this agricultural land are defined by the County of Hawaii Sec. 25-2-61 Applicability. The Hawaii County zoning for the subject property is A -40a. The proposed Facility is a wireless communication antenna that is allowed with a Use Permit. Chapter 226-10.5 HRS, Objectives and policies for the economy -information industry. a) Planning for the State's economy with regard to the information industry shall be directed toward the achievement of the objective of positioning Hawaii as the leading dealer in information businesses and services in the Pacific Rim. b) To achieve the information industry objective, it shall be the policy of this State to: 1) Encourage the continued development and expansion of the telecommunications infrastructure serving Hawaii to accommodate future growth in the information industry; 2) Facilitate the development of new business and service ventures in the information industry which will provide employment opportunities for the people of Hawaii; 3) Encourage greater cooperation between the public and private sectors in developing and maintaining a well- designed information industry; 4) Ensure that the development of new businesses and services in the industry are in keeping with the social, economic, and physical needs and aspirations of Hawaii's people; 5) Provide opportunities for Hawaii's people to obtain job training and education that will allow for upward mobility within the information industry; 6) Foster a recognition of the contribution of the information industry to Hawaii's economy; and 7) Assist in the promotion of Hawaii as a broker, creator, and processor of information In the Pacific. 8) Foster a recognition of the contribution of the information industry to Hawaii's economy; and 9) Assist in the promotion of Hawaii as a broker, creator, and processor of information in the Pacific. 17) Construction and operation of wireless communication antennas; AT&T Response: The proposed Facility would continue the development of telecommunications infrastructure, promote information technology businesses and services, and the overall growth of the information industry in Hawaii. The proposed project is in conformance with the goals, objectives and policies of Chapter 226, HRS, Hawaii State Planning Act, the Hawaii State Plan, as noted above. STATE OF HAWAII DEPARTMENT OF BUSINESS, ECONOMIC DEVELOPMENT, AND TOURISM HAWAII REVISED STATUES (HRS) CHAPTER 15-15-95, LAND USE COMMISSION RULES Chapter 15-15-95 Land Use Commission Rules Petition before county planning commission. (a) Any person who desires to use land within an agricultural or rural district for other than a permissible agricultural or rural use may petition the county planning commission of the county within which the land is located for a special permit. AT&T Response: The subject property is in the State Agricultural District. The proposed use is consistent with the State Ag designation of the property. The proposed Facility is in conformance with the above Land Use Commission Rules. ATTACHMENT 3 - RF JUSTIFICATION uoi; epi; i; sni b g PEOU aIppeS 65££ OIIH 0 Coverage Justification OVERVIEW AT& T is proposing to build a new wireless communication facility (" WCF" or " facility"), AT& T site HIL03359 Saddle Road, at Route 200 Saddle Road Waimea, Hawaii 96743 in the County of Hawaii. The elevation of the proposed site is 5654 ft AMSL. This proposed Facility meets AT& T' s service objectives ( providing outdoor, in - vehicle, and in - building wireless coverage) by filling a gap in AT& T' s 4G LTE network coverage experienced by its customers along Saddle Road between Waimea and Pohakuloa Training Area. The Facility also meets AT& T' s objective to provide expanded FirstNet coverage for first responders. AT& T has determined a need for service in this geographic area through a combined analysis of market demand, service requests, radio frequency engineering design, and input from public safety officials. In addition to expanding the 4G LTE network, this site will also expand AT& T' s 5G network in support of the next generation of wireless technology. AT& T is upgrading and expanding its wireless communications network to support the latest 5G and 4G LTE technology. 5G and 4G stand for " 5th Generation" and " 4th Generation" and LTE stands for " Long Term Evolution." These acronyms refer to the ongoing process of improving wireless technology standards, which is now in its 5th generation. With each generation comes improvement in speed and functionality - 4G LTE offers speeds up to ten times faster than 3G and 5G offers speeds up to 1 - gigabit per second. This technology is the next step in increasing broadband speeds to meet the demands of uses and the variety of content accessed over mobile networks and is necessary to facilitate capabilities that are being designed into the latest devices ( i.e. Samsung Galaxy S20, iPhone 12). 5G, specifically, is the next generation of wireless technology expected to deliver latency and capacity enhancements that will help enable revolutionary new capabilities for consumers and businesses. There are several components of 5G wireless technology and separate bands of wavelength spectrum used to build a 5G network: Low - band 5G. Low - band 5G frequencies ( generally below 2GHz) are the oldest cellular ( and TV) frequencies and are being used by AT& T to provide widely - available 5G service in residential, suburban, and rural areas. This is the same spectrum used for 3G and 4G today. The low - band 850MHz 5G frequency is proposed for this Facility. Low - band 5G frequencies are a tradeoff of download speed versus distance and service area— they are slower than the high - band mmWave and mid - band frequencies, but they travel the farthest and can pass through more obstacles to provide a better, more reliable indoor and outdoor signal for a larger service area ( i. e., miles, not feet). Coverage Justification— Con' t Mid - band 5G. Mid - band 5G frequencies ( generally 3- 10GHz) cover most current cellular and WiFi frequencies and provide broader coverage than high - band mmWaves ( typically a half a mile), but with slower speeds. Use of these frequencies is not as prevalent for building a 5G network as much of the bandwidth in this range is currently unavailable. High - band 5G+ mmWave. High - band millimeter wave ( mmWave) frequencies ( generally 20- 100GHz) are the new FCC - approved frequencies most associated with 5G service— " 5G+" is AT& T' s name for 5G service delivered using high - band mmWave spectrum. AT& T offers an enhanced wireless experience on 5G+ with mmWave service though with more limited coverage. Results continue to be impressive, with peak download speeds up to 1 gigabit per second ( Gbps) – fast enough to stream 4K movies. High - band mmWave frequencies deliver this unprecedented performance by transmitting a large amount of data more efficiently than 4G LTE, but can only travel short distances (- 1, OOOft). Accordingly, high - band mmWave sites need to be in close proximity to one another and are typically used in dense, high trafficked areas such as urban areas, stadiums/ arenas, airports, manufacturing and healthcare centers, etc. 5G wireless technology also includes enhanced network radio protocols and other improvements in data transmission that allow the network to more efficiently use the same frequencies currently used today for 4G. As noted, AT& T is proposing to deploy low - band 850MHz 5G at this Facility. Upon completion, the Facility will become part of AT& T' s statewide and nationwide communications networks. SEARCH RING AT& T' s radio frequency (" RF") engineers performed an RF engineering study, considering multiple objectives, to determine the approximate site location and antenna height required to fulfill the noted network objectives for the Targeted Service Area. From this study, AT& T' s RF engineers identified a " search ring" area where a wireless facility may be located to provide effective service in the target coverage area. This includes vital coverage under the FirstNet program for First Responders. prietary ernal Use Only) Not for use or disclosure outside the AT& T ' ani - s exce'. t.. und Coverage Justification— Con' t COVERAGE OBJECTIVE Figure A— Targeted Search Ring indicates the search ring AT& T' s RF engineers established for this proposed site. A discussion of the methodology AT& T' s RF engineers used to identify the search ring is included at the end of this RF Justification document. Figure B— Existing AT& T Coverage shows existing AT& T wireless services in the general area of the proposed new site, which demonstrates the current gap in coverage in the targeted service area. The red pushpin indicates the location of the proposed new WCF. The blue circle indicates the location of existing AT& T WCF sites; coverage from AT& T' s existing WCF sites is shaded in green. As can be seen, there is a coverage gap in all areas not shaded in green. Currently, the target coverage area has minimal to no 4G voice service and does not have adequate 4G LTE service. Figure C— Projected New AT& T Coverage identifies the projected coverage from the proposed new WCF with the requested antenna tip height of 100 ft. The proposed antenna tip height is the minimum necessary to help fill the coverage gap relative to nearby complementary wireless facilities and to support the FirstNet Network. This includes the existing towers at the proposed subject property that do not offer this height. This is also the height where an AT& T wireless device can be reliably used to make and receive telephone calls and use data service in the presence of varying signals. Figure D — Alternative Site Locations shows the location of each alternative site in relation to the proposed new site location. Figure G — Difference in coverage at preferred candidate location shows the reduced coverage area at the zone heights of 50 feet in comparison to the proposed antenna tip height of 100 feet. ANTENNAS AND EQUIPMENT To meet the above coverage objectives, this proposed site will contain up to 12 panel antenna, 24 RRH units, 6 surge protectors ( together with all associated accessory equipment). r Figure A— Targeted Search Ring HIL03359 Saddle Road 3 FirstNet NSB to improve and fill in coverage on Saddle Road from HIL03064 Pohakuloato Waikoloa and Puuanahulu. Best RSRP tRS EPREI level { dBm) > •- 90 IN Best RSRP IRS EPRE) Level ( dBm) > • 48 Best RSRP ( RS EPRE) Level tdBml > • 103 Best RSRP IRS EPRE) Level ( dBm) • -- 108 Best RSRP IRS EPR") Level ( demi > • - 113 Best RSRP { RS EPRE) Level ( dem) .... 116 al Best RSRP ( RS EPRE) Level ( dBm) > • 418 Best RSRP ( PS EPRE) Level ( dBm) > • 126 Figure B— Existing AT& T Coverage Targeted Service Area BEFORE Addition of Proposed New Wireless Facility Girl Scout Camp Kilohana AT& T HIL03359 Saddle Road 3) Legend ( Coverage Signal) Indoor Signal In - Vehicle Signal Z_ --,.V Outdoor Signal Figure C— Projected New AT& T Coverage Coverage AFTER Proposed AT& T Facility On - Air - 100 ft Antenna Tip Height Legend ( Coverage Signal) Indoor Signal In - Vehicle Signal Me Outdoor Signal Alternative Site Analysis AT& T considers all siting possibilities within, and adjacent to, a search ring to determine the best location for a new facility to meet AT& T' s service objectives for the Targeted Service Area. AT& T will first attempt to utilize an existing tower or structure for collocation at the desired antenna height. If an existing tower or structure is not available or determined to be infeasible, AT& T will then propose a new tower. For this proposed Facility, AT& T' s construction and real estate group, with the assistance of outside consultants, thoroughly analyzed all siting options and requirements, as outlined below, and did not identify any available and/ or feasible alternative locations within the search ring to locate the proposed new Facility. AT& T' s RF engineers evaluated two alternative site locations within the targeted search ring as possible locations for the proposed new WCF. Figure D— Alternative Site Locations shows the location of each alternative site in relation to the proposed new site location. Figure E - Alternative Site # 1 Waiki' i Ranch, 67- 1026 Palekaiko Rd Waimea, HI 96743: Raw land build of a 100 - foot tower with a private landowner located approximately 3. 1 miles north from the proposed new tower location. The site has an approximate elevation of 4730 feet AMSL. This alternative location was not selected because it is at a lower elevation and does not close the coverage gap toward the existing site in Pohakuloa. The proposed location is further south and closer to Pohakuloa. Figure F - Alternative Site # 2 Lightning Trail, Waimea, HI 96743: Raw land build of a 100 - foot tower on State of Hawaii owned and Federally leased property approximately 1. 6 miles south from the proposed new tower location. This site has an approximate elevation of 5490 feet AMSL. The proposed location is at a higher elevation ( 5654 AMSL) and would provide better coverage along Saddle Road toward the exiting site in Pohakuloa. This site was also not selected because it is in the Conservation District. Figure D Alternative Site Locations aikoloa Vtage ca Google Earth 02021 Goo,* 159ta 1,3 DWAlk1. 1 RANCH INC AB 0 . ji Girl SetRut Camp Kilohana re c. , ‘ \ 4'r-, \ % r---- Lightniri9 Trail 7---- s. 4:* 4 9 mi a A N Figure E— Alternative Site # 1— Projected New AT& T Coverage Coverage AFTER Alternative # 1 Facility On - Air - 100 ft Antenna Tip Height Mfa 1 r:;; :. -: rte\ ae• I Legend ( Coverage Signal) Indoor Signal In - Vehicle Signal xleg Outdoor Signal Figure F— Alternative Site # 2— Projected New AT& T Coverage Coverage AFTER Alternative # 1 Facility On - Air - 100 ft Antenna Tip Height ry, t • t 14. Legend ( Coverage Signal) Indoor Signal In - Vehicle Signal MOM Outdoor Signal Justification for Height AT& T is proposing a tower height of 100 ft. This is the minimum height needed to achieve the coverage objective of providing new FirstNet coverage as extensively as possible with this site to reach into the surrounding areas and to extend service along Saddle Road from Pohakuloa toward Waikoloa/ Waimea. Figure G below — Preferred Candidate at varying Antenna Tip Height shows the greatly reduced coverage at the zone height of 50 ft. Proposed Candidate — 50 ft Antenna Tip Height Proposed Candidate — 100 ft Antenna Tip Height Search Ring Methodology AT& T' s RF engineers used coverage propagation software systems to predict the coverage provided by the proposed new WCF. The software and AT& T' s RF engineers considered the general factors outlined below, as well as more project - specific factors such as the type of antenna, antenna tilt, etc. Coverage. The antenna site must be located in an area where the radio frequency broadcasts will provide adequate coverage within the targeted service area. The RF engineer must take into consideration the coverage objectives for the site as well as the terrain in and around the area to be covered. Because radio frequency broadcasts travel in a straight line and diminish as they travel further away from the antennas, it is generally best to place an antenna site near the center of the desired coverage area. However, in certain cases, the search ring may be located away from the center of the desired coverage area due to the existing coverage, the surrounding terrain, or other features which might affect the radio frequency broadcasts, e. g. buildings or sources of electrical interference. Clutter. AT& T' s WCFs must " clear the clutter"— the WCF site must be installed above or close to RF obstructions ( the clutter") to enable the RF to extend beyond and clear the clutter. AT& T' s radio frequencies do not penetrate mountains, hills, rocks, or metal, and are diminished by trees, brick and wood walls, and other structures. Accordingly, AT& T's antennas must be installed above or close to the " clutter" to provide high quality communications services in the desired coverage areas. Additionally, if the local code requires us to accommodate additional carriers on the support structure, the structure must be even taller to also allow the other carriers' antennas to clear the clutter. Call Handoff. The WCF site must be in an area where the radio broadcasts from the site will allow seamless " call handoff" with adjacent WCF sites. Call handoff is a feature of a wireless communications system that allows an ongoing telephone conversation to continue uninterrupted as the user travels from the coverage area of one antenna site into the coverage area of an adjacent antenna site. This requires coverage overlap for a sufficient distance and/ or period of time to support the mechanism of the call handoff. Quality of Service. Users of wireless communications services want to use their services where they live, work, commute and play, including when they are indoors. AT& T' s coverage objectives include the ability to provide indoor coverage in areas where there are residences, businesses and indoor recreational facilities. Search Ring Methodology— Con' t Radio Frequencies used by System. The designs of wireless communications systems vary greatly based upon the radio frequencies that are used by the carrier. To ensure service quality, AT& T must knit together its spectrum assets to address customers' existing usage and forecasted demand for wireless services, and it must use its limited spectrum in an efficient manner. AT& T uses both low - band ( i. e., 850 MHz and 700 MHz) and high - band ( i. e., 2300 MHz, 2100 MHz and 1900 MHz) spectrum to provide wireless service. Each spectrum band has different propagation characteristics and signal quality may vary due to noise or interference based on network characteristics at a given location. To address this dynamic environment, AT& T deploys multiple layers of its licensed spectrum and strives to close the gap in LTE service coverage. Land Use Classifications. A& T' s ability to construct a WCF site on any particular property is affected by state and local regulations, including zoning and comprehensive plan classifications, goals, and policies. AT& T' s search rings take these laws and regulations into consideration. ATTACHMENT 4 - MPE REPORT SiteSafe 4ueT Company 8618 Westwood Center Drive, Suite 315, Vienna, VA 22182 703.276.1 100 • 703.276.1 169 fax info@sitesafe.com • www.sitesafe.com J5 Infrastructure on behalf of AT&T Mobility, LLC Site FA - 10091536 Site ID - H I L04103 USID - 42634 Site Name - KUKUIOLONO MRSDL019341-MRHI1001188- MRH11001228-MRHI1001185- MRH11001200-MRHI1001194- MRHI1001189 4114 Papalina Road Kalaheo, HI 96741 Latitude: N21-54-58.47 Longitude: W159-31-26.28 Structure Type: Other Report generated date: March 16, 2021 Report by: Scott Broyles Customer Contact: Charlene Mitsuda AT&T Mobility, LLC will be compliant when the remediation recommended in Section 5.2 or other appropriate remediation is implemented. Sitesafe logo is a registered trademark of Site Safe, LLC. All rights reserved. AT&T Proprietary (Internal use only). Not lot use or disclosure outside the AT&T companies, except under written agreement. 02019 AT&T Intellectual property. Alt riptds reserved. A3i SiteSafe Table of Contents 1 GENERAL SITE SUMMARY 3 1.1 REPORT SUMMARY 3 1.2 FALL ARREST ANCHOR POINT SUMMARY 3 1.3 SIGNAGE SUMMARY 4 2 SCALE MAPS OF SITE 5 3 ANTENNA INVENTORY 7 4 EMISSION PREDICTIONS 9 5 SITE COMPLIANCE 12 5.1 SITE COMPLIANCE STATEMENT 12 5.2 ACTIONS FOR SITE COMPLIANCE 12 6 REVIEWER CERTIFICATION 13 APPENDIX A - STATEMENT OF LIMITING CONDITIONS 14 APPENDIX B - REGULATORY BACKGROUND INFORMATION 15 FCC RULES AND REGULATIONS 15 OSHA STATEMENT 16 APPENDIX C - SAFETY PLAN AND PROCEDURES 17 APPENDIX D - RF EMISSIONS 18 APPENDIX E - ASSUMPTIONS AND DEFINITIONS 19 GENERAL MODEL ASSUMPTIONS 19 USE OF GENERIC ANTENNAS 19 APPENDIX F - DEFINITIONS 20 APPENDIX G - REFERENCES 22 AT&T Proprietary (Internal use only). Not to use or disclosure outside the AT&T companies. except under widen agreement. m2019 AT&T Intellectual properly. All dghh reserved. Page 2 A,) SiteSafe O„n.7Er 1/4,,,, 1 General Site Summary 1.1 Report Summary AT&T Mobility, LLC Summary Max Cumulative Simulated RFE Level on the Ground 1% General Public Limit Max Cumulative Simulated RFE Level at the Antenna Level 10,941.8% General Public Limit 1" in front of AT&T Mobility, LLC Beta Sector Antenna 4 Max Cumulative Simulated RFE Level on the Ground 1% General Public Limit Compliant per FCC Rules and Regulations? Will Be Compliant Compliant per AT&T Mobility, LLC's Policy? Yes The following documents were provided by the client and were utilized to create this report: RFDS: 10091536_MRSDL019341_3C 4C 5C 5G 5GUP BWE 4TXRX_PM201 RFDS ABIP_08-30- 2020_As-Buiit-In-Progress_v2.00 CD's: 10091536_MRH11001228_HIL04103_5C 4C 5G NR RADIO 4TX4RX 5G NR UPGRADE BWE 3C_100%CD_REVO_02-22-21 RF Powers Used: MAX RRH Powers 1.2 Fall Arrest Anchor Point Summary Fall Arrest Anchor & Parapet Info Parapet Available Parapet Height Y/N) (inches) Fall Arrest Anchor Available (Y/N) Roof Safety Info N N/A AT&T Proprietary (Internal use only). Not for use or disclosure outside the AT&T companies. except under written agreement. &1019 AT&T InteNectual property. All nghls ,esery ed Page 3 1.3 Signage Summary C4) eiteSafe 4 G7... -. Cunu,..nv r sC-4tiC NIDI 'Am,' .1yuuy.e exisnn• Jignage) fF r W' -'''''.r''' n....-..-. AT&T AT&T Signage A, 111, A Signage A iAik T\ A As Locations Locations 1 Information 1 Information 2 Notice Notice 2 Caution Caution 2 Warning Warning 2 BarriersSelf - Support Information 1 Information 2 Notice Notice 2 Caution Caution 2 Wood Pole Warning 2 BarriersSelf -Warning Support Alpha Wood Pole Beta Alpha Gamma Beta Delta Gamma b. Propose AT&T Proprietary (Internal use only). Nol lot use or disclosure outside the AT&T companies. except under written agreement. 02019 AT&T Intellectual property. All rights reserved. Page 4 fF r W' -'''''.r''' n....-..-. AT&T A, Signage iAik T\ A As Locations Information 1 Information 2 Notice Notice 2 Caution Caution 2 Warning 2 BarriersSelf -Warning Support 1 Wood Pole 1 Alpha Beta Gamma Delta AT&T Proprietary (Internal use only). Nol lot use or disclosure outside the AT&T companies. except under written agreement. 02019 AT&T Intellectual property. All rights reserved. Page 4 g BitaBafe 2 Scale Maps of Site The following diagrams are included: Site Scale Map RF Exposure Diagram RF Exposure Diagram - Elevation View A rat,,,77Fx- C4H,u,., y AT&T Proprietary (Internal use only). Not for use or disclosure outside the AT&T companies. except under written agreement. 02019 AT&T Intellectual properly. All rights reserved. Page 5 Feet) 1 1 1 0 11.9 23.7 www.sitesafe.eom 3/16/2021 11:46:15 AM PAPALINA ROAD Site Scale Map For: KUKUIOLONO 1 f„I CU B POINTS 1 1 1 1 1 1 CLIMB POINTSc GROUND SELF SUPPORT TOWER = 56' AGL DISH by OTHERS Carrier M•ntNic•tion 4110 Nr[a1:1*V 1U • vcMzOMwM2USS • 2.M0•Itt O Settee O UNarapwn GIMP qP:5 (worn 44.2 war.. Warning ..1u In. pee,. Border/Sign— _— Remove sign XExistingBarrierProposed SiteSafe At r- A,.. ezfr!( cbmµnny0 3 Antenna Inventory The following antenna inventory was obtained by the customer and was utilized to create the site model diagrams: Ant ID Operator Antenna Make & Model Type TX FreqMHz) Technology Az Deg) Hor BWDeg) Ant Len it) Power Power Type Power Unit Misc Loss TX Count TotalERPWatts) AntGaindBd) ZAGLMDTEDT1 AT& T MOBILITY LLC Proposed) Commscope NNH4- 65C - R6 - V3 Panel 737 LTE 75 73. 08 160 TPO Watt 0 1 3541 13.4548' 0° 2° 1 AT& T MOBILITY LLC Proposed) Commscope NNH4- 65C - R6 - V3 Panel 850 5G 75 72. 08 160 TPO Watt 0 1 3707. 813.6548' 0° 2° 1 AT& T MOBILITY LLC Proposed) Commscope NNH4- 65C - R6 - V3 Panel 1900 LTE 75 62. 08 160 TPO Watt 0 1 5001. 714.9548' 0° 1° 1 AT& T MOBILITY LLC Proposed) Commscope NNH4- 65C - R6 - V3 Panel 2300 LTE 75 58. 08 100 TPO Watt 0 1 3845. 915.8548' 0° 1° 2 AT& T MOBILITY LLC Kathrein- Scala 800- 10764 Panel 850 UMTS 75 65. 04. 640 TPO Watt 0 1 756. 912.7722.7' 0° 4° 3 AT& T MOBILITY LLC Proposed) Commscope NNH4- 65C - R6 - V3 Panel 763 LTE 75 73. 08 160 TPO Watt 0 1 3541 13.4548' 0° 2° 3 AT& T MOBILITY LLC Proposed) Commscope NNH4- 65C - R6 - V3 Panel 2100 LTE/ AWS 1 75 62. 08 120 TPO Watt 0 1 4113. 215.3548' 0° 3° 3 AT& T MOBILITY LLC Proposed) Commscope NNH4- 65C - R6 - V3 Panel 2100 LTE/ AWS3 75 62. 08 120 TPO Watt 0 1 4113. 215.3548' 0° 3° 4 AT& T MOBILITY LLC Proposed) Commscope NNH4- 65C - R6 - V3 Panel 737 LTE 150 73. 08 160 TPO Watt 0 1 3541 13.4548' 0° 2° 4 AT& T MOBILITY LLC Proposed) Commscope NNH4- 65C - R6 - V3 Panel 850 5G 150 72. 08 160 TPO Watt 0 1 3707. 813.6548' 0° 3° 4 AT& T MOBILITY LLC Proposed) Commscope NNH4- 65C - R6 - V3 Panel 1900 LTE 150 62. 08 160 TPO Watt 0 1 5001. 714.9548' 0° 2° 4 AT& T MOBILITY LLC Proposed) Commscope NNH4- 65C - R6 - V3 Panel 2300 LTE 150 58. 08 100 TPO Watt 0 1 3845. 915.8548' 0° 2° 5 AT& T MOBILITY LLC Kathrein- Scala 742- 265 Panel 850 UMTS 150 68. 66. 340 TPO Watt 0 1 933. 413.6821.9' 0° 0° 6 AT& T MOBILITY LLC Proposed) Commscope NNH4- 65C - R6 - V3 Panel 763 LTE 150 73. 08 160 TPO Watt 0 1 3541 13.4548' 0° 2° 6 AT& T MOBILITY LLC Proposed) Commscope NNH4- 65C - R6 - V3 Panel 2100 LTE/ AWS1 150 62. 08 120 TPO Watt 0 1 4113. 215.3548' 0° 3° 6 AT& T MOBILITY LLC Proposed) Commscope NNH4- 65C - R6 - V3 Panel 2100 LTE/ AWS3 150 62. 08 120 TPO Watt 0 1 4113. 215.3548' 0° 3° 7 AT& T MOBILITY LLC Proposed) Commscope NNH4- 65C - R6 - V3 Panel 737 LTE 345 73. 08 160 TPO Watt 0 1 3541 13.4548' 0° 2° 7 AT& T MOBILITY LLC Proposed) Commscope NNH4- 65C - R6 - V3 Panel 850 5G 345 72. 08 160 TPO Watt 0 1 3707. 813.6548' 0° 2° 7 AT& T MOBILITY LLC Proposed) Commscope NNH4- 65C - R6 - V3 Panel 1900 LTE 345 62. 08 160 TPO Watt 0 1 5001. 714.9548' 0° 1° AT& T Propietary ( Internal use only). Not for use or disclosure outside the AT& T companies. except under written agreement. 02019 AT& T InteNectual properly. All rights reserved. Page 7 SiteSafe Q., nTT Cb„ L...n,• Ant ID Operator Antenna Make 8 Model Type TXFreq MHz) Technology Az Deg) HorBW Deg) Ant Len ft) Power Power Type Power Unit MIsc Loss TX CountTotalERPWatts) AntGain dBd) Z AGLMDTEDT 7 AT& T MOBILITY LLC Proposed) Commscope NNH4- 65C - R6 - V3 Panel 2300 LTE 345 58.0 8 100 TPO Watt 0 1 3845.915.8548' 0° 1° 8 AT& T MOBILITY LLC Kathrein- Scala 742- 265 Panel 850 UMTS 345 68. 6 6.3 40 TPO Watt 0 1 933.413.6821.9' 0° 0° 9 AT& T MOBILITY LLC Proposed) Commscope NNH4- 65C - R6 - V3 Panel 763 LTE 345 73.0 8 160 TPO Watt 0 1 354113.4548' 0° 2° 9 AT& T MOBILITY LLC Proposed) Commscope NNH4- 65C - R6 - V3 Panel 2100 LTE/ AWS1 345 62.0 8 120 TPO Watt 0 1 4113.215.3548' 0° 2° 9 AT& T MOBILITY LLC Proposed) Commscope NNH4- 65C - R6 - V3 Panel 2100 LTE/ AWS3 345 62.0 8 120 TPO Watt 0 1 4113.215.3548' 0° 2° 10 AT& T MOBILITY LLC Generic Aperture 23000 110 0.0 0 0.01 TPO Watt 0 0 62.537.9638' 0° 0° 11 AT& T MOBILITY LLC Generic Aperture 23000 110 0.0 0 0.01 TPO Watt 0 0 248.943.9628' 0° 0° Note: The Z reference indicates the bottom of the antenna height above the ground level ( AGL) unless otherwise indicated. Effective Radiated Power ( ERP) is provided by the operator or based on Sitesafe experience. The values used in the modeling may be greater than are currently deployed. AT& T Proprietary ( Internal we only). Not for we w dscloswe outside the AT& T companies. except under written agreement. 02019 AT& T Intellectual property. All dghts reserved. Page 8 A') Siteaafe 4 Emission Predictions In the RF Exposure Simulations below all heights are reflected with respect to main site level. In most rooftop cases this is the height of the main rooftop and in other cases this can be ground level. Each different height area, rooftop, or platform level is labeled with its height relative to the main site level. Emissions are calculated appropriately based on the relative height and location of that area to all antennas. The total analyzed elevations in the below RF Exposure Simulations are listed below. Ground LEVEL = 0' Building = 10' AGL The Antenna Inventory heights are referenced to the same level. AT&T Proprietary (Internal use only). Not for use or disclosure outside the AT&T companies. except under written agreement. 02019 AT&T Intellectual property. All rigMs reserved. Page 9 00 2 a Feet) I 1 I 0 11.7 23.3 www.sitesafe.com 3/16/2021 11:31345 AM RF Exposure Simulation For: KUKUIOLONO Composite View GATE GROUND SELF SUPPORT TOWER = 56' AGL DISH by OTHERS of FCC Public Exposure Limit Spatially Averaged of FCC Pubf Exposure Limn 0-5 5-100 100-500 500-5000 5000+ 4 ier identification AT&T MOM ITVLL( • VERILUr1 WIRELESS •T.MBelr Existing Barrier ProposedBarrier/Sian pSVR,NI O IIH[NJWH(AR ilfR Remove Sign X lochLoch. Sitesafe OET-65 Model Near Field Boundary: 1.5 • Aperture Reflection Factor: 1 Spatially Averaged GRni INf] Feet) I I I 0 12.3 24.7 www.sitesafe.com 3/16/2021 11:42:34 AM RF Exposure Simulation For: KUKUIOLONO Elevation View SELF-SUPPORT = 56' AGL O3 m 76 10 BLDG = 10' AGL of FCC Public Exposure Limit AT&T ANTENNAS = 52' AGL WOOD POLE = 45' AGL Sol FCC Publk Exposure Limit 0-5 5-100 100-500 500-5000 5000+ Carrier Identification 07a*1.401111,rvUC • v1 R¢Cm v.1R11 I155 • 1. 0RN Existing Barrier ProposedBarna/Sign O5.1111 O 010110WN UMW Remove Sign X Cadet Sitesafe OET-65 Model Near Field Boundary: 1.5 a Aperture Reflection Factor: 1 Single Level (0) A>) Sitesafe 5 Site Compliance 5.1 Site Compliance Statement Upon evaluation of the cumulative RF emission levels from all operators at this site, RF hazard signage and antenna locations, Sitesafe has determined that: AT&T Mobility, LLC will be compliant when the remediation recommended in Section 5.2 or other appropriate remediation is implemented. The compliance determination is based on General Public RFE levels derived from theoretical modeling, RF signage placement, proposed antenna inventory and the level of restricted access to the antennas at the site. Any deviation from the AT&T Mobility, LLC's proposed deployment plan could result in the site being rendered non-compliant. Modeling is used for determining compliance and the percentage of MPE contribution. 5.2 Actions for Site Compliance Based on FCC regulations, common industry practice, and our understanding of AT&T Mobility, LLC RF Safety Policy requirements, this section provides a statement of recommendations for site compliance. Recommendations have been proposed based on our understanding of existing access restrictions, signage, and an analysis of predicted RFE levels. AT&T Mobility, LLC will be made compliant if the following changes are implemented: Self -Support Access Location 1) Yellow Caution 2 B sign(s) required at the climb points. Wood Pole Access Location 1) Yellow Caution 2 B sign(s) required at the climb points. Notes: Any existing signage that conflicts with the proposed signage in this report should be removed per AT&T Signage Posting Rules. Areas where the predicted RF emission level is above 5000% General Public MPE level are located within the near field of the antennas and are restricted by the antenna mounts. Thus, Caution 2 signs are sufficient. Signage may already be in place. Sitesafe does not have record of any existing signage because there were no previous visits or data supplied regarding them. All remediation is based on a worst-case scenario. MIT neo,•I.•' nmema..emw. •nl,n,.,em•.e we omude me nmempagP 12e•• under man we emsnt 0010 n4e Inleveewl prow),AM II mere A>) SiteSafe 6 Reviewer Certification The reviewer whose signature appears below hereby certifies and affirms: That I am an employee of Site Safe, LLC, in Vienna, Virginia, at which place the staff and I provide RF compliance services to clients in the wireless communications industry; and That I am thoroughly familiar with the Rules and Regulations of the Federal Communications Commission (FCC) as well as the regulations of the Occupational Safety and Health Administration (OSHA), both in general and specifically as they apply to the FCC Guidelines for Human Exposure to Radio Frequency Electromagnetic Fields; and That I have thoroughly reviewed this Site Compliance Report and believe it to be true and accurate to the best of my knowledge as assembled by and attested to by Scott Broyles. March 16, 2021 Young Min Kim n wmiar n..md my only) Molloy vie e,d..e..e owe. m. AT&T enter) uncle) wanton vo,...,.moOJe AT&Tweduai waa.mAll NMI e..r..d. Page 13 ig SiteSafe Appendix A - Statement of Limiting Conditions Sitesafe has provided computer generated model(s) in this Site Compliance Report to show approximate dimensions of the site. and the model is included to assist the reader of the compliance report to visualize the site area, and to provide supportingdocumentationforSitesafe's recommendations. Sitesafe may note in the Site Compliance Report any adverse physical conditions, such as needed repairs, that Sitesafe became aware of during the normal research involved in creating this report. Sitesafe will not be responsible for any such conditions that do exist or for any engineering or testing that might be required to discover whether such conditions exist. Because Sitesafe is not an expert in the field of mechanical engineering or building maintenance, the Site Compliance Report must not be considered a structural or physical engineering report. Sitesafe obtained information used in this Site Compliance Report from sources that Sitesafe considers reliable and believes them to be true and correct. Sitesafe does not assume any responsibility for the accuracy of such items that were furnished by other parties. When conflicts in information occur between data collected by Sitesafe provided by a second party and data collected by Sitesafe, the data will be used. ATM pnnan(Internal .'e anin. Nm rm m auewwe dumasrhe nmean,Page • m withinen aa,eemem. 01019 mrtueemMIT al properly All di** Med A>) SiteSafe Appendix B - Regulatory Background Information FCC Rules and Regulations In 1996, the Federal Communications Commission (FCC) adopted regulations for the evaluating of the effects of RF emissions in 47 CFR § 1.1307 and 1.1310. The guideline from the FCC Office of Engineering and Technology is Bulletin 65 ("OET Bulletin 65"), Evaluating Compliance with FCC Guidelines for Human Exposure to Radio Frequency Electromagnetic Fields, Edition 97-01, published August 1997. Since 1996 the FCC periodically reviews these rules and regulations as per their congressional mandate. FCC regulations define two separate tiers of exposure limits: Occupational or Controlled environment" and General Public or "Uncontrolled environment". The General Public limits are generally five times more conservative or restrictive than the Occupational limit. These limits apply to accessible areas where workers or the general public may be exposed to Radio Frequency (RF) electromagnetic fields. Occupational or Controlled limits apply in situations in which persons are exposed as a consequence of their employment and where those persons exposed have been made fully aware of the potential for exposure and can exercise control over their exposure. An area is considered a Controlled environment when access is limited to these aware personnel. Typical criteria are restricted access (i.e. locked or alarmed doors, barriers, etc.) to the areas where antennas are located coupled with proper RF warning signage. A site with Controlled environments is evaluated with Occupational limits. All other areas are considered Uncontrolled environments. If a site has no access controls or no RF warning signage it is evaluated with General Public limits. The theoretical modeling of the RF electromagnetic fields has been performed in accordance with OET Bulletin 65. The Maximum Permissible Exposure (MPE) limits utilized in this analysis are outlined in the following diagram: FCC Limits for Maximum Permissible Exposure (MPE) Planeavave Equivalent Power Density 1000 E 100 10 occupationalGeneralPublic 0.1 0.01 0 1 10 100 1,000 10,000 Frequency (MHz) AT&T Prepelnry °Memel UM Orly) xarau.en d b,u,eemwe roe nncomponles except under wMon aweemem. 02019 AT&T rmeeeeroer propeMAll nemnneaee. Page 15 g SiteSafe Limits for Occupational/Controlled Exposure (MPE) Frequency Electric Magnetic Power Averaging Time 1E12, Range Field Field Density (5) I H 11 or 5 (minutes) MHz) Strength (E) Strength (mW/cm') V/m) (H)(A/m) 0.3-3.0 614 1.63 (100)' 6 3.0-30 1842/f 4.89/f (900/f)* 6 30-300 61.4 0.163 1.0 6 300-1500 — f/300 6 1500- -- — 5 6 100,000 Limits for General Population/Uncontrolled Exposure (MPE) Frequency Electric Magnetic Power Averaging Time 1E11, Range Field Field Density (5) I H 12 or 5 (minutes) MHz) Strength (E) Strength (mW/cm') V/m) (H)(A/m) 0.3-1.34 614 1.63 (100)' 30 134-30 824/f 2.19/f (180/f9* 30 30-300 27.5 0.073 0.2 30 300-1500 — — f/1500 30 1500- -- -- 1.0 30 100,000 f = frequency in MHz "Plane -wave equivalent power density OSHA Statement The General Duty clause of the OSHA Act (Section 5) outlines the occupational safetyandhealthresponsibilitiesoftheemployerandemployee. The General Duty clause inSection5states: a) Each employer - 1) shall furnish to each of his employees employment and a place of employment which are free from recognized hazards that are causing or are likely to cause death or serious physical harm to his employees; 2) shall comply with occupational safety and health standards promulgated under this Act. b) Each employee shall comply with occupational safety and health standards and all rules, regulations, and orders issued pursuant to this Act which are applicable tohisownactionsandconduct. OSHA has defined Radiofrequency and Microwave Radiation safety standards for workers who may enter hazardous RF areas. Regulation Standards 29 CFR § 1910.147 identify a generic Lockout/Tagout procedure aimed to control the unexpected energization or startup of machines when maintenance or service is being performed. ART r,w a. (Inlemol ..e only). .o& foru.e or ai amwe the Ame. po4. e 16 ume...nen.eemem. m' ion rtengn w wep.M. MI nom.,e,.r s A') SiteSafe Appendix C - Safety Plan and Procedures The following items are general safety recommendations that should be administered on a site by site basis as needed by the carrier. General Maintenance Work: Any maintenance personnel required to work immediately in front of antennas and / or in areas indicated as above 100% of the Occupational MPE limits should coordinate with the wireless operators to disable transmitters during their work activities. Training and Qualification Verification: All personnel accessing areas indicated as exceeding the General Population MPE limits should have a basic understanding of EME awareness and RF Safety procedures when working around transmitting antennas. Awareness training increases a worker's understanding to potential RF exposure scenarios. Awareness can be achieved in a number of ways (e.g. videos, formal classroom lecture or Internet -based courses). Physical Access Control: Access restrictions to transmitting antennas locations is the primary element In a site safety plan. Examples of access restrictions are as follows: Locked door or gate Alarmed door Locked ladder access Restrictive Barrier at antenna (e.g. Chain link with posted RF Sign) RF Signage: Everyone should obey all posted signs at all times. RF signs play an important role in properly warning a worker prior to entering into a potential RF Exposure area. Assume all antennas are active: Due to the nature of telecommunications transmissions, an antenna transmits intermittently. Always assume an antenna is transmitting. Never stop in front of an antenna. If you have to pass by an antenna, move through as quickly and safely as possible thereby reducing any exposure to a minimum. Maintain a 3 foot clearance from all antennas: There is a direct correlation between the strength of an EME field and the distance from the transmitting antenna. The further away from an antenna, the lower the corresponding EME field is. Site RF Emissions Diagram: Section 4 of this report contains an RF Diagram that outlines various theoretical Maximum Permissible Exposure (MPE) areas at the site. The modeling is a worst-case scenario assuming a duty cycle of 100% for each transmitting antenna at full power. This analysis is based on one of two access control criteria: General Public criteria means the access to the site is uncontrolled and anyone can gain access. Occupational criteria means the access is restricted and only properly trained individuals can gain access to the antenna locations. ATM .ropd.b,. naema,,.. e•m. Not Ma me ,r de.ws.m aadde Me •m COMMmim exceptunder *AMA ar.mea 0201.•M ia...rm. mopedrMI mni..s..,.a Page 17 c/`i) SiteSafe Appendix D — RF Emissions The RF Emissions Simulation(s) in this report display theoretical spatially averaged percentage of the Maximum Permissible Exposure for all systems at the site unless otherwise noted. These diagrams use modeling as prescribed in OET Bulletin 65 and assumptions detailed in Appendix E. The key at the bottom of each RF Emissions Simulation indicates percentages displayed referenced to FCC General Public Maximum Permissible Exposure (MPE) limits. Color coding on the diagram is as follows: Areas indicated as Gray are predicted to be below 5% of the MPE limits. Gray represents areas more than 20 times below the most conservative exposure limit. Gray areas are accessible to anyone. Green represents areas are predicted to be between 5% and 100% of the MPE limits. Green areas are accessible to anyone. Blue represents areas predicted to exceed the General Public MPE limits but are less than Occupational limits. Blue areas should be accessible only to RF trained workers. Yellow represents areas predicted to exceed Occupational MPE limits. Yellow areas should be accessible only to RF trained workers able to assess current exposure levels. Red represents areas predicted to have exposure more than 10 times the Occupational MPE limits. Red indicates that the RF levels must be reduced prior to access. An RF Safety Plan is required which outlines how to reduce the RF energy in these areas prior to access. If trained occupational personnel require access to areas that are delineated as above 100% of the limit, Sitesafe recommends that they utilize the proper personal protection equipment (RF monitors), coordinate with the carriers to reduce or shutdown power. or make real-time power density measurements with the appropriate power density meter to determine real-time MPE levels. This will allow the personnel to ensure that their work area is within exposure limits. annngneary(Idemal me only). Xtlrvye m dad!we owude the nnom ep undevt02002019en agreement. oAT&T IMO.Mal prepeMM Page 18 A>) SiteSafe Appendix E - Assumptions and Definitions General Model Assumptions In this site compliance report, it is assumed that all antennas are operating at full power at all times. Software modeling was performed for all transmitting antennas located on the site. Sitesafe has further assumed a 100% duty cycle and maximum radiated power. The modeling is based on recommendations from the FCC's OET-65 bulletin with the following variances per AT&T guidance. Reflection has not been considered in the modeling, i.e. the reflection factor is 1.0. The near / far field boundary has been set to 1.5 times the aperture height of the antenna and modeling beyond that point is the lesser of the near field cylindrical model and the far field model taking into account the gain of the antenna. The site has been modeled with these assumptions to show the maximum RF energy density. Areas modeled with exposure greater than 100% of the General Public MPE level may not actually occur but are shown as a prediction that could be realized. Sitesafe believes these areas to be safe for entry by occupationally trained personnel utilizing appropriate personal protective equipment (in most cases, a personal monitor. Use of Generic Antennas For the purposes of this report, the use of "Generic" as an antenna model, or "Unknown" for an operator means the information about a carrier, their FCC license and/or antenna information was not provided and could not be obtained while on site. In the event of unknown information, Sitesafe will use our industry specific knowledge of equipment, antenna models, and transmit power to model the site. If more specific information can be obtained for the unknown measurement criteria, Sitesafe recommends remodeling of the site utilizing the more complete and accurate data. Information about similar facilifies is used when the service is identified and associated with a particular antenna. If no information is available regarding the transmitting service associated with an unidentified antenna, using the antenna manufacturer's published data regarding the antenna's physical characteristics makes more conservative assumptions. Where the frequency is unknown, Sitesafe uses the closest frequency in the antenna's range that corresponds to the highest Maximum Permissible Exposure (MPE), resulting in a conservative analysis. n Proprietor./ Unlined use only) . Ocilla N. or Ide Page 19 w) SiteSafe Appendix F - Definitions 5% Rule - The rules adopted by the FCC specify that, in general, at multiple transmitter sites actions necessary to bring the area into compliance with the guidelines are the shared responsibility of all licensees whose transmitters produce field strengths or power density levels at the area in question in excess of 5% of the exposure limits. In other words, any wireless operator that contributes 5% or greater of the MPE limit in an area that is identified to be greater than 100% of the MPE limit is responsible for taking corrective actions to bring the site into compliance. Compliance - The determination of whether a site complies with FCC standards with regards to Human Exposure to Radio Frequency Electromagnetic Fields from transmitting antennas. Decibel (dB) - A unit for measuring power or strength of a signal. Duty Cycle - The percent of pulse duration to the pulse period of a periodic pulse train. Also, may be a measure of the temporal transmission characteristic of an intermittentlytransmittingRFsourcesuchasopagingantennabydividingaveragetransmission duration by the average period for transmission. A duty cycle of 100% corresponds to continuous operation. Effective (or Equivalent) Isotropic Radiated Power (EIRP) -The product of the power supplied to the antenna and the antenna gain in a given direction relative to anisotropicantenna. Effective Radiated Power (ERP) - The product of the power supplied to the antenna and the antenna gain in a given direction relative to a half -wave dipole antenna, Gain (of an antenna) - The ratio of the maximum power in a given direction to the maximum power in the some direction from an isotropic radiator. Gain is a measure of the relative efficiency of a directional antenna as compared to an omnidirectional antenna. General Population/Uncontrolled Environment - Defined by the FCC as an area where RF exposure may occur to persons who are unaware of the potential for exposure and who have no control over their exposure. General Population is also referenced asGeneralPublic. Generic Antenna - For the purposes of this report, the use of "Generic" as an antenna model means the antenna information was not provided and could not be obtained while on site. In the event of unknown information, Sitesafe will use its industry specificknowledgeofantennamodelstoselectaworst-case scenario antenna to model thesite. Isotropic Antenna - An antenna that is completely non -directional. In other words, an antenna that radiates energy equally in all directions. Maximum Measurement -This measurement represents the single largest measurement recorded when performing a spatial average measurement. Maximum Permissible Exposure (MPE) -The rms and peak electric and magnetic field strength, their squares, or the plane -wave equivalent power densities associated with these fields to which a person may be exposed without harmful effect and with acceptable safety factor. ATLI Prepfierkliy (Internal Use only). Mt lot we er mno.we o,nme mummPage except ow. within n°nemem mon<m imemm properly. A& dnsele.,..d ci SiteSafe Occupational/Controlled Environment- Defined by the FCC as an area where RF exposure may occur to persons who are aware of the potential for exposure as a condition of employment or specific activity and can exercise control over their exposure. OET Bulletin 65 -Technical guideline developed by the FCC's Office of Engineering and Technology to determine the impact of RF exposure on humans. The guideline was published in August 1997. OSHA (Occupational Safety and Health Administration) - Under the Occupational Safety and Health Act of 1970, employers are responsible for providing a safe and healthy workplace for their employees. OSHA's role is to promote the safety and health of America's working men and women by setting and enforcing standards; providing training, outreach and education; establishing partnerships; and encouraging continual process improvement in workplace safety and health. For more information, visit wwvv. osha ciov. Radio Frequency Exposure or Electromagnetic Fields - Electromagnetic waves that are propagated from antennas through space. Spatial Average Measurement - A technique used to average a minimum of ten (10) measurements taken in a ten (10) second interval from zero (0) to six (6) feet. This measurement is intended to model the average energy a 6 -foot tall human body will absorb while present in an electromagnetic field of energy. Transmitter Power Output (IPO) - The radio frequency output power of a transmitter's final radio frequency stage as measured at the output terminal while connected to a load. AT&T empwmn Omer.d meanly) N. Id .n.n dbciwun ouwdeme AT&T acequnder write) agreement wv AT&T rwnecwa pdp)M All light) 'evened. Page 21 S`f) SiteSafe Appendix G - References The following references can be followed for further information about RF Health and Safety. Site Safe. LLC hfip://www.sitesafe.com FCC Radio Frequency Safety http://www.fcc.gov/encyclopedia/radio-frequency-safety National Council on Radiation Protection and Measurements (NCRP) http://www.ncrPonline.Ora Institute of Electrical and Electronics Engineers, Inc., (IEEE) httn://www.ieee.orq American National Standards Institute (ANSI) http://www.0nsi.orq Environmental Protection Agency (EPA) htto://www.eoa.clov/radtown/wireless-tech.html National Institutes of Health (NIH) http.//www.nlehs.nth.qov/'neallh/topics/agents/emf/ Occupational Safety and Health Agency (OSHA) hitp:!/N,v:v..oshc.Qo /SLTC/rado6c-guencyrodip5ion/ Internafional Commission on Non -Ionizing Radiation Protection (ICNIRP) http://www.icnirp.orq World Health Organization (WHO) http://www.who.int/oeh-emf/en/ National Cancer Institute htto://www.cancer.govicancertorics/factsheet/Risk/cellohones American Cancer Society (ACS) http://www-cancecora/docroot/PED/content/PED 1 3X Cellular Phone Towers.asp?sitearea=PED European Commission Scientific Committee on Emerging and Newly Identified HealthRisks htto://ec.europa.eu/health/oh risk/committees/04 scenihr/docs/scenihr o 022-pdf Fairfax County, Virginia Public School Survey hftp://www.fcps.edu/ffs/safety-security/RFEESurvev/ UK Health Protection Agency Advisory Group on Non -Ionizing Radiation http://www.haa.ora.uk/webw/HPAweb&HPAwebStandard/HPAweb C/1317133826368NorwegianInstituteofPublicHealth http://www.fhi.no/dokumenter/545eea7147.pdf na nopnnarvpm•mmuse eohl. XS It use e, amm.• Wald* m. ATIemPaBe except tindery/Slept op•.,a.m. awn •ranmexrn,m prop•m u nam, '=k«•a. ATTACHMENT 5 - FAA TOWAIR DETERMINATION REPORT TOWAIR Determination Results NOTICE *** TOWAIR's findings are not definitive or binding, and we cannot guarantee that the data in TOWAIR are fully current and accurate. In some instances, TOWAIR may yield results that differ from application of the criteria set out in 47 C.F.R. Section 17.7 and 14 C.F.R. Section 77.13. A positive finding by TOWAIR recommending notification should be given considerable weight. On the other hand, a finding by TOWAIR recommending either for or against notification is not conclusive. It is the responsibility of each ASR participant to exercise due diligence to determine if it must coordinate its structure with the FAA. TOWAIR is only one tool designed to assist ASR participants in exercising this due diligence, and further investigation may be necessary to determine if FAA coordination is appropriate. DETERFtINAT.ON Aesuttg Structure does not require registration. There are no airports within 8 kilometers (5 miles) of the coordinates you provided. Your Spcciticotions NAD83 Coordinates Latitude 19-48-48.5 north Longitude 155-38-00.6 west Measurements (Meters) Overall Structure Height (AGL) 30.5 Support Structure Height (AGL) 3.7 Site Elevation (AMSL) 1723.3 Structure Type MTOWER - Monopole Tower Construction Notifications Notify Tribes and Historic Preservation Officers of your plans to build a tower. CINE WI ATTACHMENT 6 - SITE PHOTOS AND PHOTO SIMULATIONS HIL03359 Saddle Road 3 Site Photos View Northwest toward Camp Kilohana on Saddle Road HIL03359 Saddle Road 3 View Southeast toward Camp Kilohana on Saddle Road HIL03359 Saddle Road 3 HIL03359 Saddle Road 3 Site Photos Entrance to Camp Kilohana HIL03359 Saddle Road 3 Proposed Site Location for Equipment Compound Equipment Cornpoun Dirt Access Road Camp Kilohana Entrance from Proposed Equipment Compound HIL03359 Saddle Road 3 Site Photos Proposed Monopine Location Pro Monops Location Proposed Monopine 1. Location Proposed Monopine Location HIL03359 Saddle Road 3 Site Photos View North from Proposed Equipment Compound View West from Camp Kilohana View South from Camp Kilohana View East from Camp Kilohana at&t PHOTO SIMULATION FOR NEW 100' MONOPINE FACILITY SITE LOCATED AT: ROUTE 200 (SADDLE ROAD) WAIMEA, HI 96743 SITE ID: HIL03359 SADDLE ROAD 3 VICINITY MAP 2021 Google Photo Simulation This photographic simulation is intended as a visual representation only and is not to be used for construction purposes. Accuracy of photo simulation is based on information provided by subject applicant. Site ID: HIL03359 Saddle Road 3 Site Type: 100' Monopine Route 200 (Saddle Road) Waimea, HI 96743 View Looking North on Saddle Road Existing View 2021 Google Proposed View Photo Simulation This photographic simulation is intended as a visual representation only and is not to be used for construction purposes. Accuracy of photo simulation is based on information provided by subject applicant. m 2021 Google Site ID: HIL03359 Saddle Road 3 Site Type: 100' Monopine Route 200 (Saddle Road) Waimea. HI 96743 r View Looking South on Saddle Road Existing View 6) 2021 Google Proposed View Photo Simulation This photographic simulation is intended as a visual representation only and is not to be used for construction purposes. Accuracy of photo simulation is based on information provided by subject applicant. 0 2021 Google Site ID: HIL03359 Saddle Road 3 Site Type: 100' Monopine Route 200 (Saddle Road) Waimea, HI 96743 A ATTACHMENT 7 - LETTERS OF AUTHORIZATION AT&T August 5, 2020 To Whom It May Concern: AT&T Services, Inc. 500 Kaltelu Ave. Mllilanl, MI 96789 www.att.com 15 Infrastructure Partners, its employees and agents (collectively, "J5"), are authorized representatives of New Cingular Wireless, PCS, LLC ("AT&T") and have contracted to perform real estate leasing, land use entitlements, architectural, and engineering services for development of and modification of AT&T communication facilities. As a representative of AT&T,15 is authorized to sign, submit, and review land -use applications and permits; provide representation at meetings and hearings; and negotiate leases on AT &T's behalf. All final land -use documents are subject to AT &T's review and approval. Furthermore, all leases, and any other legally binding documents, are contingent upon AT &T's review and the signature of a duly authorized AT&T manager. If there are any questions or comments, plealse contact me. Best Regards, Jeffrey Riewer Area Manager Hawaii AT&T Mobility Services LLC Jr837t@att.com 808) 352- 4283 2017 AT&T la'elkcival Property All ngM1u reserved. A 1& f and IM Gibe logo art registertd trade,naru of AT&T Intelkcual Moped, Site Name. HIL03359 Saddle Road 3 LETTER OF AUTHORIZATION APPLICATION FOR ZONING/LAND USE ENTITLEMENTS Property Address: Camp Kilohana Girl Scout Camp, Rte. 200 Saddle Road, Kamuela 96743 Tax Map Key: (3) 4-4-015:005 I/We, the owner(s) of the above described property, authorize New Cingular Wireless, doing business as AT&T Mobility, whose address is 500 Kahelu Avenue, Mililani, Hawaii 96789, its employees, representatives, agents, and/or consultants, to act as an agent on my/our behalf for the sole purpose of consummating any and all building and land - use permit applications, or any other entitlements necessary for the purpose of constructing and operating a wireless telecommunications facility. I/We understand that any application may be denied, modified, or approved with conditions, and that such conditions or modifications must be complied with prior to issuance of building permits, and at all times thereafter. I/We further understand that signing of this authorization in no way creates an obligation of any kind. OWNER(S): GIRL SCOUTS OF HAWAII Shari Chang Print Name Print Name CEO Title Title Signature` Signature Date: 3/12/21 Date: ATTACHMENT 8 - ZONING DRAWINGS SITE NUMBER: SITE NAME: ADDRESS: TMK: AT& T NEW BUILD LTE 1C: MRSDL021461 LTE 2C: MRHI1000098 LTE 3C: MRH11000052 LTE 4C: MRHI10001 11 LTE 5C: MRHI1000088 LTE 6C: MRHI1000106 U S I D: 302886 FA CODE: 12716303 HIL03359SADDLE ROAD 3 ROUTE 200 ( SADDLE ROAD) WAIMEA, HI 96743 3) 4- 4- 015: 005 Vendor: 5 INFRASTRUCTURE 677 ALA MOANA BLVD, STE917 HONOLULU. HAWAII 96813 PH: 1808 451- 2840 J5 PROJECT ID. P-077.05 Sheet Number: COVER CODE COMPLIANCE PROPERTY LEGAL DESCRIPTION: ALL OF THAT CERTAIN PARCEL OF LAND ( BEING ALL OF THE LAND( S) DESCRIBED IN AND COVERED BY LAND PATENT GRANT NO. 13. 014 ISSUED TO THE HAWAII ISLAND GIRL SCOUT COUNCIL. INC., A HAWAIIAN ELEEMOSYNARY CORPORATION) SITUATE. LYING AND BEING AT OLD ARMY RADIO STATION, KAOHE 3, SECTION B. IN THE DISTRICT OF HAMAKUA, ISLAND AND COUNTY OF HAWAII, STATE OF HAWAII, AND THUS BOUNDED AND DESCRIBED: BEGINNING AT THE NORTHEAST CORNER OF THIS PARCEL OF LAND ON THE WEST SIDE OFTHE SADDLE ROAD, THE COORDINATES OF SAID POINT OF BEGINNING REFERRED TO GOVERNMENT SURVEY TRIANGULATION STATION " AHUMOAx BEING 1712. 34 FEET NORTH AND 7553. 03 FEETA WEST AND RUNNING BY AZIMUTH MEASURED CLOCKWISE FROM TRUE SOUTH: SAID ABOVE DESCRIBED PARCEL OF LAND HAVING BEEN ACQUIRED BY HAWAII ISLAND GIRL SCOUT COUNCIL INC.. A HAWAIIAN ELEEMOSYNARY CORPORATION. BY LAND PATENT GRANT NO. 13, 014 ISSUED BY THE STATE OF HAWAII, ON JUNE 25, 1954. NEW BUILD LTE 1C: MRSDLO21461 LTE 2C: MRHI1000098 LTE 3C: MRH 11000052 LTE 4C: MR H IIOOO LTE 5C: MRH11000088 LTE 6C: MRH 11000106 USID: 302$$ 6 FA CODE:] 2716303 PREPARED FOR r AT& T 500 KAHEtu AVENUE WEAK Hi 96789 ALL WORK AND MATERIALS SHALL BE PERFORMED AND INSTALLED IN ACCORDANCE WITH THE CURRENT EDITIONS OF THE FOLLOWING CODES AS ADOPTED BY THE LOCAL GOVERNING AUTHORITIES. NOTHING IN THESE PLANS IS TO BE CONSTRUED TO PERMIT WORK NOT CONFORMING TO THESE CODES. I) 2012 INTERNATIONAL BUILDING CODE WITH LOCAL AMENDMENTS 2) 2012 NATIONAL FIRE PROTECTION ASSOCIATION ( NEPA) 1 3) 2015 IECC AND HRS CHAPTER 107- 28 SECTION 3 181 ENERGY CONSERVATION CODE SECTION .2006 I W/OF L2C15 AM 4) UPC. 2006 EDITION W/ LOCAL AMENDMENTS 5) LAND USE ORDINANCE, APRIL 2003 6) 2017 NATIONAL ELECTRICAL CODE , WITH CURRENT AMENDMENTS. CHAPTERS 16, 17. 19, 20, 21 & ALL OTHER APPLICABLE CHAPTERS OF THE REVISED ORDINANCES OF HONOLULU 1990 ( ROH), ALONG W/ STATE LAWS & REGULATIONS SITE NUMBER: HIL03359 SITE NAME: SADDLE ROAD 3 SITE TYPE: MONOPINE/ SHELTER ADDRESS: ROUTE 200 ( SADDLE ROAD) vendor: S INFRASTRUCTURE 677 ALA MOANA BLVD, STE 917 HONOLULU, HAWAII 96813 PROJECT VP- 02ms WAIMEA, HI 96743 TMK: ( 3) 4- 4- 015: 005 AT& T Site ID: HIL03359 PROJECT TEAM VICINITY MAP LOCAL MAP PROJECT DESCRIPTION APPLICANT / LESSEE: SITE ACQUISITION: HAWI PROPOSED SITE BUILD OF AN UNMANNED TELECOMMUNICATIONS FACILITY. CONSISTING OF THE FOLLOWING: TOWER/ ANTENNA SOW: INSTALLATION ( 1) 100'- 0" TALL MONOPINE INSTALLATION Of ( 12) AT& T PANEL ANTENNAS INSTALLATION OF ( 36) AT& T REMOTE RADIO UNIT$ ( RRU'$) DRAWN B'• - CHECKED BY: JMM AT& T MOBILITY J5 INFRASTRUCTURE PARTNERS 500 KAHELU AVENUE CONTACT: ANDREW TOMUNSON, JOD MILILANI, HI 96789 EMAIL: otomlinson@jSip. com PH: ( 808) 864- 8567,•• MANAGER: AT& T PROJECT MANAGER: EQUIPMENT 2.-,\N„,_ KOHALA WAMFA —•• aoA Yrt cECONSTRUCTION y 200 HILO KAIIUA• KONA • m CAPTAI• v COOK vOLCANO, ss_r/ciki.. wi i A"•A INSTALLATION OF ( 6) DC9- 48- 60- 24. 8C- EV SURGE SUPPRESSORS INSTALLATION OF ( I) GPS ANTENNA SOW: c Na F:; I•: Al end 9wfg, •• INSTALLATION OF AN ' AT& T 21' 8" X 28'- 7 ( 610SQFT ) IRP Pv rT KlphcrD ` P: TELECOMMUNICATION COMPOUND LEASE AREA INSTALLATION OF 6' 4' HIGH CHAIN LINK FENCING W/ PRIVACY SLATS INSTALLATION OF ( 1) PREFABRICATED EQUIPMENT SHELTER e :^ , ^, A • ` •• INSTALLATION OF ( 1) DIESEL BACK- UP GENERATOR T30 F. s- •• INSTALLATION OF ( 1 ) 200A AC POWER PANEL tet •• INSTALLATION OF ( I) EMERSON POWER PLANT RACK W/ ( 12) BATTERIES PAaOA s .. INSTALLATION OF ( 2) HYBRID RACKS INSTALLATION OF ( I) H• FRAME W/ INSTALLATION OF ( 1) CABLE BRIDGE TILITY EQUIPMENT INSTALLATION OF POWER & FIBER CABLE TRUNKS INSTALLATION OF ( 1) TRANSFORMER INSTALLATION OF ( 3) DCI2- 48. 60- RM SURGE SUPPRESSORS x3 3 04/ 02/ 21 SAQ COMMENTS 2 02/ 26/ 21 SAQ COMMENTS 1 09/ 22/ 20 SAQ COMMENTS 0 07/ 08/ 20 100` 610s A 03/ 16/ 20 90% ZDs REV DATE DESCRIPTION CONTACT: JEFF RIEWER CONTACT: JEFF RIEWER EMAIL: X8371@ott. com EMAIL: jr8371@att. com PH: ( 808) 352- 4283 PH: ( 808) 352- 4283 RF ENGINEER: ZONING: AT& T MOTB: ICHERYL NAKATA CONTACT: ANDREW TOMUNSON LITY J5 INFRASTRUCTURE PARTNERS RAN ENGINEER EMAIL: atomlinson@jsip. com EMAIL: cn8262@att, com PH: ( 808) 864- 8567 PH: ( 808) 627- 8720 ARCHITECT / ENGINEER: PROJECT MANAGER: J5 INFRASTRUCTURE PARTNERS J5 INFRASTRUCTURE PARTNERS contact: JOSE M. MIRANDA CONTACT: BRYCE NOVAK email: jmirand0445ip. com EMAIL: bnovok@j5ip. com PH: ( 949) 247- 7767 PH: ( 808) 451- 2840 NA. FSI: - - 4 A Licensor: \ BIG ISLAND OF HAWAII no ^,,.. • pro - ax SITE INFORMATION GENERAL CONTRACTOR NOTES DRIVING DIRECTIONS SHEET INDEX REV. PROPERTY OWNER: GIRL SCOUT COUNCIL OF HAWAII 410 ATKINSON DR STE 2E1 BOX 3 HONOLULU HI 96814 4730 JURISDICTION: COUNTY OF HAWAII WIND LOADS: 105 MPH ( 3 - SECOND GUST) EXPOSURE CATEGORY: C SEISMIC ZONE: 4A- 3 FLOOD ZONE: X TMK 8: ( 3) 4- 4- 015: 005 ZONING: AG ( A- 400) LATITUDE ( NAD 83): 19.4848.54" N LONGITUDE ( NAD 83): 155° 38' 00.61" W HEIGHT SETBACK: I FT : SFT OF TOWER ( 60 FEET) FRONT AND REAR YARD SETBACKS: 30 FEET SIDE YARD SETBACKS: 20 FEET ACCESSIBILITY REQUIREMENTS: FACILITY IS AN UNMANNED EQUIPMENT DO NOT SCALE DRAWINGS DIRECTIONS FROM HILO AIRPORT: 2450 KEKUANAOA ST. HILO. HI 96720 1- I TITLE SHEET 3 THESE PLANS ARE FORMATTED TO BE FULL SIZE AT 24" X36". CONTRACTORS SHALL VERIFY ALL PLANS AND EXISTING DIMENSIONS AND CONDITIONS ON THE JOB SITE AND SHALL IMMEDIATELY NOTIFY THE ARCHITECT/ ENGINEER IN WRITING OF ANY DISCREPANCIES BEFOREC- 1 PROCEEDING WITH THE WORK OR MATERIAL ORDERS OR BE RESPONSIBLE FOR THE SAME. 1. HEAD WEST ON AIRPORT RD/ KEKUANAOA ST I.) MI 2. TURN LEFT ONTO HAWAII BELT RD/ KANOELEHUA AVE 1.1MI. 3. TURN RIGHT ONTO E PUAINAKO ST 1.6MI 4. TURN RIGHT ONTO KOMOHANA ST 207FT GN - I GENERAL NOTES 3 GN - 2 SITE SIGNAGESURVEY MAP 3 A• I PLOT PLAN & SITE PLAN 3 awou"• s" n«..• ePF.' At OR UHxar, two° N. LrowRUC[ q„ a NelM -, rt[[H f•""°'"""' O". xw"" x wo„" al• AIM * rums w I[" n •. amr.: • [• a i _ f fY w. wa y62xwrt@ J 5. TURN LEFT ONTO PUAINAKO ST 4MI 6. CONTINUE ONTO SADDLE RD 35.7MI A- 2 ENLARGED SITE PLANS 3. 4 COMPOUND PLAN 3 Issued For. GENERAL NOTES 7. CONTINUE ONTO DANIEL K. INOUYE HWY 0.1MI 8. TURN RIGHT ONTO SADDLE RD A- 4 ANTENNA & EQUIPMENT PLAN 3 A- 5 ELEVATIONS 3 HIL03359 THE FACILITY IS UNMANNED AND NOT FOR HUMAN HABITATION. A TECHNICIAN WILL VISIT THE SITE AS REQUIRED FOR ROUTINE MAINTENANCE. THE PROJECT WILL NOT RESULT IN ANY SIGNIFICANT DISTURBANCE OR EFFECT ON DRAINAGE: NO SANITARY SEWER SERVICE, POTABLE WATER. OR TRASH DISPOSAL IS REQUIRED AND NO COMMERCIAL SIGNAGE IS PROPOSED. 9. DESTINATION WILL BE ON THE LEFT 1.6MI A- 6 ELEVATIONS 3 SADDLE ROAD 3 ROUTE 200 ( SADDLE ROAD) WAIMEA, HI 96743 TMK: ( 3) 4- 4- 015: 005 SPACE NOT INTENDED FOR HUMAN HABITATION AND ONLY INFREQUENTLY VISITED BY MAINTENANCE PERSONAL. ACCESSIBILITY IS NOT REQUIRED PER IBC 2012. SECTION 1103. 2. 9 ( EQUIPMENT SPACES) TOWER OWNER: AT&T POWER AGENCY: HELCO RFDS VERSION: - TELEPHONE AGENCY: HAWAIIAN TELECOM DATE UPDATED: - Sheet Title: STATEMENTS TITLE SHEET A TOWER ANALYSIS WAS NOT PERFORMED BY J5 INFRASTRUCTURE PARTNERS FOR THIS TO MAN LOCATION OF PARTICIPANTS UNDERGROUND FACILITES BEFORE YOU SCOPE OF WORK. TOWER ANALYSIS SHALL BE COMPLETED BY THE TOWER OWNER PRIOR TO THE START OF CONSTRUCTION FOR THE SCOPE OF WORK SHOWN ON THESE DRAWINGS. TOWER ANALYSIS AND ANY REQUIRED MODIFICATIONS TO THE TOWER SHALL BE UNDER A SEPARATE PERMIT aG INHAWAII . CALL HAWAII CMECALL TOLL FREE: 1- 868- 423- 7287 OR C° e1orEYO11d19 crp REE oLWASTi. A••[ Na2 Know what' s below. WORMS DAYS NOTICE WORMS Call before you dig. BEFORE YW EXCAVATE lShee' Number. T- 1 J 4ERAL CONSTRUCTION N: 1. PLANS ARE INTENDED TO BE DIAGRAMMATIC OUTLINE ONLY, UNLESS NOTED OTHERWISE. THE WORK SHALL INCLUDE FURNISHING MATERIALS, EQUIPMENT. APPURTENANCES AND LABOR NECESSARY TO COMPLETE ALL INSTALLATIONS AS INDICATED ON THE DRAWINGS. A.B. 2. THE CONTRACTOR SHALL OBTAIN, IN WRITING. AUTHORIZATION TO PROCEED BEFORE STARTING WORK ON ANY ITEM NOT CLEARLY DEFINED OR IDENTIFIED BY THE CONTRACT ABV. DOCUMENTS. ACOAADD' L 3. CONTRACTOR SHALL CONTACT USA ( UNDERGROUND SERVICE ALERT) AT 866- 423- 7287 OR 811, FOR UTILITY LOCATIONS, 48 HOURS BEFORE PROCEEDING WITH ANY EXCAVATIONF9ITEA.F.G. WORK OR CONSTRUCTION. ALUM. 4. THE CONTRACTOR SHALL INSTALL ALL EQUIPMENT AND MATERIALS IN ACCORDANCE WITH MANUFACTURER' S RECOMMENDATIONS UNLESS SPECIFICALLY INDICATED OTHERWISTIL R ANT. WHERE LOCAL CODES OR REGULATIONS TAKE PRECEDENCE. APPRX. 5. ALL CONSTRUCTION SHALL BE IN ACCORDANCE WITH THE IBC / UBC' S REQUIREMENTS REGARDING EARTHQUAKE RESISTANCE, FOR, BUT NOT LIMITED TO. PIPING. LIGHT FIXTURESPBAIGAWG. GRID. INTERIOR PARTITIONS, AND MECHANICAL EQUIPMENT. ALL WORK MUST COMPLY WITH LOCAL EARTHQUAKE CODES AND REGULATIONS. BLDG. 6. REPRESENTATIONS OF TRUE NORTH, OTHER THAN THOSE FOUND ON THE PLOT OF SURVEY DRAWINGS. SHALL NOT BE USED TO IDENTIFY OR ESTABUSH BEARING OF TRUE NORTH AEU EGGSITE. THE CONTRACTOR SHALL RELY SOLELY ON THE PLOT OF SURVEY DRAWING AND ANY SURVEYOR' S MARKINGS AT THE SITE FOR THE ESTABLISHMENT OF TRUE NORTH. AND SHALL NW THE ARCHITECT / ENGINEER PRIOR TO PROCEEDING WITH THE WORK IF ANY DISCREPANCY IS FOUND BETWEEN THE VARIOUS ELEMENTS OF THE WORKING DRAWINGS AND THE TRUE MIRTH ORIENTATION AS DEPICTED ON THE CIVIL SURVEY. THE CONTRACTOR SHALL ASSUME SOLE LIABILITY FOR ANY FAILURE TO NOTIFY THE ARCHITECT / ENGINEER. BTCW. B.O.F. 7. THE BUILDING DEPARTMENT ISSUING THE PERMITS SHALL BE NOTIFIED AT LEAST TWO WORKING DAYS PRIOR TO THE COMMENCEMENT OF WORK. OR AS OTHERWISE STIPULATED B9/MIECAB. CODE ENFORCEMENT OFFICIAL HAVING JURISDICTION. CANT. 8. DO NOT EXCAVATE OR DISTURB BEYOND THE PROPERTY LINES OR LEASE LINES, UNLESS OTHERWISE NOTED. CL.I.P. 9. ALL EXISTING UTILITIES, FACILITIES. CONDITIONS, AND THEIR DIMENSIONS SHOWN ON THE PLAN HAVE BEEN PLOTTED FROM AVAILABLE RECORDS. THE ARCHITECT / ENGINEER ANOEIE OWNER ASSUME NO RESPONSIBILITY WHATSOEVER AS TO THE SUFFICIENCY OR THE ACCURACY OF THE INFORMATION SHOWN ON THE PLANS, OR THE MANNER OF THEIR REMOT/ RIOR CONIADJUSTMENT. CONTRACTORS SHALL BE RESPONSIBLE FOR DETERMINING EXACT LOCATION OF ALL EXISTING UTILITIES AND FACILITIES PRIOR TO START OF CONSTRUCTION. CONTRRS SHALL ALSO OBTAIN FROM EACH UTILITY COMPANY DETAILED INFORMATION RELATIVE TO WORKING SCHEDULES AND METHODS OF REMOVING OR ADJUSTING EXISTING UTILITILSSONST. 10. CONTRACTOR SHALL VERIFY ALL EXISTING UTILITIES. BOTH HORIZONTAL AND VERTICALLY, PRIOR TO THE START OF CONSTRUCTION. ANY DISCREPANCIES OR DOUBTS AS TO THE dONT. INTERPRETATION OF PLANS SHOULD BE IMMEDIATELY REPORTED TO THE ARCHITECT / ENGINEER FOR RESOLUTION AND INSTRUCTION, AND NO FURTHER WORK SHALL BE PERFORtI19 UNTIL THE DISCREPANCY IS CHECKED AND CORRECTED BY THE ARCHITECT / ENGINEER. FAILURE TO SECURE SUCH INSTRUCTION MEANS CONTRACTOR WILL HAVE WORKED AT HIS/ HE E WN RISK AND EXPENSE. DIA.DIAG. 11. ALL NEW AND EXISTING UTILITY STRUCTURES ON SITE AND IN AREAS TO BE DISTURBED BY CONSTRUCTION SHALL BE ADJUSTED TO FINISH ELEVATIONS PRIOR TO FINAL INSPECTION filkeORK. 12. ANY DRAIN AND/ OR FIELD TILE ENCOUNTERED / DISTURBED DURING CONSTRUCTION SHALL BE RETURNED TO ITS ORIGINAL CONDITION PRIOR TO COMPLETION OF WORK. SIZE. 4TION AND TYPE OF ANY UNDERGROUND UTILITIES OR IMPROVEMENTS SHALL BE ACCURATELY NOTED AND PLACED ON " AS - BUILT" DRAWINGS BY GENERAL CONTRACTOR. AND ISSUEQ, OTHE ARCHITECT / ENGINEER AT COMPLETION OF PROJECT. ELELEC. 13. ALL TEMPORARY EXCAVATIONS FOR THE INSTALLATION OF FOUNDATIONS, UTILITIES, ETC., SHALL BE PROPERLY LAID BACK OR BRACED IN ACCORDANCE WITH CORRECT OCCUMI; QNAL SAFETY AND HEALTH ADMINISTRATION ( OSHA) REQUIREMENTS. EMT. E.N. 14. INCLUDE MISC. ITEMS PER AT& T SPECIFICATIONS ENG. 15. IT IS A VIOLATION OF LAW FOR ANY PERSONS. UNLESS THEY ARE ACTING UNDER THE DIRECTION OF A LICENSED PROFESSIONAL ENGINEER, TO ALTER THIS DOCUMENT EQ. EXP. 16. ALL ( N) CABLING AND EQUIPMENT MUST BE INSTALLED AND USED IN ACCORDANCE WITH THE PRODUCT' S INCLUDED INSTRUCTIONS. LISTING AND/ OR LABELING REQUIREMENTS.(. 0 SECTION 110. 3( B) EXT.FAB. 17. VENTILATION AT BATTERY AREA IS IN ACCORDANCE WITH NEC SECTION 480. 10( A) F.F. 18. THE FACILITY IS UNMANNED AND NOT FOR HUMAN HABITATION. A TECHNICIAN WILL VISIT THE SITE AS REQUIRED FOR ROUTINE MAINTENANCE. THE PROJECT WILL NOT RESULT IN hPTYFIN. SIGNIFICANT DISTURBANCE OR EFFECT ON DRAINAGE; NO SANITARY SEWER SERVICE, POTABLE WATER. OR TRASH DISPOSAL IS REQUIRED AND NO COMMERCIAL SIGNAGE IS PRWOSED. 19. PENETRATIONS SHALL BE FIRE - STOPPED AND OPENINGS SHALL BE PROTECTED THROUGH FIRE - RATED WALLS, FLOOR, ROOF AND CEILING ASSEMBLIES AS REQUIRED BY THE 2012 IBC CHAPTER 7. 20. STRUCTURAL ANALYSIS IS NOT WITHIN THE SCOPE OF WORK CONTAINED IN THIS DRAWINGS SET. FOR ANALYSIS OF EXISTING AND/ OR PROPOSED COMPONENTS, REFER TO STRUCTURAL ANALYSIS PROVIDED UNDER SEPARATE COVER. 21. ANTENNA MOUNT ANALYSIS IS NOT WITHIN THE SCOPE OF WORK CONTAINED IN THIS DRAWING SET. FOR ANALYSIS OF MOUNT TO SUPPORT EXISTING AND/ OR PROPOSED COMPONENTS, REFER TO ANTENNA MOUNT STRUCTURAL ANALYSIS PROVIDED UNDER SEPARATE COVER. 22. TOWER ANALYSIS TO BE CONDUCTED AND PROVIDED BY TOWER OWNER. FOR ANALYSIS OF EXISTING AND/ OR PROPOSED COMPONENTS, REFER TO TOWER STRUCTURAL ANALYSIS UNDER SEPARATE COVER. APPLICABLE CODES. REGULATIONS AND STANDARDS: 1. SUBCONTRACTOR' S WORK SHALL COMPLY WITH ALL APPLICABLE NATIONAL STATE, AND LOCAL CODES AS ADOPTED BY THE LOCAL AUTHORITY HAVING JURISDICTION ( AHJ) FOR THE LOCATION. 2. THE EDITION OF THE AHJ ADOPTED CODES AND STANDARDS IN EFFECT ON THE DATE OF CONTRACT AWARD SHALL GOVERN THE DESIGN. 3. SUBCONTRACTOR' S WORK SHALL COMPLY WITH THE LATEST EDITION OF THE FOLLOWING STANDARDS: 3. 1. AMERICAN CONCRETE INSTITUTE ( ACI) 318. BUILDING CODE REQUIREMENTS FOR STRUCTURAL CONCRETE 3. 2. AMERICAN INSTITUTE OF STEEL CONSTRUCTION ( RISC). MANUAL OF STEEL CONSTRUCTION. ASD, FIFTEENTH EDITION 3. 3. TELECOMMUNICATIONS INDUSTRY ASSOCIATION ( TIA/ EIA) 222- H, STRUCTURAL STANDARDS FOR STEEL ANTENNA TOWERS AND ANTENNA SUPPORTING STRUCTURES 3. 4. INSTITUTE FOR ELECTRICAL AND ELECTRONICS ENGINEERS ( IEEE) 81, GUIDE FOR MEASURING EARTH RESISTIVITY. GROUND IMPEDANCE. AND EARTH SURFACE POTENTIALS OF A GROUND SYSTEM IEEE 1100 ( 1999) RECOMMENDED PRACTICE FOR POWERING AND GROUNDING OF ELECTRICAL EQUIPMENT. 3. 5. IEEE C62. 41, RECOMMENDED PRACTICES ON SURGE VOLTAGES IN LOW VOLTAGE AC POWER CIRCUITS ( FOR LOCATION CATEGORY " C3" AND ' NIGH SYSTEM EXPOSURE) 3. 6. TIA 607 COMMERCIAL BUILDING GROUNDING AND BONDING REQUIREMENTS FOR TELECOMMUNICATIONS TELCORDIA GR - 63 NETWORK 3. 7. EQUIPMENT - BUILDING SYSTEM ( NEBS): PHYSICAL PROTECTION 3. 8. TELCORDIA GR - 347 CENTRAL OFFICE POWER WIRING 3. 9. TELCORDIA GR - 1275 GENERAL INSTALLATION REQUIREMENTS 3. 10. TELCORDIA GR - 1503 COAXIAL CABLE CONNECTIONS 3. 11. ANY AND ALL OTHER LOCAL & STATE LAWS AND REGULATIONS 3. 12. FOR ANY CONFLICTS BETWEEN SECTIONS OF LISTED CODES AND STANDARDS REGARDING MATERIAL. METHODS OF CONSTRUCTION, OR OTHER REQUIREMENTS. THE MOST RESTRICTIVE SHALL GOVERN. WHERE THERE IS CONFUCT BETWEEN A GENERAL REQUIREMENT AND A SPECIFIC REQUIREMENT, THE SPECIFIC REQUIREMENT SHALL GOVERN. 3. 13. 2012 NATIONAL FIRE PROTECTION ASSOCIATION ( NFPA) 1 - 1. 9. 4 THIS CODE SHALL NOT BE CONSTRUED TO RELIEVE FROM OR LESSEN THE RESPONSIBILITY OF ANY PERSON OWNING, OPERATING. OR CONTROLLING ANY BUILDING OR STRUCTURE FOR ANY DAMAGES TO PERSONS OR PROPERTY CAUSED BY DEFECTS. NOR SHALL THE CODE ENFORCEMENT AGENCY ORITS PARENT JURISDICTION BE HELD AS ASSUMING ANY SUCH LIABILITY BY REASON OF THE INSPECTIONS AUTHORIZED BY THIS CODE OR ANY PERMITS OR CERTIFICATES ISSUED UNDER THIS CODE. ANCHOR BOLT ABOVEANTENNA CABLE COVER ASSEMBLY ADDITIONALABOVE FINISHED FLOOR ABOVE FINISHED GRADE ALUMINUMALTERNATEANTENNAAPPROXIMATE( LY) ARCHITECT( URAL) AMERICAN WIRE GAUGE BUILDINGBLOCKBLOCKINGBEAMBOUNDARY NAILING BARE TINNED COPPER WIRE BOTTOM OF FOOTING BACK- UP CABINETCABINETCANTILEVER( ED) CAST IN PLACECEILINGCLEARCOLUMNCONCRETECONNECTION( OR) CONSTRUCTIONCONTINUOUSPENNY ( NAILS) DOUBLEDEPARTMENTDOUGLAS FIR DIAMETERDIAGONALDIMENSIONDRAWING( S) DOWEL( S) EACHELEVATIONELECTRICALELEVATORELECTRICAL METALLIC TUBING EDGE NAILENGINEEREQUALEXPANSIONEXISTINGEXTERIORFABRICATION( OR) FINISH FLOOR FINISH GRADE FINISH( ED) FLOOR ABBREVIATIONS: FDN. F.O.C. F.O.M. F.O.S. F.O.W. F.S. FT.(' ) FTG. G. GA. GI. G.F.I. INTERRUPTERGLB. ( GLU- LAM) GPSGRND. HDR. HGR. HT. ICGB. IN.( ) INT. LB.(A) L.B. L.F. L. MAS. MAX. M.B. MECH. MFR. MIN. MISC. MIL. N) NO.(#) N.T.S. O.C. OPNG. P/CPCSSERVICESPLY. PPCPRCP.S.F. P.S.I. P.T. PWR. QTY. RAD.( R) REF. REINF. REQ' D/ RGS. FOUNDATIONFACE OF CONCRETE FACE OF MASONRY FACE OF STUD FACE OF WALL FINISH SURFACE FOOT ( FEET) FOOTINGGROWTH ( CABINET) GAUGEGALVANIZED) GROUND FAULT CIRCUIT GLUE LAMINATED BEAM GLOBAL POSITIONING SYSTEM GROUNDHEADERHANGERHEIGHTISOLATED COPPER GROUND BUS INCH( ES) INTERIORPOUNDS) LAG BOLTSLINEAR FEET ( FOOT) LONGITUDINAL) MASONRYMAXIMUMMACHINE BOLTMECHANICALMANUFACTURERMINIMUMMISCELLANEOUSMETALNEWNUMBERNOT TO SCALE ON CENTEROPENINGPRECAST CONCRETE PERSONAL COMMUNICATION PLYWOODPOWER PROTECTION CABINET PRIMARY RADIO CABINET POUNDS PER SQUARE FOOT POUNDS PER SQUARE INCH PRESSURE TREATED POWER ( CABINET) QUANTITYRADIUSREFERENCEREINFORCEMENT( ING) REQUIREDRIGID GALVANIZED STEEL SYMBOLS LEGEND: I 031 - IIO BLDG. SECTION WALL SECTION DETAILELEVATIONDOOR SYMBOL WINDOW SYMBOL TILT - UP PANEL MARK PROPERTY LINECENTERLINESETBACK tecr ELEVATION DATUM GRID/ COLUMN UNE j KEYNOTE, DIMENSION ITEM KEYNOTE. CONSTRUCTION ITEM C:: ICF WALL TYPE MARK ROOM NAME ROOM NUMBER SCH. SHT. SIM. SPEC. SQ. S.S. STD. STLSTRUC. TEMP. THK. T.N. T.O.A. T.O.C. T.O.F. T.O.P. T.O.S. T.O.W. TYP. U.G. U.L. U.N.O. V.I.F. ww/ WO. W.P. WT. e I = _ = d ii; OHTa - Pm - Coa- Rib8 SCHEDULESHEETSIMILARSPECIFICATIONSSQUARESTAINLESS STEEL STANDARDSTEELSTRUCTURALTEMPORARYTHICKNESS) TOE NAIL TOP OF ANTENNA TOP OF CURB TOP OF FOUNDATION TOP OF PLATE ( PARAPET) TOP OF STEEL TOP OF WALL TYPICALUNDER GROUNDUNDERWRITERS LABORATORY UNLESS NOTED OTHERWISE VERIFY IN FIELD WIDE ( WIDTH) WITHWOODWEATHERPROOFWEIGHTCENTERLINEPLATE, PROPERTY LINE GROUT OR PLASTER E) BRICK E) MASONRYCONCRETEEARTHGRAVELPLYWOODSANDPLYWOODSANDE) STEELMATCH LINEGROUND CONDUCTOR OVERHEAD SERVICE CONDUCTORS TELEPHONE CONDUIT POWER CONDUIT COAXIAL CABLE CHAIN UNK FENCE CHAIN LINK FENCE WOOD FENCE P) ANTENNA P) RRU P) DC SURGE SUPPRESSION F) ANTENNA F) RRU E) EQUIPMENT PREPARED FORAT& T 503 KAHEIU AVENUF MXILANI, HI 96789 er:OO!: r5INFRASTRUCTURE 677 ALA MOANA BLVD, STE 917 HONOLULU. HAWAII 96813 15 PROJECT ID: P. 022405 AT& T Site ID: H I L03359 DRAWN BY: JY CHECKED BY: JMM 320AREV 04/02/2102/26/2109/22/2007/08/2003/16/20DATE SAO COMMENTS SAQ COMMENTS SAQ COMMENTS 100% ZDs 90% ZDsDESCRIPTION Licensor: I. aw00 wn$ aal . AD!, rn! Poraenr vre. Car+ CParauct, a ,+ Carona wuCf OISIay. rC UNPIN. rar rCti. 4Dry C. APRa I' S r. wnu wlnanan.. vtRMIS . W. fHSO , t ts. roeal,, C" EC -S. SJa:frP;w•: Issued Fc HIL03359SADDLE ROAD 3 ROUTE 200 ( SADDLE ROAD) WAIMEA, HI 96743 TMK: ( 3) 4- 4- 015: 005 Sheet Title: GENERAL NOTES Sheet Number. GN - 1 0 AT& T Thio 5, te Operated bY: ATaT MOBILITY ATBT MOBILITY SO3 KAHELU AVENUE MLILANI, HI 96789 IN CASE OF FIRE AND THE NEED FOR SHUTDOWN TO DEACTIVATE ANTENNAS CALL THE FOLLOWING NUMBER: For 24 Hour Emergency Contact and Access Please Call: 800) 832- 6662 Reference Site: HIL03359 site Address: ROUTE 200 ( SADDLE ROAD) WAIMEA. HI 96743 0 FENCED COMPOUND SIGNAGE 0 NOTRESPASSING OFENCED COMPOUND SIGNAGE N.T.S. NOTICEAUTHORIZEDPERSONNELONLY ODOOR / EQUIPMENT SIGN N.T.S. DANGER) DANGER DIESEL FUEL LEAD ACID BATTERIES ORROSIVENO SMOKING GF ERGI EDLDSELLEICTR CAL (ELEC RUITS) NO OPEN FLAMES NO SMOKING ONFPA HAZARD SIGN - TYPICAL N.T.S. INFORMATION Federal Communications Communication Tower Registration Number I8" 1 2 3 4 5 6 7 Posted In accordance win federal Communications Commission rules and onlenno lower regislrotion 47CFR 17.4(9). OFCC ASR SIGNAGE N.T.S. 12" Property of AT& TAuthorizedPersonnel Only NO TrespassingViolators will be Prosecuted In case of emergency, or prior to performing maintenonce on 1h6 site. call and reference cell site number OGATE SIGNAGE N.T.S. Property of AT& T AuthorizedPersonnel Only In case of emergency, or prior to performing maintenance on this site, call and reference cell site number OSHELTER / CABINET DOORS SIGNAGE NTS. 1211 8" parceyANION war,. o. e, n11K0. wc, v. Afl% u•Iw alw1, w.[ xa..% T., r«, uccw. I. nvo, wyaur 41'• n, 1, 110r00• 0. CC04• C61n w. lnrn, wx. IrnwK Mcl• uw. G• 111014. 14. 2... 0 CT.. f,,, w4[,. f• n 014C[[,,. 6 pppr, wlC•/ G.n NFORMATION SIGN 1-1 SCALE: 1/2". 1' 7" 5" INFORMATION ACTIVE ANTI: WAS ARE MOUNTED ON THE OUTSIDE FACE OF T/ 4513ULDp6 INFCRMATIDN SIGN 1-2 ON THS STRUCTURE STAY SACK IAT. IUM OF 3 FEET FROM THESE ANTENNAS CCMACTAT& T MOBIIfYAT Se0878. 28778 FOLLOW T ER NSTRUC1IONS PRIOR TO PERFORMING ANY MNNTENANCE OR REPAIRS CLOSER ANN 3FEEI FROM TIE ANTENNAS. TNS IS ATBT VOBtITY SUE 1 1. CONTRACTOR SHALL INSTALL AU. Nf OR. MATION SIGNAGE IN ACCORDANCE w/ AT& T WIRELESS DOCUMENT 11030074, RF EXPOSURE POLICY AND RF SAFETY COMPLIANCE PROGRAM. LATEST EDITION, 2. FABRICATION: SIGN I. 1: ENTRANCE DOOR. SEE DETAIL 1A. THIS SHEET SIGN 16 TO BE MADE ON THE 50 MIL ALUMNUM SHEETING ( SIZE8 INCHES BY 12 INCHES) w/ FOUR ( 4) I INCH MOUNTING HOLES, ONE EACH CORNER OF THE SIGN FOR MOUNTING w/ HARDWARE w/ TE WRAPS. THE MAIN BACKGROUND COLOR IS TO BE WI - RTE FRONT & BACK w/ BLACK LEI TURING. THE NFORMATION BAND SHALL BE 1. 2 NCH SOLID GREEN BAND w. 0. 51NCH HIGH BLACK LETTERNG. THE BODY TEXT SHALL BE IN BLACK LETTERING w/ 0. 2 INCH HIGH LETTERS. THE REF INE SHALL BE N; NCH LETTERS. THE PLACEMENT OF TEXT SHALL BE DONE N A MANNER THAT WLL PERMIT EASY REAONG FROM A DISTANCE OF APPROXIMATELY 6 FEET IN FRONT OF THE SIGN. OINFORMATION SIGNAGE N.T.S. INFORMATION SIGN 1-2 SCALE: 3/ 4•= 1' 2" — t AT& T 1" n NFORMA T1ON SIGN 1-3 SCALE' 1/ 4" = 1' 1-1/2" eACK3ET 24" R0M D' NFORMATION SIGN I-1 SCALE: 3/ 16". 1, ALL PAM WILL BE BAKED w/ ENAMEL w/ UV PROTECTIVE COATING OVER THE FACE OF THE SIGN. SIGN l- 2 POLE, SEE DETAIL 1B. THIS SHEET SIGN 2 MUST BE A NON METALUC LABEL w/ AN ADHESIVE BACKING, THE LABEL SHALL BE MADE USING VINYL OR SIMILAR WEATHERPROOF MATERIAL THE LABEL SHALL BE APPROXIMATELY 5X7 INCHES w/ A WHITE BACKGROUND AND BLACK LETTERING. 11- 1E GREEN BAND SHALL BE 1. 375 INCH IN HEIGHT & THE LETTERING SHALL BE BLACK w/ 0. 75 NCH HIGH LETTERS. THE TEXT LETTERING SHALL BE BLACK w/ a NCH HIGH LETTERS. UV PROTECTION SHALL BE PLACED OVERT)* FRONT OF THE LABEL SIGN 1- 3: BACK OF ANTENNAS. SEE DETAIL IC & 3. THIS SHEET SIGN 3 6 a 1 INCH X 2 INCH PANEL THAT CAN BE APPLIED TOTHE BACK OR SIDE OF AN ANTENNA TO IDENTIFY IT AS AN AT& T ANTENNA. SKIN I. 4: SIDE OF ANTENNAS, SEE DETAIL 1D & 3. THIS SHEET SIGN 415 MADE FROM TRANSPARENT MATERLAL 1- 1 / 2 INCHES WIDE & 24 INCHES LONG. THE LETTERING 610 BE BLACK w4 NCH LETTERING N A VERTICAL COLUMN. THE SPACING BETWEEN WORDS MUST BE SUCH THAT ITS EASILY READ & FILLS THE LENGTH OF THE SIGN. NOTE: 1. CONTRACTOR SHALL INSTALL ALL INFORMATION SIGNAGE IN ACCORDANCEw/ AT& T WIRELESS DOCUMENT 603- 0074, RF EXPOSURE POLICY AND RF SAFETY COMPLIANCE PROGRAM, LATEST EDITION. 2. CONTRACTOR SHALL CONTACT AT& T R- RFSC FOR INFORMATION ON MPE LEVELS AND INSTRUCTIONS ON LEVEL AND LOCATION OF SIGNAGE NOTICE000 AT& T operates antennas atthissite. Beyond This Point you are entering anarea where radio frequency ( 111) fields mayexceed the F(( General Population Exposure Limns. Fellow safety guidelines for working inanRF I environment. Contact AT& T at 800- 638- 2822. option 9and3, i and folbw their instructions prior to performing any maintenance or repairs above this point. a0- 2Aa 111 hln 407411r ACAUTION ACAUTION PAT operates antennas atthissite. Beyond This Point you are entering anarea there radio frequency ( RF) fields may exceed the KC Occupational Exposure Limits Follow safety guidelines for working inanRF environment. Conrad AT& T at 800- 638- 2822, option 9and3, and follow their instructices prior to performing maintenance or repairs beyond this point. d+.. w[ II—... MrsAlar OWARNING. CAUTION AND NOTICE SIGN N.T.S AT& T operates antennas atthissite Beyond This Point you are entering anarea where radio frequency ( RF) fields may exceed the FC( Occupational Exposure Limits. Follow safety guidelines fa waking inanRF environment. Contact AT& T at 800- 638- 2822, option 9and3, and follow their instructions prior to performing maintenance or repairs beyond this point. 1• oryu.., irsMAI was _ • SIGNAGE AND STRIPING INFORMATION I. THE FOLLOWING INFORMATION ISA GUIDELINE w/ RESPECT TO PREVAILING STANDARDS LIMITING HUMAN EXPOSURE TO RADIO FREQUENCY ENERGY AND SHOULD BE USED AS SUCH. I0 THE SITE' S EMF REPORT OR ANY LOCAL STATE OR FEDERAL GUIDEUNES OR REGULATIONS SHOULD BEIN CONFUCT w/ ANY PART OF THESE NOTES OR PLANS, THE MORE RESTRICTIVE GUIDELINE OR REGULATION SHALL BE FOLLOWED AND OVERRIDE THE LESSER. 2. THE PUBUC LIMIT OF RF EXPOSURE ALLOWED BYAT&TIS lmWcm' 2 AND THE OCCUPATIONAL LIMIT OF RF EXPOSURE ALLOWED BY AT& T IS SmWcm• 2 3. IF THE BOTTOM OF THE ANTENNA IS MOUNTED ( 8) EIGHT FEET ABOVE THE GROUND OR WORKING PLATFORM LINE OFTHE PERSONAL COMMUNICATION SYSTEM ( PCS) AND DOES NOT EXCEED THE PUBUC UMIT OF RF EXPOSURE LIMIT THEN NO STRIPING OR BARRICADES SHOULD BE NEEDED. 4. IF THE PUBLIC LIMIT OF RF EXPOSURE ON THE SITE IS EXCEEDED AND THE AREA IS PUBUCLY ACCESSIBLE ( e.g. ROOF ACCESS DOOR THAT CANNOT BE LOCKED, OR FIRE EGRESS) THEN BOTH BARRICADES AND STRIPING SHALL BE PLACED AROUND THE ANTENNAS. THE EXACT EXTENT OFTHE BARRICADES AND STRIPING SHALL BE DETERMINED BYTHE EMF REPORT FOR THE SITE DONE BEFORE OR SHORTLY AFTER COMPLETION OF SITE CONSTRUCTION. USE THE PLANS ASA GUIDEUNE FOR PLACEMENT OF SUCH BARRICADES AND STRIPING. 5. IF THE PUBLIC LIMIT OF RF EXPOSURE ON THE SITEIS EXCEEDED AND THE AREA IS PUBLICLY ACCESSIBLE ( e.g. ROOF ACCESS DOOR THAT CANNOT BE LOCKED. OR FIRE EGRESS) THEN BOTH BARRICADES AND STRIPING SHALL BE PLACED AROUND THE ANTENNAS. THE EXACT EXTENT OFTHE BARRICADES AND STRIPING SHALL BE PLACED AROUND THE ANTENNAS. THE EXACT EXTENT OF THE BARRICADES & STRIPING SHALL BE DETERMINED BY THE EMF REPORT FOR THE SITE DONE BEFORE OR SHORTLY AFTER COMPLETION OFSITE CONSTRUCTION. USE THE PLANS AS A GUIDELINE FOR PLACEMENT OF SUCH BARRICADES AND STRIPING. 6. ALL TRANSMIT ANTENNAS REQUIRE A THREE LANGUAGE WARNING SIGN WRITTEN IN ENGLISH, SPANISH. AND CHINESE. THIS SIGN SHALL BE PROVIDED TOTHE CONTRACTOR Y THE AT& T CONSTRUCTION PROJECT MANAGER AT THE TIME OF CONSTRUCTION. THE LARGER SIGN SHALL BE PLACED IN PLAIN SIGHT AT ALL ROOF ACCESS LOCATIONS AND ON ALL BARRICADES. THE SMALLER SIGN SHALL BE PLACED ON THE ANTENNA ENCLOSURES IN A MANNER THAT 6 EASILY SEEN BY ANY PERSON ON THE ROOF. WARNING SIGNS SHALL COMPLY w/ ANSI C95. 2 COLOR, SYMBOL, AND CONTENT CONVENTIONS. ALL SIGNS SHALL HAVE AT& TS NAME AND THE COMPANY CONTACT INFORMATION ( e. g. TELEPHONE NUMBER) TO ARRANGE FOR ACCESS TO THE RESTRICTED AREAS. THIS TELEPHONE NUMBER SHALL BE PROVIDED TO THE CONTRACTOR BY THE AT& T CONSTRUCTION PROJECT MANAGER AT THE TIME OF CONSTRUCTION. PHOTOS OF ALL STRIPING, BARRICADES 8. SIGNAGE SHALL BE PART OF THE CONTRACTORS CLOSE OUT PACKAGE & SHALL BE TURNED INTO THE AT& T CONSTRUCTION PACKAGE SHALL BE TURNED INTO THE AT& T CONSTRUCTION PROJECT MANAGER AT THE END OF CONSTRUCTION. STRIPING SHALL BE DONE w/ FADE RESISTANT YELLOW SAFETY PAINT IN A CROSS - HATCH PATTERN AS DETAILED BY THE CONSTRUCTION DRAWINGS. ALL BARRICADES SHALL BE MADE OF AN RF FRIENDLY MATERIAL SO AS 0401 TO BLOCK OR INTERFERE w/ THE OPERATION OF THE ANTENNAS. BARRICADES SHALL BE PAINTED w/ FADE RESTRAINT YELLOW SAFETY PAINT. THE CONTRACTOR SHALL PROVIDE ALL RF FRIENDLY BARRICADES NEEDED. & SHALL PROVIDE THE AT& T CONSTRUCTION PROJECT MANAGER w/ A DETAILED SHOP DRAWING OF EACH BARRICADE. UPON CONSTRUCTION COMPLETION. OGENERAL NOTES N.T.S. PREPARED FORAT& T 500 KAHELU AVENUE MILILANI, HI 96789 Vendor: y5 INFRASTRUCTURE 677 ALA MOANA BLVD. STE917 HONOLULU, HAWAII 96813 35 PROJEC1 ID: P- 027405 AT& T Site ID: H I L0335 9 DRAWN 8Y: 1Y CHECKED BY: JMM. 3 04/ 02/ 21 SAO COMMENTS 2 02/ 26/ 21 SAO COMMENTS 1 09/ 22/ 20 SAO COMMENTS 0 07/ 08/ 20 100% Ms A 03/ 16/ 20 90% ZDs REv DATE DESCRIPTION Licensor: 1L,1• uxpxAOCY',n,:- Rcc,. C' I F . SMMa WP Issued Fo• H I L03359SADDLE ROAD 3 ROUTE 200 ( SADDLE ROAD) WAIMEA, HI 96743 TMK: ( 3) 4- 4- 015: 005 Sheet Title: SITE SIGNAGE Shen' J^ -1:3€;r: GN - 2 JO GIRLS SCOUT CAMP KILOHANA" 6. 875 ACRES 8256. 11.485) WYK{ 3) 1- 4- 015005 VICINITY MAP NOT TO SCALE AT& T HIL03359GROUND ELEVATION • 5654 FT. STATE OF HAWAII ZONE 1 GEODETIC POSRION NAD83( PA11) LATITUDE • N. 19.48,03.54- LONCATuDE• 9. 48' 46. 54"\ LONGITUDE• W. 15579' 00.1" 41 94' 01• 5245. - .• 1'1 .. ` 4829' SADDLE ROAD yt4 ` r.. - . / 5544 • 56. 14 M,5• EA 5A 7 N. ' 6 9.555 1r(/ 136.. 5675 •\/.. 2: 5642 .. - ` a` \ L .. • X4` 6 X 4 - 5555. 67x5 5 :... j. s-\ • 4, .• X3. 3_ 6{ 1-- AT& 1lHI1L3359ex• GOVER81( 91 , An; 1110( 3)4- 4- 0150136.5.F. 20.7' 461 55461 u LEGEND: AC ASPWLI CONCRETE a 3316165MOM 6. 1000 Pp Nye POLE 5. 586/0 1. 106 191 61i1R6Rf 16101 1916( 11321 111 165102 SITE MAP SCALE: 1 IN. = 100 FT. N31ES: 1 AN 2156 ND COMMIES 6 6 TOMO60 10 OOTOONDQ OAVEY 7RN1pU1p11 514168 N191u1'. 2. 512910) 45 166 . DINED m 1612 50. 90)4 ' 161 2433 6 ( 1969) ( 90155 UA1) 30821100 Al1M 1O6 16 A C@61617 964 AT WPM 6941. 191 r 90636405 G D6 066% 115 Mink NAM ND 50 D. 00036651 7 1K TK WEL 9505164x4 r. ( 43154) 3 M' 42390 SAT, ( 6 M 66016 990 PE: CPo6D 0A 059560' < 5 ' `. AY. W :E 697 3603. 90- 5 10010 4500556 KEOTY. T 5633' 5: ,. 9 xE X5. 59 56r s. _ 5. i b}36.5 -i ... v. • 55175: W6 524652• , 2541'' 47191 9492 56453 6, 464 . 6S 45 rcIL 5S5' 4 5bn . r . .; 0'; 2 X54621 20.. 192( 21641 a31: Z yn • 52550E 3.. 5221 51558 M396K ' 5537.` 56262 it' 3 5.5'65 3032 12536 306,0 5t5764 ' 31533 ' X56: ' 9131' . 95311 4660'TKi 525556 446 21036; X556 9216 T ! 653.2 EX: C6AC4567" 56:476C!R 565: 5' X12'2 0'051 5645>I 5iCe4 95350 9528 561'' 2 . 5652525262 Y: 17..' t 054'.0' 342 k. 5€41156411 Tye 566562 u6, p__ k. t -'••- - 6633& 144515 `'.:. E; 6 793: ' 94751 52+ 56 524! 7 ' 35436 94924 ENLARGEMENTSCALE: 1 IN. = 20FT. AT& T HIL03359 SADDLE ROAD 3 AFFECTING GIRLS SCOUT CAMP KILOHANA" ALL OF GRANT 13, 014 TO HAWAII ISLAND GIRL SCOUT COUNCIL, INC. KAHOE 3, HAMAKUA, ISLAND OF HAWAII. HAWAII TAX MAP KEY: ( 3) 4- 4- 015: 005 LOCATION: 1. 58 MILES NORTH OF THE INTERSECTION OF SADDLE ROAD AND DANIEL K. INOUYE HIGHWAY 19561 SCALE 0 10 20 30 x624E:G! C, AC524' 641652,- 55.07: 524- 55.07: 56 11 t ST. Pr: X090 X6262 946; 1X__ T__ jb>>-5i782E0681tit INS 1115 61/ 0609/ 016 OR WAR 1 9, P9R4 n a . 433< 9•o CENS1 ' V% 4-30-22 F6lo LS! FAL141/1t5-15 FAt, 147517- 4- 20 ( Site R. N u 04141 Un. of Slgtht, U.0 96)679-2466m2G0 E) OVERHEAD P) AT& T UTILITY POLE —, LINES, TYP. FOR OVERHEAD POWER & FIBER ROUTE P) AT& T OVERHEAD POWER/ FIBER ROUTE APPROXI t 260'-0'J ?. E) UTIUTY POLE 90/ 118185/ ic ._ P) AT&T y POWER/ FIBER x `... P.O.C. AT& T 12' WIDE 1 P) TECHNICIANPAHNOFACCESS ix ./. ( E) METAL ALONG [ E) DIRT PATH GATE r1 IE) IRE E) GIRT ACCESS * 4/ FENCE, TYP. ROAD / - cam.' 1 I Y — ( E) TREE, oQ , ` P) AT& T UTILITY POLE —, Q ` 1' FOR OVERHEAD \ ( n POWER & TIBER ROUTE / o P/0 / 1 1O t, d It 49;lt11 8 r'' 1. \ \ 30-- ACK a', v ••••• FRONT 5ET8 Iim1` • o Z \ o as p 1' re e F\ . 1 J P) AT& T 610 SQ. FT y LEASE AREA 1 r` WV0 f ' T / m i / 1 l ' i I[ I i / ' ( E) CATCHMENT TANK 11 1IIIIIII / \ i I. I 11 1 1. 1 1 / Q I PREPARED FORAT& T S00 KAHELU AVENUE MILILANI• HI 96789 A' TMK: ( 3) 4- 4- 015: 013 E) METAL GATE A- 400 vendorIS INFRASTRUCTURE 677 ALA MOANABLVD. STE917 HONOLULU, HAWAII 96813 JS PROJECT ID: P - 012E05 PROPOSED AT& T PROJECT AREA I J REFER TO DETAIL HEREON ' Y I I '' i 1' ', Sr 1 EJ DIRT ACCESS ROAD . I / S. 11 k gy ` 2 V c ` L , Ate. e9( 1- > 1.06' C - LRCLR 4.---)'-------- T" i'n14 y 1 FROMt I' 1/4p------ SEIB N0 AT& T Site ID: H 1 L03359 DRAWN BY: JY CHECKED BY: JMM 3 04/ 02/ 21 SAO COMMENTS 2 02/ 26/ 21 SAO COMMENTS 1 09/ 22/ 20 SAQCOMMENTS 0 07/ 08/ 20 100% ZDs A 03/ 16/ 20 90% ZDs REV DATE DESCRIPTION 40o A Imo TEOOLtSHED D rn m or / ( E) BUILDING, 1w p I A- 400 4REARS TMK: ( 3) 4- 4- 015: 005 / SETBACK a1O > mI / A X 11 N I ' O'f t E) BUILDINGS. TYP. , In9 Licensor: E„ or< w. S. BnBBroBs araawna. ow< Buc< w a Sat MAO ratu a WIXRarOtl. MsICM oaaer•. on cO. mBvao.. vats IS O9eEon wo sw a< Btse. ffa,. oaK+ s. vE naS. ec wser,• B EBe. Brters sr + e aC0SSIS• 0S kar... wBestta 6 .«e. unax. E sxoe« eoaw< cr„te::. r4Q• OQ FR - CONSERVATION Silt1,, ` / ® 4. 4/ . - AT& T 166 QQ` 1 o / 1 G 1 10.24'— i / •' ` `. ( PJ - os 1 i/ f/ / `: k.` HIGH MONOPINE 1 A - 5// i - i ' IIIMY N. P) ANTENNA 29' EXCLUSION DISTANCE, TYP, 24' 0 OUTUNE OF ( P) — SHOWN AS REFERENCE ONLY) MONOPINE BRANCHES Issued For: H I L03359SADDLE ROAD 3 ROUTE 200 ( SADDLE ROAD) TMK: ( 3) , HI 9674305 PROPOSED AT& T PROJECT AREA Sheet Title: PLOT PLAN & SITE PLAN FR - CONSERVATION REFER TO ENLARGED SITES ON SHEET A-2 Sheet Number: A- 1 SITE PLAN wimAivi' iT,T;i 2P2 PLOT PLAN ew„ 1 IWI4 1Iw -( E) SLOPED DIRT PATH- -- PATH 01 TOF ACCESSALOONG ) DIRT TECHNICIAN I - ' ( P) AT& T UTILITY POLE FOR OVERHEAD POWER & FIBER ROUTE I IE) GRADE -( E) SLOPED LANDSCAPE- BREAK, TYP. I( E) TREE, TYP. W PREPARED FORAT& T 500 KAHEW AVENUE MILILANI, HI 96789 NOTE: I. ( P) TOWER FOUNDATION REFERENCED HEREON IS PRELIMINARY. TOWER FOUNDATION TYPE & SIZE TO BE CONFIRMED WITH TOWER MANUFACTURER' S DESIGN AND SUPPORTING CALCULATIONS THAT WILL BE CREATED WITH THE BENEFIT OFA GEOTECHNICAL REPORT . C 11 ' 1 4 E) SLOPED DIRT PATH- l - IE) GRADE -( E) SLOPED LANDSCAPE- BREAK, TYP. E) TREE, TYP. N Vendor: al INFRASTRUCTURE 677 ALA MOANA BLVD, STE 917 HONOLULU, HAWAII 96813 J5 PROTECT x): P. O22605 AT& T SiteID: e H I L03359 E - ErF E, F - Elf F-- 1I- _\- DRAWN BY: JY CHECKED BY: JMM r/ E— E— E— E— E- 1C'' 1 MO % xl r - 1 E) DIRT AREA- rr tEl CATCHMENT TANK i N— 3 04/ 02/ 21 SAO COMMENTS 2 02/ 26/ 21 SAO COMMENTS I 09/22/20 0 07/ 08/ 20 SAG COMMENTS A 03/ 16/ 20 90% 10s REV DATE DESCRIPTION Ix1 4d \ I 1 x 16-6" IxIx xl T CLR — r-- ( Ey CATCHMENT TANK _ x Y1 ( P) AT& T ( 610 SQ. FT.) 1x x1 LEASE AREA 7/ L 1 X OUTLINE OF PROPOSED AT&T20' X1I'-6' PREFABRICATED SHELTER FOUNDATION E) SLOPED LANDSCAPE- E) SLOPED LANDSCAPE- 1 1 2 1 x_ x x x x. x 7- -j IE) GRADE BREAK. TYP. E) SLOPED LANDSCAPE- P) DC POWER + ( P) FIBER TRUNK------... i,.. CABLES WITHIN 4" 0 PVC ROUTED ` i, WITHIN UNDERGROUND TRENCH TO P) AT& T MONOPINEE) SLOPED LANDSCAPE- trU WPIAPOwC ILicensor. 1 wwOa wASI. E. 406rearOEuNCNNV S1, 118, 600.4 COw1JCQCN0, r"SPPO.SCfwuSEMOEPrppSCNr..A10 UuI I*+ Ow' S, u;, 6ELEEMCw C wAvRR ` SmwulES ., M,x6/RATMeNFSIC. CwrEPS Ar4nECrSS, quE, OGANO Issued For: HIL03359SADDLE ROAD 3 ROUTE 200 ( SADDLE ROAD) WAIMEA, HI 96743 TMK: ( 3) 4- 4- 015: 005 f , E) SLOPED LANDSCAPE- E) WATER TANK 24' 0 OUTLINE OF ( P) MONOPINE BRANCHES u , J, , E) SLOPED LANDSCAPE" E) WATER TANK OUTLINE OF PROPOSED AT&T 8'- 0 0 TOWER FOUNDATION Sheet Title: ENLARGED SITE PLANS P) ' AT& T 100'- 0- HIGH MONOPINE VP N\ / ( SEE NOTE) Sheet Number: A- 2 PROPOSED ENLARGED SITE PLAN - - 2 EXISTING ENLARGED SITE PLAN . r„ 1 P) ± 25- 0" HIGH ( P) ' AT& T 12-0" WIDE UTILITY POLE CHAIN- LINK FENCE DOUBLE SWING GATES PI ' AT& T TRANSFORMER ON CONCRETE PAD W/ GREEN SLATS EBF — EN — ES ES Eff EJF — Eff E/ F — EIF — EJF ESE PREPARED FORAT& T 500 KAHEIU AVENUE MILILANI, HI 96789 Vendor: j5 INFRASTRUCTURE 677 ALA MOANA BLVD. STE917 HONOLULU. HAWAII 96813 15 PROJECT ID. P- 022a05 TF F m J AT& T See ID: H I L03359 x x' x x v x x r I 1, rx 1in x E— E— Q- E— E— E— E— E— E— E— E— E— E— E— E II Ix XI IIxx SC_ i' V PI ' AT& T' H- FRAME --- EQUIPMENT X1IX DRAWN BY: JY CHECKED BY: JMM I xY/ xI 3 04/ 02/ 21 SAQ COMMENTS 2 02/ 26/ 21 SAO COMMENTS I 09/ 22/ 20 SAQ COMMENTS 0 07/ 08/ 20 100% Ms A 03/ 16/ 20 90% ZDs REV DATE DESCRIPTION I aL. w46lqN xIxx 3.-0., f— x1xIxI Ix IP) ' AT& T SATN 13 PREFABRICATED Ix Ix EQUIPMENT SHELTER x I 1 r 2. 0.. Ix r xx 1III 1 Licensor: 1 x1 I _- xL 9 x x x x x x x x x x X 1 I1 x x x \` x x X l J P) 6'- 0" HIGH CHAIN LINK — I 6 FENCE W/ PRIVACY SLATS \ N)( 6) 6" AT& T CONDUIT STUB- UPS WITHIN 7- 6" x7- 0" 14GA. GALVANIZED SHEET METAL CABLE Issued ForHI L03359SADDLE ROAD 3 ROUTE 200 ( SADDLE ROAD) WAIMEA, HI 96743 TMK: ( 3) 4- 4- 015: 005 P) AT& T 1610 SQ. FT.) ( EASE AREA SHROUD W/ REMOVABLE COVER 28' 2" P) AT& T LEASE AREA Sheet Title: COMPOUND PLAN Sheet Number: A- 3 NOT USED 2 24' x36' SCALE: I/ 2"-!'- 0 COMPOUND PLAN x, 7 5CALE: 1/ 4-!'- 0 7 0 2 JI;> PREPARED FORAT& T 500 KAHELU AVENUE MIULANI. HI 96789 aIWb) NOTE: 1. ALL IP) CABUNG AND EQUIPMENT MUST BE INSTALLED AND USED IN ACCORDANCE WITH THE PRODUCT' S INCLUDED INSTRUCTIONS. LISTING AND/ OR LABELING REQUIREMENTS. PER NEC SECTION 110. 31BJ• 2. ALL ( P) CABLING CONFORMS WITH, AND ISTOBE• INSTALLED PER NEC 356. 10 & 356. 12. 3. RRU' S ARE STACKED AND STAGGERED TOFIT 4. MONOPINE BRANCHES NOT SHOWN FOR CLARITY. • 5. ALL ( P) ' mu PANEL ANTENNAS & TOWER MOUNTED EQUIPMENT SHALL BE PAINTED TO MATCH THE PROPOSED MONOPINE. 6. ALL ( P)' AT& T' PANEL ANTENNAS SHALL BE COVERED WITH PINE SOCKS. P) DISCONNECT SWITCH W/ CAMLOCK — IP) DC12 SURGE SUPRESSOR BOX MOUNTED GENERATOR INTERFACE MOUNTED TO \` TO EXTERIOR OF SHELTER , TYP. ( TOTAL- 3) EXTERIOR OF SHELTER BELOW / IP) ILCW/ /' AUTOMATIC ( P) TELCO BOARD TRANSFER SWITCH ; P) RAISED CONCRETE / ( P) FIRE EXTINGUISHER STOOP, TYP. P) DIESEL FUEL SPILL KIT j;. O P) TELCO BOX IPJ HVAC UNIT, TYP. REFER Vendor: S INFRASTRUCTURE 677 ALA MOANA BLVD, STE 917 HONOLULU, HAWAII 96813 sPaactno Pontus V K^: TO MANUFACTURERDRAWINGS P) ANTENNA V$ OOM MOUNTING FRAME \ ( P) ' AT& T RRU, TYP. 12 PER DESIGN BY OTHERS) SECTOR ( TOTAL- 36)( STACKED) \\ P) FIRE EXTINGUISHER - ' _ 8 RACK AC HYBRID ( TOTAL- 2) P) 30KW AC GENETERAOR w/ M( P) 148 GALLON TANK P) ( 1) 6630 BASEBAND UNIT WITHIN HYBRID RACK P) ( 3) DC12- 48.60-RM MaP) FM- 200 FIRESUPPRESSION SYSEM SURGE SUPPRESSORS WITHIN HYBRID RACK P) CABLE ENTRY, TYP. AT& T Site ID: IIIII\ HIL03359 M \ P) REMOTE FUEL ALARM PANEL c . AC 11--' 41 ` El reill IPJ EMERSON - 48V POWER a~ i'\ <` y/ LI emus • HIGHIHIGH MONOPINE• I4. P) GENERATOR FUEL BOXMill I PLANT RACK W/ ( 6) i RECTIFIERSAND( 3) STRINGS DRAWN BY: JY CHECKED BY: . 1MM EQUIPMENT SHELTER MOUNTED TO RAISED CONCRETE PAD IP) GPS ANTENNAMOUNTED TO EXTERIOR OF SHELTER 3 04/ 02/ 21 SAQ COMMENTS 2 02/ 26/ 21 SAQ COMMENTS 1 09/ 22/ 20 SAQ COMMENTS 0 07/ 08/ 20 100% ZDs A 03/ 16/ 20 90% ZDs REV DATE DESCRIPTION tritipm oc g 9i V. V)` 11111IP'° tOt I 11111tO 09- \ s- Ns - NC P) AT& T OC9- 48- 60- 24$ C-EV SURGE SUPPRESSOR. TYP. ( TOTAL- 6J P(' AT& T BACK TO BACK RRU MOUNT. TYP. ( TOTAL- 18) Til r , d H O di\ Ali O IF MP • , I fk- 141 4,,, GrH OI* '!. r t \ Q4.44. TYPPER SECTOR ( TOTAL- 12) EQUIPMENT PLAN Q... 36 SCA. E: ,, f- S: E :/ 6 = ._ C C... ISI 2 2'-T' a'-6" 3'-8" f I I I I Licensor: \ f r e , , i ff" CLR 5.-4CLR U6wp. wws mc. enpe xeawpwM • W%. v66.. CCNn:. t, gwp, MS. WIlC :: Bt 00, st. OSSIou• SON ni« c. uc SOCKTs swnwaAND b t gr" 2 2.-T 24 in 0. c.. X. IIUCOYMADWSwuiEpHHpiv vRpwwIssued For. H I L03359SADDLE ROAD 3 ROUTE 200 ( SADDLE ROAD) WAIMEA, HI 96743 TMK: ( 3) 44- 015: 005 y 0 a-2 I L4_ I JUL- 3'U N- h T 7- 10 10-7' Sheet Title: ANTENNA & EQUIPMENT PLAN 20'-6- Sheet Number. A- 4 DIMENSION PLAN 3 ANTENNA PLAN f,';; NOTE: I. ALL ( P)' AT& T' PANEL ANTENNAS & TOWER MOUNTED EQUIPMENT SHALL BE PAINTED TO MATCH THE PROPOSED MONOPINE 2. ALL ( P) ' AT& T PANEL ANTENNAS SHALL BE COVERED WITH PINE SOCKS 3. ' AT& T RRU' S, TMA' S. AND SURGE ARRESTORS NOT DEPICTED IN THIS VIEW FOR CLARITY. FOR LOCATIONS OF THESE ITEMS, PLEASE REFER TO PREVIOUS PLANS VIEWS WITHIN THE DRAWING SET PREPARED FOR W, AT& T 500 AVENUE MILILANI, HI 96789 NOTE: 1. ALL ( P) ' AT& T PANEL ANTENNAS & TOWER MOUNTED EQUIPMENT SHALL BE PAINTED TO MATCH THE PROPOSED MONOPINE 2. ALL ( P) ' AT& T PANEL ANTENNAS SHALL BE COVERED WITH PINE SOCKS 3. ' AT& T RRU' S, TMA' S. AND SURGE ARRESTORS NOT DEPICTED IN THIS VIEW FOR CLARITY. FOR LOCATIONS OF THESE ITEMS, PLEASE REFER TO PREVIOUS PLANS VIEWS WITHIN THE DRAWING SET Vendor: 15INFRASTRUCTURE 677 ALA MOANA BLVD, STE 917 HONOLULU, HAWAII 96813 75 PROJECT ID: P422405 T. O. ( P) MONOPINE STEEL / ( P) ' AT& T PANEL ANTENNAS ,, P) AT& T PANEL ANTENNA TYP. 4 PER SECTOR ( TOTAL- 12) P) ANTENNA 29' EXCLUSION DISTANCE. T. O. ( PJ MONOPINE STEEL / ( P) ' AT& T PANEL ANTENNAS N ,, TYP. ( SHOWN AS REFERENCE ONLY) AT& T Site ID: u I L0335 `/ n IV ELEV. 100'- 0' ( A. G. L. J \ r ,. 41 ELEV. 1001- 0' ( A. O L.) \ ; l P) ' AT& T PANEL ANTENNAS RAD CENTER '= t .. — P) ' AT& T PANEL ANTENNAS RAD CENTER--- J E2 LEV. 96'-0" (A.G.L.) aNJ AT& T' 100'- 0 1---., d''' e- 44, I ayl ELEV. 96'-0" (A.O.L.) (`__ P) ANTENNA 29' EXCLUSION DISTANCE,/.- • TYP. ( SHOWN AS REFERENCE ONLY) ; ' r i •_ DRAWN BY: JY CHECKED BY: JMM AT& T PANEL ANTENNA '" 1J is. 3 04/ 02/ 21 SAO COMMENTS 2 02/ 26/ 21 SAO COMMENTS I 09/ 22/ 20 SAQ COMMENTSZDs O 03/ 16/ 20 909 ZDs REV DATE DESCRIPTION P) TYP. 4 PER SECTOR ( TOTAL- 12) ', j_ _ T' V: P) +{ rsiriri HIGH MONOPINE __ l1 _ Iy_ e- 1. t, P) DC POWER + ( P) FIBER TRUNK E) ± 45TALLTREE Vic;' .. P)' AT& T 100' 0 ! HIGH MONOPINE i. - i I 1_. P) DC POWER + ( P) FIBER TRUNK J ti r\`_•+' Licensor: CABLES WITHIN INNERDUCT ROUTED WITHIN ( P) MONOPINE i- rqe° AT& T SATN 13• r-._ 4 J d CABLES WITHIN INNERDUCT ;-__ ROUTED WITHIN ( P) MONOPINE P) ' AT& T SATN 13_> PRFABRICATED"\., i4,-,,,;\ • - EQUIPMENT SHELTER \ ^ - P) 6'- 0' HIGH CHAIN LINK FENCE W/ PRIVACY SLATS \ -, T. O. SHELTER , 24 I E) 345' TALL TREE ( BEYOND) t r ( E) ± 25' TALL TREE P) PREFABRICATED EQUIPMENT ‘..- r._ . eEd SHELTER ( BEYOND) E) 325' TALL --, ; TREE Aer a an swn. V poRvnlr uwaa. cow, ViDt1Nc o o amnc ux 06SiRWCNCp6NVO Dull K DDMO or C... rt, e ,..« a. R.mNUSwR Ro aww uR as cs. wR tron. no SEM. '. ft..., ne"I` n P) 6'- 0" HIGH CHAIN LINK FENCE W/ PRIVACY SLATS T. O. IP1 SHELTER 24 Issued For. H I L03359SADDLE ROAD 3 ROUTE 200 SADDLE ROAD) WAIMEA, HI 96743 TMK: ( 3) 4- 4- 015: 005 PJ s ELEV. 10'- 6" ( A. G. L.) \ \ BRANCHES. T. O. ( PJ CHAIN- LINK FENCE \ \ S ELEV. i0'-8" (A.G.L.) \ T. O. ( P) CHAIN- LINK FENCE BRANCHES I. S'. 9 ELEV. 6'-0 (A.G.L.) \ P ELEV. 6'-0"(A.G.L.) \. ) N 1 f FINISHED GRADE AT THE BASE OF ( P) o k,... ` FINISHED GRADE AT THE BASE`-_ OF ( P) EQUIPMENT AREA l - EQUIPMENT AREA I Wp . S ELEV. O' 0 ELEV. 0-0" \ i- 1 CATCHMF\- LANK Sheet Title: \ ELEVATIONS J E) CATCHMENT TANK o , e• r.,- roe•. A- 5 SOUTHWEST ELEVATION 2 SOUTHEAST ELEVATION --" 1 5 _ _ _ NOTE: 1. ALL ( P) ' AT& T PANEL ANTENNAS & TOWER MOUNTED EQUIPMENT SHALL BE PAINTED TO MATCH THE PROPOSEDELANTENNAS SHALL 2. ALL ( P) ' AT& T PANEL SHALL BE COVERED WITH PINE SOCKS OPINE 3. ' AT& T RRU' S. TMA ' S. AND SURGE ARRESTORS NOT DEPICTED IN THIS VIEW FOR CLARITY. FOR LOCATIONS OF THESE ITEMS, PLEASE REFER TO PREVIOUS PLANS VIEWS WITHIN THE DRAWING $ ET NOTE: I. ALL ( P)' AT& T' PANEL ANTENNAS & TOWER MOUNTED EQUIPMENT SHALL BE PAINTED 2. ROLL ( P) ' AT& T PANEL ANTENNAS SHALL BETMATCH THE PROPOSED MONOPINE COVERED WITH PINE SOCKS 3. ' AT& T RRU' S. TMA' S, AND SURGE ARRESTORS NOT DEPICTED IN THIS VIEW FOR CLARITY. FOR LOCATIONS OF THESE ITEMS. PLEASE REFER TO PREVIOUS PLANS VIEWS WITHIN THE DRAWING SET PREPARED FOR te AT& T KAHELUMILILANI, HI 96789AVENUE96789E vendor: 1" j5677 ALA MOANA BLVD, STE917 HONOLULU. HAWAII 96813 J5 PROJECT 10: P - 0Y2405 T. O. ( P) MONOPINE STEEL / ( P) ' AT& T PANEL ANTENNAS P) AT& T PANEL ANTENNA TYP. 4 PER SECTOR ( TOTAL - 12) P) ANTENNA 29' EXCLUSION DISTANCE, T. O. ( P) MONOPINE STEEL EYP. ( SHOWN AS REFERENCE ONLY) \ P ANTENNAS AT& T Site ID: H I L0335 9 ELEV. 100'- 0" (A.G.L.) ?' I IP) ' AT& T PANEL ANTENNAS RAD CENTER fi i IPJ ' AT& T PANEL ANTENNAS RAD CENTER ak l1! yvrte` 1111111 J ELEV. 96'- 0"( AOL) r s. - ( P) ANTENNA 29' EXCLUSION DISTANCE, TYP. ( SHOWN AS REFERENCE ONLY) f71--- 4` I ! / P) AT& T PANEL ANTENNA TYP. 4 PER SECTOR ( TOTAL - 12) Yc tiw z` ' AT&T J L.3._ 1/41j7" -.- J srS. DRAWN BY: JY CHECKED BY: JMM y—}-:`_ C.. 7!:.-.!a. • 4,,, AT&T 3 04/ 02/ 21 SAQ COMMENTS— 2 02/ 26/ 21 SAO COMMENTS P) 100' 0 b.. HIGH MONOPINE 4 rte. i 4+ - DC POWER + FIBER TRUNK 1- ( PJ 100'- 0" HIGH MONOPINE I 09/ 22/ 20 SAO COMMENTS 0 07/ 08/ 20 100% 2Ds A 03/ 16/ 20 90% 2Ds REV DATE DESCRIPTION E) ± 45' TALL ka _ = TREE 1- 1 4,. L Licensor: EJ MS TALL 4, TREE - 1:- y` ( P) ( P) rr' CABLES WITHIN INNERDUCT_ 7-_,.- f^'` ROUTED WITHIN ( P) MONOPINE 4 ` "`". tEic ' AT& T' SATN 4, DC POWER a4 ,t P) + ( P) FIBER TRUNK CABLES WITHIN INNERDUCT tf N >` ny ;• e. ROUTED WITHIN ( P) MONOPINE P ' AT& T SATN 13 E) t25 TALL ^ TREE \• oeie./.... co.iii..i...•3.1t P) 13 i PREFABRICATED s` 4C EQUIPMENT SHELTER h IEJ 32S TALL .. e.-":- 5.7' 4 TREE PREFABRICATEDJEQUIPMENTSHELTER ( BEYOND) 6'- 0" HIGH CHAIN awo w oxtn xtp .. Yorta•c . 6 ` mow nc14Co.., a "' '"' a' '. P) 6'- 0" HIGH CHAIN LINK 24' FENCE W/ PRIVACY SLATS r - 24'^ P) LINK FENCE W/ PRIVACY SLATS r,^ rssoa BRANCHES T. O. ( P) SHELTER BRANCHES v TO. ( P) SHELTER Issued Po' ELEV. 10' 8" ( A. O L.) 6 T. O. ( P) CHAIN- LINK FENCE ELEV. 10.-8" (A.G.L.) T. O. ( P) CHAIN- LINK FENCE H I L03359 ELEV. 6'- 0" ( A. G. L.) S ELEV. 6'- 0" ( A. G. L.) 4 EJ CATCHMENT -- — T I FINISHED GRADE AT THE BASE OF (P) AREA EQUIPMENT AREAa. x Y""" om"' -" I.,._ SADDLE ROAD 3 TANK ENT I i r`"'' Q EC FINISHED GRADE Al THE BASE OF P) EQUIPMENT AREAWAIMEA, ROUTE 200 ( SADDLE ROAD) HI 96743 TMK: 4- 4- 015: 005 ELEV, 0- 0" 61 3) IE) CATCHMENTTANK Sheet Title: ELEVATIONSA- 6 NORTHEAST ELEVATION 2 NORTHWEST ELEVATION 1 ATTACHMENT 9 - LIST OF PROPERTY OWNERS COUNTY OF HAWAI' 1 Real Property Tax Office Overview Legend Hawaii County makes every effort to produce the most accurate information possible. No warranties, expressed or implied. are provided for the data herein, its use or interpretation. The assessment information is from the last certified taxroll. All data is subject to change before the nextcertified taxroll. The 'parcels' layer is intended to be used for visual purposes only and should not be used for boundary interpretations or other spatial analysis beyond the limitations of the data. The 'parcels' data layer does not contain metes and bounds described accuracy therefore, please use caution when viewing this data. Overlaying this layer with other data layers that may not have used this layer as a base may not produce precise results. GPS and imagery data will not overlay exactly. Date created: 3/10/2021 Last Data Uploaded: 3/9/2021 7:16:38 AM Developed bytibill Schneider GEOSPAT IAL ParcelId OwnerName OwnerAddressl OwnerAddress2 OwnerCityStZip 440150040000 STATE OF HAWAII 440150020000 STATE OF HAWAII 440150050000 GIRL SCOUT CNCL OF PACIFIC 410 ATKINSON DR STE 2E1 BOX 3 HONOLULU HI 96814 4730 440150130000 STATE OF HAWAII 440150130000 STATE OF HAWAII ALLIED AGGREGATES CORP 1176 MILILANI ST HILO HI 96720 8011 670010420000 UNITED STATES OF AMERICA US ARMY CORPS OF ENGINEERS HONOLULU DISTRICT, BLDG 230 FORT SHAFTER HI 96858 5440 440150140000 STATE OF HAWAII 440150140000 UNITED STATES OF AMERICA ATTACHMENT 10- REAL PROPERTY TAX CLEARANCE C MITCHELL D. ROTH MAYOR DEANNA S. SAKO FINANCE DIRECTOR STEVEN A HUNT DEPUTY DIRECTOR COUNTY OF HAWAII Department of Finance - Real Property Tax Aupuni Center, 101 Pauahi Street. Suite 4 I Hdo Hawaii 96720-42241 Fax (808)961.4224 Appraisers (808)961-8354 'Clerical (808)9614201 I Collections (808)961.8282 West Hawaii Civic Center 74-5041 Ane Keohokalole Hwy l Bldg D 2nd Floor { Kailua Kona, Haw ail 96740 Fax (808)327-35381 Appraisers (808) 323.4881 { Clerical (808)323-4880 REAL PROPERTY TAX CLEARANCE Date: Friday, March 05, 2021 TMK: (3)4-4-015-005-0000 Girl Scout Cncl Of Pacific This is to certify that the real property taxes due to the County of Havrai'i on the parcel liste above have been paid for the tax year up to and including June 30, 2021. The County's real property taxes are levied on July 1st each year. The taxes become a lien on the property assessed as of the levy date. This clearance was requested on behalf of Girl Scout Cncl Of Pacific and is issued for this parcel only. by Shanayd Silva, Tax Clerk III REAL PR'OPE TY TAX DIVISION Paid up to and including June 30, 2021. TAX CLEARANCE FOR PLANNING DEPARTMENT REV(2/2018) Hawaii County is an Equal Opportunity Provider and Employer ATTACHMENT 11 - NEPA SCREENING REPORT r Environmental Assessment Specialists, Inc. February 12, 2021 AT&T Mobility LLC 500 Kahelu Avenue Mililani, HI 96789 71 San Marina Avenue Ventura CA 93003 Office (805) 650-0949 Fax (805) 650-8054 rnvw.easenv.con Subject: FCC Special Interest Research NEPA Land Use Letter Report AT&T Mobility LLC Site No. HIL03359 (Saddle Road 3) 44-6800 Daniel K. Inouye Hwy, Kamuela, Hawaii County, Hawaii TMK: (3) 4-4-015:005 FA Code#: 12716303 At the request of AT&T Mobility LLC (AT&T), Environmental Assessment Specialists, Inc. (EAS) completed a full environmental screening of the Federal Communications Commission (FCC) special interest items, as outlined in 47 Code of Federal Regulations (CFR) Section 1.1307 (a) 1) through (9), for the AT&T telecommunications facility HIL03359 (Saddle Road 3) located near 44-6800 Daniel K. Inouye Hwy, Kamuela, Hawaii County, Hawaii. The proposed undertaking, known as Saddle Road 3/HIL03359 Wireless Communication Tower and Shelter Project, consists of the construction a new wireless telecommunications facility in the northeastern corner of the Kilohana Girl Scout property (the current subject parcel). This will include a 100 -foot tall monopine wireless communication tower with 12 panel antennas, 36 remote radio units, 6 surge suppressors and a GPS antenna, and an equipment storage lease area which will be enclosed by a 6 foot high fence within a 610 square foot area. Underground electrical and fiber optic lines will be installed in a trench that will extend from the communication tower a distance of roughly 32 feet to the prefabricated equipment shelter. In accordance with CFR, Section 1.1307 (a), an evaluation was made to determine if any of the nine special interest items would be significantly affected if an antenna structure and associated equipment control cabinets were constructed at the proposed site location. In the event that the site affects one of the items, the FCC requires that further studies and/or an environmental assessment (EA) be prepared regarding that particular issue. EAS conducted this research by consulting with appropriate Hawaii and/or Federal agency personnel and by reviewing published lists, files, and maps. The National Environmental Policy Act (NEPA) Land Use Checklist form is completed and attached to this letter report. AT&T Mobility, LLC HIL03359 (Saddle Road 3) Page 2 Site•HIL03359 (Saddle Road 3) Letter Report 1. Wilderness Areas Based on a review of the U.S. National Wilderness Preservation System Map and the USGS Keamuku, Hawaii 7.5 Minute Topographic Quadrangle, in February 2021, there are no wilderness areas in the vicinity of the proposed site. 2. Wildlife Preserves Based on a review of the National Wildlife Refuge System online Map (U.S. Fish & Wildlife Service 2021) and USGS Keamuku, Hawaii 7.5 Minute Topographic Quadrangle, in February2021, there are no wildlife preserves in the vicinity of the proposed site. 3. Listed and/or Proposed Threatened or Endangered Species or Designated Critical Habitats A biologist has evaluated any biological resources present on, adjacent to, or in the vicinity of the project site. The evaluation has been performed through a combination of research by EAS and a review of reference materials provided by AT&T Mobility. The evaluation's purpose is to determine whether the proposed action could potentially affect any biological resources. The biologists paid particular attention to the presence or potential occurrence of sensitive biological resources and the potential occurrence of wetlands. Project Biologist Marlyn Leaver conducted a literature review to determine the potential for occurrence, on and in the vicinity of the project site, of sensitive plant and animal species as defined by the following: U.S. Fish & Wildlife, Hawaii Biodiversity and Mapping Program. Telecommunication site plans provided by AT&T Mobility. The National Wetlands Inventory Online Wetlands Mapper (U.S. Fish and Wildlife Service2021). The U.S. National Wilderness Preservation System Map (Wilderness.net) The National Wildlife Refuge System Online Map (U.S. Fish & Wildlife Service 2021). The Environmental Conservation Online System FWS Critical Habitat for Threatened & Endangered Species Online Mapper (U.S. Fish & Wildlife Service 2021). Waters of the U.S. During the biological assessment survey, the site was evaluated according to the guidelines provided in the USAGE 1987 Manual (i.e. Environmental Laboratory, 1987). Waters of the U.S. were absent from the site; no water bodies having a perceptible OHWM were identified on site or adjacent to the site. AT&T Mobility, LLC HIL03359 (Saddle Road 3) Page 3 Wetlands The proposed project will be contained within previously disturbed landscaped planter adjacent to the existing telecommunications equipment shelter. No hydrophytic plant species were observed on the project site nor along the proposed utility route; therefore, it was not necessary to examine the other two wetland criteria (hydrology and soils), since all three criteria must be met where wetlands are present. No jurisdictional wetlands will be impacted by the installation of the proposed facility. Hawaiian Hoary Bat The Hawaiian hoary bat roost in both native and non-native woody vegetation and, while foraging, will leave the young unattended in nursery trees and shrubs. If the trees or shrubs suitable for bat roosting are cleared during the breeding season, there is the risk that young bats could be killed or harmed. To avoid and minimize impacts to the endangered Hawaiian hoary bat we recommend you incorporate the following applicable measures into your project: Do not disturb, remove, or trim woody plants greater than 15 ft tall during the bat birthing and pup rearing season (June 1 through September 15). Do not use barbed wire for fencing. Blackburn's sphinx moth. The adult Blackburn's sphinx moth feeds on nectar from native plants, including beach morning glory Ipomoea pes-caprae), iliee (Plumbago zeylanica), maiapilo (Capparis sandwichiana), and others. Blackburn's sphinx moth larvae feed on non-native tree tobacco (Nicotiana glauca) and native aiea Nothocestrum sp.). To pupate, the larvae burrow into the soil and can remain in a state of torpor for a year or more before emerging from the soil. Soil disturbance can result in death of the pupae. We offer the following survey recommendations to assess whether the Blackburn's sphinx moth occurs within the project area: A biologist familiar with the species should survey areas of proposed activities for Blackburn's sphinx moth and its larval host plants prior to work initiation. o Surveys should be conducted during the wettest portion of the year (usually November - April or several weeks after a significant rain) and within 4-6 weeks prior to construction. o Surveys should include searches for adults, eggs, larvae, and signs of larval feeding chewed stems, frass, or leaf damage). o If moths, eggs, larvae, or native aiea or tree tobacco over 3 feet tall, are found during the survey, please contact the Service for additional guidance to avoid impacts to this species. Seabirds The wedge-tailed shearwater fly at night and are attracted to artificially -lighted areas resulting in disorientation and subsequent fallout due to exhaustion; Seabirds are also susceptible to objects that protrude above the vegetation layer. To reduce the potential impacts to seabirds, we recommend the following minimization measures be incorporated into the project description. Construction activities should only occur during daylight hours. Any nighttime lighting, particularly during peak fallout period (September 15, could result in additional seabird injury or mortality. If lights cannot be eliminated due to safety or security concerns, then they should be positioned low to the ground, be motion triggered, and be shielded and/or full cut-off. Effective lighting shields should be completely opaque, sufficiently large, and positioned so that the bulb is only visible from below. AT&T Mobility, LW HIL03359 (Saddle Road 3) Page 4 increase in the use of 15 through December Hawaiian Hawk The State -listed Hawaiian hawk is known to occur across a broad range of forest habitats throughout the Island of Hawaii. Loud, irregular, and unpredictable activities, such as using heavy equipment or building a structure, near an endangered Hawaiian hawk nest may cause nest failure. Harassment of Hawaiian hawk nesting sites can alter feeding and breeding patterns or result in nest or chick abandonment. Nest disturbance can also increase exposure of chicks and juveniles to inclement weather or predators. To avoid and minimize impacts to Hawaiian hawks we recommend you incorporate the following applicable measures into your project description: If work must be conducted during the March 1 through September 30 Hawaiian hawk breeding season, ave a biologist familiar with the species conduct a nest search of the project footprint and surrounding areas immediately prior to the start of construction activities. Pre -disturbance surveys for Hawaiian hawks are only valid for 14 days. If disturbance for the specific location does not occur within 14 days of the survey, conduct another survey. No clearing of vegetation or construction activities should occur within 1,600 feet of any active Hawaiian hawk nest during the breeding season until the young have fledged. Hawaiian Goose Nene are found on the islands of Hawaii, Maui, Moloka'i, and Kaua'i predominately. They are observed in a variety of habitats, but prefer open areas, such as pastures, golf courses, wetlands, natural grasslands and shrublands, and lava flows. Threats to the species include introduced mammalian and avian predators, wind facilities, and vehicle strikes. To avoid and minimize potential project impacts we recommend you incorporate the following applicable measures into your projectdescription: Do not approach, feed, or disturb Hawaiian Goose If Hawaiian Goose are observed loafing or foraging within the project area during the breeding season (September through April), have a biologist familiar with the nesting behavior survey for nests in and around the project area prior to the resumption of any work. Repeat surveys after any subsequent delay of work of 3 or more days (during whichthebirdsmayattempttonest). AT&T Mobility, LLC HIL03359 (Saddle Road 3) Page 5 Cease all work immediately and contact the Service for further guidance if a nest is discovered within a radius of 150 ft of proposed work, or a previously undiscovered nest is found within said radius after work begins. In areas where Hawaiian Goose are known to be present, post and implement reduced speed limits, and inform project personnel and contractors about the presence of endangered species on-site. Palila Actions such as road construction and development increase human access and result in increased wildfire and invasive species threats. Grazing results in reductions in woody vegetation and increased grass cover, which reduces forest habitat quality and results in increased wildfire risk on the landscape. Avoid conducting activities within forest bird habitat that: Promote the spread or survival of invasive species. Increase mosquito populations or stagnant water habitat. Increase wildfire threat to montane forest habitats. Remove tree cover during the peak breeding season between January 1 and June 30. Do not approach, feed, or disturb palila. If palila are observed within the project area, have a biologist familiar with the nesting behavior of palila survey for nests in and around the project area prior to the resumption of any work. Cease all work immediately and contact the Service for further guidance if a palila nest is discovered within a radius of 150 ft of proposed work. Northern Long -Eared Bat (NLEB) The project is located outside of the NLEB's range. Therefore, no further action with USFWS or FCC is needed. Nesting Birds The Migratory Bird Treaty Act (META) protects all common wild birds found in the United States except the house sparrow, starling, feral pigeon, and resident Wildlife birds such as pheasant, grouse, quail, and wild turkey. Resident Wildlife birds are managed separately by each state. The MBTA makes it unlawful for anyone to kill, capture, collect, possess, buy, sell, trade, ship, import, or export any migratory bird including feathers, parts, nests, or eggs. No avian nests or nesting activity were observed during the field survey. The trees and shrubs located within the immediate vicinity of the proposed project and utility route provide suitable avian nesting habitat. The vegetation adjacent to the proposed facility provides suitable nesting habitat for avian species. 4. Historic Places AT&T Mobility LLC HIL03359 (Saddle Road 3) Page 6 May affect districts, sites, buildings, structures, or objects, significance in American history, architecture, engineering or culture that are eligible for listing in the National Register of Historic Places. The purpose of the records search is to identify all previously recorded cultural resources prehistoric and historic archaeological sites in addition to architectural resources including historic buildings, structures, objects, or districts) within the area of potential effect (APE), as required by Section 106 of the NHPA of 1966 and its implementing regulations, 36 CFR Part 800. The height of proposed activities dictated an indirect APE as a half -mile radius around the direct APE to be evaluated for visual impacts to cultural properties. The evaluation includes a review of previously recorded prehistoric and historic archaeological sites as well as a review of all cultural resource survey/excavation reports within a half -mile of the direct APE. The purpose of the site visit is to define the APE associated with the proposed project. The lease area and the location of planned project -related activities were visited and photographed. The proposed facility involves construction of a 100 -ft tall monopine, within a proposed 28 -ft by22 -ft lease area and fenced compound. Cellular facilities are not considered permanent, and often change in scale, arrangement and orientation as needed by the cellular companies. It is EAS' opinion the proposed installation project will not result in an effect to historic architectural or archaeological resources. Cultural Resource Records Search Results ASM Affiliates conducted a record search at the Hawaii State Historic Preservation Division (SHPD) library in Kapolei, Hawaii in September 2020, which houses archaeological reports completed throughout the Hawaiian Islands. On-line databases managed by the SHPD, the Historic Hawaii Foundation, and the National Parks Service were also utilized. As a result of the file search, the SHPD indicated that four previous archaeological studies have been conducted in the vicinity of the current APE. Five previously recorded sites were noted within the1/2 mile visual APE. Archaeological Assessment An archaeological assessment of the property and proposed wireless facility location was conducted on September 15, 2020 under the supervision of ASM archaeologist Benjamin Barna. The entire lease area was inspected by walking systematically in sweeps across the Direct APE (100% surface survey). The ground surface was easily visible asthemajorityofthevegetationwithintheDirectAPEisamaintainedlandscapedwithonly some overgrown areas where the vegetation was approximately hip -high. The proposedleaseareaislocatedonarockoutcropwithverylittle (<5 cm) soil accumulation, and the terrain in the majority of the lease area is level to gently sloping. The proposed tower location is situated on level ground between to existing water tanks. The subject parcel and the area immediately surrounding the Direct APE has been modified for human use dating from WWII c.1940s) to the present and since 1954 has been utilized by the Girl Scout Council of Hawaii as a recreation area. As a result ofthefield inspection, there were no specific historic features observed within the Direct APE, and while the Kilohana Girl Scout Camp parcel might be considered AT&T Mobility, LW HIL03359 (Saddle Road 3) Page 7 a historic property, it was not identified as such as a result of the SHPD-accepted McElroy and Duhaylonsod (2018) study. Recommendations No historic properties are present on the ground surface within the Direct APE. Based on the soil conditions coupled with and the negative results of the previous subsurface testing conducted by McElroy and Duhaylonsod (2018) the likelihood of encountering subsurface archaeological deposits during the ground disturbance for utility trenching is very low. There are no sites listed or determined eligible for listing in the NRHP or HRHP within the Visual APE. Thus, the proposed undertaking AT&T Mobility Saddle Road 3/HIL03359, New Wireless Communication Tower Project) will have no effect on historic properties within the Visual APE or the Direct APE. In the unlikely event that any previously undocumented archaeological features are encountered during the grubbing/grading, work will be halted in the vicinity of the inadvertent discovery and DLNR- SHPD will be contacted pursuant to Hawaii Administrative Rules Chapter 13§13-280. State Historic Preservation Officer (SHPO) Review The subject site was submitted to Hawaii SHPD on November 25, 2020. SHPD concurred with the determination of "No Historic Properties Affected" in both the direct and visual APEs on January 11, 2021. 5. Indian Religious Sites The FCC was initially contacted on September 4, 2020 through the TCNS (#218814). The FCC notified Federally Recognized Tribal Groups on September 11, 2020. The DLNR provided responses by October 13, 2020. The project was escalated on January 21, 2021 and the TCNS cleared on February 11, 2021. 6. Located in a Flood Plain (Executive Order 11988) A review of the Federal Emergency Management Agency Flood Insurance Rate Maps in September 2020, determined that the site is not located within a 100 -year flood plain. 7. Surface Features Cause significant changes in surface features, such as wetland fill, deforestation, or water diversion (see Executive Order 11990 if wetlands are on Federal property) The National Wetlands Inventory map was reviewed. No wetlands or forests will be impacted and no water diverted. Therefore, there will be no significant changes to surface features. 8. High Intensity White Lights AT&T Mobility LLC HIL03359 (Saddle Road 3) Page 8 According to AT&T Mobility high intensity white lights for tower illumination will not be used for thesitedevelopment. 9. Radio Frequency Radiation An evaluation to determine whether radiofrequency (RF) emissions standards are met was not included as part of this Report. EAS understands that client representatives will evaluate the project to ensure compliance with applicable RF standards. Additional Environmental Evaluation National Scenic and Historic Trails In October 1999, the Cellular Telecommunications Industry Association, Personal Communications Industry Association, Appalachian Trail Conference, American Hiking Society, and representative Managing and Supporting Trails Organizations (MSTOs) for the National Scenic Trails signed a resolution for the Siting of Wireless Telecommunications Facilities near National Scenic Trails. This resolution states that if a wireless telecommunications or site management company plans a new or significantly expanded facility within one mile of a National Scenic Trail, it will notify the non-profit group that supports the trail. In order to determine if the site is located within one mile of a National Scenic or Historic Trail, EAS reviewed available information from the NPS. There are no National Scenic Trails within one mile ofthecandidate. National Wild and Scenic Rivers The National Wild and Scenic Rivers Act of 1968 designated "that certain selected rivers of the Nation which, with their immediate environments, possess outstandingly remarkable scenic, recreational, geologic, fish and wildlife, historic, cultural or other similar values, shall be preserved in free-flowing condition, and that they and their immediate environments shall be protected for the benefit and enjoyment of present and future generations "According to the National Wild and Scenic Rivers System (http:Nwww.rivers.gov/map.php), "the idea behind the National System is not to halt use of a river; instead, the goal is to preserve the character of a river." EAS reviewed the National Wild and Scenic Rivers System data on National Wild and Scenic RiversintheStateofHawaii (http://www.rivers.gov/map.php). There are no designated rivers within onemileofthesite. AT&T Mobility, LW HIL03359 (Saddle Road 3) Page 9 Conclusions and Recommendations:. Based on a review of the photographs, published lists, files, and maps regarding FCC issues, AT&T Mobility LLC site, HIL03359 (Saddle Road 3) located near the community of Kamuela, will not affect any of the nine special interest items as outlined in 47 CFR Section 1.1307 (a) (1) through (9). Therefore, in accordance with FCC regulations, at this time the preparation of further studies or an EA is not warranted. We appreciate the opportunity to be of service to AT&T Mobility LLC with this project and look forward to working on future projects. If you have any question about information in this report, or if further assistance is required, please contact EAS at 805-650-0949 (office) or by e-mail at qi11999(@easenv.com. Sincerely,- ,/, f,' 2kezo wry Scott Billat Professional Archaeologist, M.A. Environmental Assessment Specialists, Inc. 71 San Marino Avenue Ventura CA 93003 Attachments: FCC NEPA Checklist Cultural Resources Assessment 6E Form Findings of a Biological Evaluation FEMA Map SHPO Response Complete SHPO Submittal Resume(s) Public Notice AIS Report TCNS Package FCC NEPA CHECKLIST Prepared for AT&T Mobility LLC AT&T Mobility, LLC HIL03359 (Saddle Road 3) Page 10 Site II: HIL03359SaddleRoad 3) Site Address: 44-6800 Daniel K. Inouye Highway Kamuela, Hawaii County, Hawaii Coordinates: 19° 48' 48.5" N I 155° 38' 0.61" W FCC NEPA Category Consulting Agency to Contact Summarize Any Preliminary Finding of Positive Effects CheckOneBox Yes No1. Will the facility be located in an officially designated wilderness area? National Park Service, US Forest Service, Bureau of Land Management(BLM) X 2. Will the facility be located in an officially designated wildlife preserve? National Park Service, US Forest Service, BLM X 3. Will the facility affect listed and proposed threatened or endangered species or designated critical habitats? US Fish B Wildlife Service — Field Office (USF&WS) through completely amen aae me ew p'',treasrounn EPS recommends Mal rip Hawaiian hoary bai . pleatsa ho.id not be disturber] removed. DI Interred dering thesomeral9andInTomem: 9paten..i ;June mows to aahna hours.Any increase Flee meiamMainemmiu.: nm, hmseraIS} ee ,ee,aifalloutperiod aea°rd mli„rv0aw.... hawk: II nod mys1 be canducred breeding S.W. Sae. a bellaaist Sanaa- "nth the species conduct a nest march of Ine project foolonni and surrounreng limas mmedfaiely pre, to the star o of foraging *Min the PantaC age' "In° l'` gym BeAmin hare a Mengmbmalar leith theriesling behavior ol morayfor nesrya and around liteprotect area ;nor tothe resuMpriaoofany work Rapea mmeys after any subsequent delay ofwork co 3 or more days (amino whom hada Ian eatInial te nest). rrem¢ a shwid10mM Novemberm che, or Mulls eggs. larvae. and mons of larva eeding (chewed Sterns. frau or leaf damagingMoths Yarlenase comma toe Service for Immo° matronly pooutabons or stagnant water habitattoncreasemittensIPreallomontaneIsraelhabilaisliennom loge cover during the peak breeding season between January t and June 3P.Do not appreach, feed. or dioneb boVathorneaMin and around the woad area pm lc the emmpten of any woh.Cease all work Immediately and centaur the Seneca Irm Feeder guidance II a paid nest is discovered within a mats of ISO ft al proposed wank shouldNnanein_reasei theme q only leMon narlicularly e.pervert ISm,ember Is DecememvorOf ®aiery.l 59a cannel safety ormeanly concesns then Mey should be posnoned ow to the greand be Conon Ingested. ma be shielded andfOr full ouroff Effective Milked Miens Mauler be den* large. positioned ,n he wie aon'as° ne nrm bao.. a X 4. Will the facility affect districts, sites, buildings, structures, or objects listed, or eligible for listing, in the National Register of Historic Places? State Historic Preservation Officer resew Tribal Historic Preservation Officer (THPO) X 5. Will the facility affect Indian Religious sites? X 6. Will the facility be located in a Flood Plain? Federal Emergency Management Agency (FEMA) X AT&T Mobil y, LW HIL03359 (Saddle Road 3) 7. Will the facility construction involve significant change In surface features? US Army Corps of Engineers ACOS) X 8. Will the antenna towers and/or supporting structures be equipped with High Intensity White Lights? N/A X 9. Will the facility result in human exposure to radiation in excess of the applicable safety standards? N/A RF exposure analysis to be conducted by client. X e undersigned has reviewed and approved the completion of this FCC NEPA Checklist for the above mentioned site. Prepared by: Environmental Assessment Specialists Inc. Signature: Printed Name: Scott Billat Title: Professional Archaeologist, M.A. Date: February 12 2021 Archaeology • History • Ethnography• Architectural Histor November 4, 2020 Alan Downer. Ph.D. Deputy SHPO and SHPD Administrator Department of Land and Natural Resources State Historic Preservation Division 601 Kamokila Blvd., Suite 555 Kapolei, HI 96707 Subject: Historic Properties Review and Assessment to Accompany FCC Wireless Telecommunications Bureau Collocation Submission Packet (FCC Form 620) for the Proposed AT&T Mobility Saddle Road 3/H1L03359, New Wireless Communication Tower Project, Ka'ohc Ahupua`a, Hemakua District, Island of Hawaii TMK: (3) 4-4-015:005 Dear Dr. Downer: At the request of EAS, on behalf of AT&T Mobility, ASM Affiliates (ASM) conducted a Section 106 review for the proposed installation of a new unmanned telecommunications facility within a 610 squarefootleaseareaalongSaddleRoad (Highway 200) in Ka`ohe Ahupua`a, Hilo District, Island of Hawaii Figures 1, 2, and 3). The proposed project is located within a 6.875 -acre parcel that is currently ownedandoperatedbytheGirlScoutCouncilofHawaii. As an undertaking subject to approval by the FederalCommunicationCommission (FCC), the proposed project requires compliance with Section 106 of the National Historic Preservation Act, and to that end the current study was conducted in accordance with the Nationwide Programmatic Agreement (PA) for the review ofEffects on Historic Properties for Certain Undertakings Approved by the Federal Communications Commission (2004) and is to be included as part of the FCC Wireless Telecommunications Bureau New Tower Submission Packet (FCC Form 620). This report is being prepared to meet the requirements of the Federal Communications Commission's (FCC) environmental rules (47 Code of Federal Regulations [C.F.R.] § 1.1301-1.1319) and the National HistoricPreservationAct (NHPA) of 1966, as amended. The proposed undertaking, known as Saddle Road 3/HIL03359 Wireless Communication Tower andShelterProject, consists of the construction a new wireless telecommunications facility in the northeastern corner of the Kilohana Girl Scout property (the current subject parcel) (Figures 4, 5, and 6) This will include a 100 -foot tall Monopine wireless communication tower with 12 panel antennas, 36 remote radio units, 6 surge suppressors and a GPS antenna, and an equipment storage lease area which will be enclosed by a 6foothighfencewithina610squarefootarea. Underground electrical and fiber optic lines will be installedinatrenchthatwillextendfromthecommunicationtoweradistanceofroughly32feettotheprefabricatedequipmentshelter (Figure 7). The APE for direct effects (Direct APE) consists of the 610 square foot lease area, the footprint on thetower, and the intervening space between to the two. The underlying geology is mapped as LaupahoehoeVolcanics (Figure 8) that erupted from Mauna Kea volcano between 11,000 and 64,000 years ago (Sherrodetal. 2007). Soils are described as Waimea-Kemole complex, 2 to 20 percent slopes (labeled 804 in Figure 9), which formed in volcanic ash, sand, and cinders. Vegetation in this area has been described by (PrattandGon1998) as Land Transformed by Human Activity (Grassland and Shrubland); and is dominated byintroducedplantssuchasfountaingrass (Cenchrus setaceus) with some fireweed (Seneciomadagascarensis), ironwood trees (Casuarina equisetifolia). Some common native plant species observedintheDirectAPEincludea'ali'i (Dodonaea viscosa), and 'okra (Wikstroemia uva-ursi). The APE for visual effects (Visual APE) is defined as the area within a 0.5 -mile radius of the proposed tower location. 820 Militant Street, Suite 700, Honolulu, Hawaii 96813 (808) 439-8089 Fax: (808) 439-8087 507A East Lanikaula Street, Hilo, Hawaii 96720 (808) 969-6066 Fax: (808) 443-0065 www.asmafsiliates.corn November 4, 2020 Section 106 AT&T Mobility Saddle Road 3/HIL03359 Page 2 of 23 ASM conducted a literature search of the records on file at the State Historic Preservation Division on September 10, 2020 to determine whether any historic properties listed or determined eligible for listing on the National Register of Historic Places (NRHP) or the Hawaii Register of Historic Places (HRHP) are located within the 0.5 -mile radius visual APE. On September 15, 2020, ASM conducted a field inspection of the Direct APE. A BRIEF HISTORY OF THE DIRECT APE VICINITY Ka`ohe is one of two large ahupua'a in eastern Hamakua (the other being Pa`ahau) that were created above the upper windward gulches to manage special resources such as those found in the 'ahi'a and mamane forests and the high-altitude regions of Mauna Kea. The bulk of Ka`ohe encompasses these upland resources. The name "Ka'ohe" translates literally as the bamboo" (Pukui et al. 1974:84-85). Unlike other lower -elevation places that share this name (e.g., an ahupua'a in South Kona), the bamboo to which the name refers is not meant to invoke vegetation, but rather is associated with the transportation of water. Dr. Pualani Kanahele has elaborated on this meaning of the place name Ka`ohe: one of the earlier reasons for bamboo was to transport water. So what does that relationship. Ka`ohe, have to do with water? And so, the idea that part of the land may be producing a lot water.. /the tops of the mountains were important to the kupuna's because that's where the water would go into the earth, seep into the earth_.and then come out. quoted in Meyer2003:172-173) Oral traditions and ethnohistoric accounts suggest that the Saddle Region was used during Precontact times mainly as a travel corridor across the island or to destinations such as the springs in Pdhakuloa Gulch, the Mauna Kea Adze Quarry, and the northern slopes of Mauna Loa (McCoy and Orr 2012). Na ala hele, the Precontact system oftrails, included routes in Ka`ohe connecting Waimea to the districts of Hilo and Kona, and also the district of Ka`u to the Kona -Waimea trail (Langlas et al. 1999). Outside of these trails, and sites found along them, the bulk of activities likely to leave archaeological traces were conducted at elevations at least two thousand feet above the Direct APE (McCoy and Orr 2012). Precontact and early Historic travelers in the Saddle region may have used trails along the current Saddle Road alignment, but previous archaeology and historic accounts have not positively identified the locations of these trails. Langlas et al. (1999) note that route of the Saddle Road is probably the approximate route of the Precontact trail from Waimea to Kalai`eha and Pu'u 'O'6, which was used through the first half of the nineteenth century. This general route was likely improved and reused in later years. In a letter dated May 6, 1850, Titus Coan reported that a highway was "being brought from Kailua to Hilo across the centre of the island" quoted in Maly and Maly 2005:146-147). It appears that even by the late 1850s, the road across the Saddle region was anything but well-developed. In a series of letters published in the Pacific Commercial Advertiser during July of 1859, a writer using the nom de plume "Hualalai" describes his journey from Waimea to Hilo across the saddle region, and equates the condition of the trail between Waiki`i and Kalai'eha as "made of equal parts of broken bottles and slag from a blacksmith's forge" (quoted in Maly and Maly 2005:146-147). In 1862, S. C. Wiltse was contracted to survey a route across the island that would commence at Kawaihae, pass through Waimea, WaikSloa, and Waiki`i, and then cross the saddle region before descending to Hilo (Langlas et al. 1999). Portions of this route between Waimea and Kalai`eha were developed into a "cart road" by 1873, which was later improved into a Jeep trail by the U.S. Army during World War II (Langlas et al. 1999:28-29). Since 2013, the Daniel K. Inouye Highway has routed traffic away from Waiki`i, diverging from the old route near mile marker 41, where the access corridor portion of the Direct APE begins (see Figure 3). In addition to serving as a transportation corridor, between the mid -nineteenth century and World War II, the land of Ka`ohe was used primarily for livestock ranching. In 1793-1794 Captain George Vancouver, who had previously visited Hawaii with Cook in 1778-1779, returned leading his own expedition. It was on this voyage that Vancouver first introduced cattle to the Island of Hawaii, giving 17 head to King Kamehameha as a gift (Ban -ire 1983). Kamehameha placed a kapu on the cattle, and they were driven to November 4, 2020 Section 106 AT&T Mobility Saddle Road 3/HIL03359 Page 3 of 23 the upland plain of Waimea to increase and multiply (Vancouver 1984). Inevitably, some escaped and made their way to the mountain lands of Ka`ohe, where they would later play an important role in land use for much of the nineteenth and early twentieth centuries. With the advent ofcowboying and herd managementtechnologiesandtechniquesinthe1830s (Barna 2013; Bergin 2004; Brennan 1974; Wellmon 1969), bullock -hunting gave way to livestock ranching, and over the course of the mid -nineteenth century severalmajorranchesdeveloped. Among those that grazed cattle and sheep in Ka`ohe Ahupua`a were the Waimea Grazing and Agricultural Company (WGAC) and two successor companies, Pu u `0`6 Ranch operated bytheShipmanCompany, and Parker Ranch. Until 1891, the government managed all of the mountain lands in Ka`ohe as a single parcel. Beginning in that year with Lease No. 451 to the Humu`ula Sheep Station, Ka`ohe was divided into sections (e.g., Ka`ohe 1-5) and bid out as separate parcels. The direct APE was included in Ka`ohe 3, which eventually came under the leasehold of Parker Ranch and continued to be used for livestock ranching into World War II, when large portions of Parker Ranch's fee -simple and leased lands became training areas for the United States armed forces. In December of 1943, the Second Marine Division arrived on Hawaii Island for rest and relaxation after fighting in the Gilbert Islands (Chapman 2014). They were dispersed into three camps: one at Hapuna Bay, one in Waimea (Camp Tarawa), and one at Pohakuloa (Bergin 2004: Desilets et al. 2017). Portions of Ka'ohe were used by the Marines for anti-tank and artillery training. After the war in the Pacific ended in 1945, Parker Ranch's manager, Alfred Wellington Carter, was anxious to return the ranch's grazing landsbacktotheirintendedpurpose. Parker Ranch began negotiations to find a new training area in 1952, first with the U.S. Marine Corps and later with the U.S. Army. As a result of these negotiations, PTA was established 1956 on approximately 116,000 acres of Government-owned land in Ka`ohe 3 and 4. The training area included two parcels (758 acres) in Ka`ohe 4 that were transferred to the United States by theTerritorialGovernor's Executive Order No. 1719, and 84,000 acres south of Saddle Road transferred by Presidential Executive Order No. 11,167. Other adjacent lands totaling 31,600 acres, including the DirectAPE, were leased from the Territory and private landowners (Langlas et al. 1999). The training area hasbeencontinuouslyoperatedsincethattimeforlive -fire exercises and other training missions. HISTORY OF THE APE FOR DIRECT EFFECTS As a result of the Mahele 'Aina of 1848, the ahupua 'a of Ka`ohe was initially awarded to VictoriaKamamaluwhothenrelinquishedherlandholdingstoKamehamehaIIIonJanuary27, 1884 (Buke Mahele1848:5-6). Ka`ohe was subsequently given to the Government Land Inventory by Kamehameha III onMarch8, 1848, thus the ahupua 'a of Ka`ohe was set aside as Government Land (Buke Mahele 1848:191). Later in 1857, Francis Spencer and his business partner Robert Janion of the Waimea Grazing andAgriculturalCompany (WGAC) obtained leases to grazing lands in Ka`ohe, which included the subject parcel and the lands surrounding it. During this time, WGAC established ranching stations and sheep andcattleoperationsacrossthemountainlands. The lease to roughly 95,000 acres in Waik6loa formerly heldbytheWGACwasacquiredbyParkerRanchin1870, who continued to expand their ranching operationsintheareathroughoutthe1870sandI880s. By the mid -I 880s Samuel Parker, Jr.'s poor business dealingsledtoarapidlydegeneratingfinancialsituationforParkerRanch, and in 1887 the entire ranching operationwasentrustedtoCharlesR. Bishop and Co. for a fee of $200,000 (Bergin 2004). With the move to trusteeship, new managers were brought in to oversee the day to day operations at the ranch. By the early1900sParkerRanchwasunderthedirectionofAlfredW. Carter. Carter was chosen as the guardian andtrusteeforThelmaParker, who had inherited the ranch at the age of nineteen from her father John ParkerIII. Carter concentrated on acquiring and converting more of the ranch's lands from lease to fee. In the years leading up to World War II, the United States military began to establish a permanent presence on Hawaii Island (Chapman 2014). Several months before the bombing of Pearl Harbor in 1941, the U.S. Army established an infantry headquarters at Parker Ranch in the Pu'ukapu area ofWaimea (Bergin 2006). This was in keeping with a spirit of cooperation between the military and the ranch that began in 1908 with the ranch participating in the U.S. cavalry's remount program. Additional military training areas were alsoestablishedthroughouttheisland, including the lands of Pohakuloa, located to the west and south of the November 4, 2020 Section 106 AT&T Mobility Saddle Road 3/1-11L03359 Page 4 of 23 current subject parcel. As a precaution against a possible Japanese invasion, which could disrupt travel along the island's coastal roads (Langlas et al. 1999), the single -lane road through Waiki`i (the current Saddle Road which bounds the subject parcel and Direct APE to the east) was improved to accommodate motorized vehicles by the Civilian Conservation Corps and the United States Engineering Division. A review of the County of Hawaii Tax website indicates that in 1951, the Parker Ranch general lease to the grazing lands in Ka`ohe 3 expired, and was replaced by a revocable permit to graze on 1,777.543 acres of pastureland. A 6.607 -acre area containing a U.S. Army radio station was excluded from this permit. This area now comprises the majority of the current subject parcel and includes the Direct APE. In that same year, the radio station and surrounding land was leased by the Territorial Government to the U.S. Government to support the nearby U.S. military training area, which would eventually become POhakuloa Training Area in 1956 (Langlas et al. 1999). In 1953, boundaries were surveyed for the establishment of a unique TMK parcel by the Territory of Hawaii (Figure 10) and the subject parcel became fee simple land in its own right. Later that year the boundaries of the parcel were adjusted to their current configuration, adding almost 0.27 acres. Figure 10 depicts the location of four structures and a water tank that were present within the property during the 1953 boundary survey. Two of these structures are labeled "Concrete Bldg.", and two are labeled "Quarters". A review of the County of Hawaii Tax Map field books as well as archival research indicates that the western most concrete structure served as the radio transmitter building, and the other a generator shed. It is likely that the radio station was no longer in use by the Army at this point, as the new parcel is referred to as the "Old Army Radio Station" on the map shown in Figure 10. The year prior to this, in 1952, the Hawai`i Island Girl Scout Council began to use the subject parcel to assess its feasibility as a potential campground. and pleased with the site, purchased the parcel (Grant No. 13014) for a fee of $1795.75 in 1954. The camp was named Kilohana Girl Scout Camp. The old concrete radio transmitter building and generator shed are still standing on the property. The transmitter building was repurposed by the Girl Scouts and named POhaku Lodge. Other infrastructural improvements have been made to the property over time, including the construction of three storage areas, a washing unit, and a privy in 1974, and Baldwin Lodge which is now used as the main camp lodge, in 1976. More recent infrastructural improvements to the property include the construction of pavilions, several outhouses, and a storage area. Most recently, the wastewater system was upgraded in 2017. The current subject parcel has been utilized as a recreational facility for over 66 years and still serves as the Girl Scout Council of Hawaii campground. LITERATURE SEARCH RESULTS A search of previous studies on file at SHPD was conducted on September 20, 2020, which identified four prior archaeological studies (Langlas et al. 1999; McElroy and Duhaylonsod 2018; Roberts et al. 2004; Robins et al. 2007) that had taken place within and in the vicinity of the Direct APE, and five previously recorded sites within the Visual APE (Figure 11). Paul H. Rosendahl, Ph.D., Inc. (PHRI) conducted an archaeological inventory survey and traditional cultural property study (Langlas et al. 1999) for the development of the Daniel K. Inouye Highway. which at the time was called the Hawaii Defense Access Road A -AD -6(1) and Saddle Road (SR 200) Project. The study was conducted within the legal framework of Section 106 ofthe National Historic Preservation Act and included archaeological fieldwork and historical and ethnographic studies. The Area of Potential Effects (APE) for that study included multiple corridors extending from Mamalahoa Highway in the west to Mile Post 5.5 on Saddle Road near Kaumana School in the east. One of the study corridors extended along the eastern boundary of the Kilohana Girl Scout Camp (the current subject parcel). Sixteen sites were identified within the project's overall APE. Additionally, a burial site (Site 50-10-21-20852) was described by Mr. Henry Auwae during an oral history interview. All sixteen sites identified by Langlas et al. (1999), as well as the Site 20852, are located outside of the current 0.5 -mile radius Visual APE. Garcia and Associates (Roberts et al. 2004) conducted a large-scale reconnaissance survey for the Stryker Brigade Combat Team within the P6hakuloa Training Area (PTA), located to the west. northwest and November 4, 2020 Section 106 AT&T Mobility Saddle Road 3/HIL03359 Page 5 of 23 southwest of the current subject parcel. Their study identified 72 sites, most of which are Historic in age and associated with military, ranching, roads, agriculture, markers and habitation. Of the 72 sites only 6 were interpreted as Precontact in age, which included agricultural, habitation, and rock art sites, as well as a burial cave. In 2007, Garcia and Associates conducted further investigation, which included subsurface testing of 62 of the sites recorded during that earlier survey (Robins et al. 2007). As a result of the Roberts et al. (2004) and Robins et al. (2007) studies, four sites were identified within the current Visual APE (see Figure 11). These include an enclosure (Site 50-10-21-23490). a complex ofmounds (Site 50-10-21-23473) and two mounds (GANDA temporary site number (GTS) 913, and Site 50-10-21-23488). All four of these sites were determined not eligible for listing in the NRI -IP (Marquez 2017). In 2018, Keala Pono Archaeological Consulting LLC conducted an archaeological inventory survey andculturalimpactassessment (McElroy and Duhaylonsod 2018) of the Kilohana Girl Scout Camp property, which included the Direct APE. The study involved pedestrian survey, subsurface testing, and interviews with community members. As a result of that study, one archaeological site, consisting of a Historic fire ring (Site 50-10-21-30631), was identified within the southern portion of the subject parcel to the south of the Direct APE. Site 30631 was assessed as significant under Criterion d and received an approved treatment of no further work. The site is thus considered not eligible for listing in NRHP. McElroy and Duhaylonsod (2018) also documented PShaku Lodge and the old army generator building as historicbuildings. Neither of these buildings were considered significant historic properties and both were determined not eligible for the Hawaii Register of Historic Places. The Kilohana Girl Scout Camp itself was not identified as a potential historic property. Subsurface testing conducted by McElroy andDuhaylonsod (2018) consisted of four 0,75 -meter -wide test trenches that ranged from 7.1 to 10.4 meters long and extended between 91 and 140 centimeters below the ground surface. No subsurface archaeologicalresourceswereidentified. Also in 2018, ASM Affiliates conducted an archaeological inventory survey of three alternative corridors for Hawaii Electric Light Company (HEL). 6200 69kV Saddle Road Rebuild project, located in South Kohala, Hamakua, North Hilo, and South Hilo Districts (Barna 2018); this study has yet to be submitted to SHPD for review. A portion of one of the project alternatives extended along the eastern boundary of theKilohanaGirlScoutCamp (the current subject parcel). As a result of the Barna (2018) study, features of eight previously recorded Historic properties were identified. The sites are primarily associated with livestock ranching and transportation activities that occurred during the nineteenth and early twentiethcenturies. None of these sites are located within the Visual APE. RESULTS OF FIELD INSPECTION OF DIRECT APE On September 15, 2020, Johnny Dudoit, B.A. under the direct supervision of Benjamin Barna, Ph.D. Principal Investigator), conducted an archaeological field inspection of the Direct APE. The entire lease area was inspected by walking systematically in sweeps across the Direct APE (100% surface survey). Views of the proposed lease area are shown in Figures 12 through 15. Views from the tower location are shown in Figures 16 through 19. The ground surface was easily visible as the majority of the vegetation within the Direct APE is a maintained landscaped with only some overgrown areas where the vegetation was approximately hip -high. The proposed lease area is located on a rock outcrop with very little (<5 cm) soil accumulation, and the terrain in the majority of the lease area is level to gently sloping. The proposedtowerlocationissituatedonlevelgroundbetweentoexistingwatertanks. The subject parcel and the area immediately surrounding the Direct APE has been modified for human use dating from WWII (c.I940s) to the present and since 1954 has been utilized by the Girl Scout Council of Hawaii as a recreation area. As a result of the field inspection, there were no specific historic features observed within the Direct APE, and while the Kilohana Girl Scout Camp parcel might be considered a historic property, it was not identified assuchasaresultoftheSHPD-accepted McElroy and Duhaylonsod (2018) study. November 4, 2020 Section 106 AT&T Mobility Saddle Road 3/HIL03359 Page 6 of 23 ASSESSMENT No historic properties are present on the ground surface within the Direct APE. Based on the soil conditions coupled with and the negative results of the previous subsurface testing conducted by McElroy and Duhaylonsod (2018) the likelihood of encountering subsurface archaeological deposits during the ground disturbance for utility trenching is very low. There are no sites listed or determined eligible for listing in the NRHP or HRHP within the Visual APE. Thus, the proposed undertaking (AT&T Mobility Saddle Road 3/HIL03359, New Wireless Communication Tower Project) will have no effect on historic properties within the Visual APE or the Direct APE. Sincerely, Benjamin Barna, Ph.D. Senior Archaeologist November 4, 2020 Section 106 AT&T Mobility Saddle Road 3/HIL03359 Page 7 of 23 REFERENCES CITED Barna, B. 2013 Ethnogenesis of the Hawaiian Ranching Community: An Historical Archaeology ofTradition, Transnationalism, and Pili. Ph.D. Dissertation, University of Nevada, Reno. ProQuest LLC, Ann Arbor, MI. 2018 An Arcahaeological Inventory Survey for the Hawaii Electric Light 6200 Transmission Line Replacement, Portions of TMKs: (3)2-4-006, -008; (3)2-5-001, -002, -003, -004, - 005,038, -041, -044, -046, -053,-054,-055,-057,-061,-062;(3)2-6-018;(3)3-8-001;(3)4- 4-015, -016; (3)6-7-001, -004, -005, -006; and (3)6-8-002, Waikaloa, Ka`ohe, Humu`ula, Pi`ihonua, Punahoa 2nd, Kafmana, and Waiakea ahupua`a, South Kohala, Hamakua, North Hilo, and South Hilo Districts, Island of Hawaii. ASM Affiliates Project Number29400. Prepared for Stantec, Hilo, HI. Barrere, D. 1983 Report 2: Notes on the Lands of Waimea and Kawaihae. In Archaeological Investigations ofthe Mudlane-Waimea-Kawaihae Road Corridor, Island ofHawai'i: An InterdisciplinaryStudyofanEnvironmentalTransect, pp. 25-38. edited by J. Clark and P. Kirch. Departmental Report Series 83-1. Department of Anthropology, B.P. Bishop Museum, Honolulu. Bergin, B. 2004 Loyal to the Land The Legendary Parker Ranch, 750-1950. University of Hawaii Press, Honolulu. Brennan, J. 1974 The Parker Ranch ofHawaii: The Saga ofa Ranch and a Dynasty. The John Day Co., NewYork. Chapman, W. 2014 Hawaii, the Military, and the National Park: World War II and Its Impacts on Culture and the Environment. Prepared for American Society for Environmental History and NationalParkService. Desilets, M., H. -C. Kuo, S. Dewar, A. Sims, and D. Byerly2017CulturalLandscapeReport: Making Marginal Land Pay: 150 Years of Ranching atKe`amuku, Waikoloa Ahupua`a, South Kohala District, Hawaii Island, TMKs (3) 6-7- 001:003, :041 por., :042, and :045. Garcia and Associates 2316-2. Prepared for U.S. ArmyCorpsofEngineers, Honolulu District, Fort Shafter, Hawaii. Langlas, C., T. Wolforth, and .1. Head 1999 The Saddle Road Corridor: An Archaeological Inventory Survey and Traditional Cultural Property Study for the Hawaii Defense Access Road A -AD -6(1) and Saddle Road SR200) Project, Districts of South Kohala, Hamakua, North Hilo, and South Hilo, Island of Hawaii. Paul H. Rosendahl, Ph. D., Inc. 1939-043099. Prepared for Okahara & Associates, Inc. Maly, K., and O. Maly 2005 Mauna Kea- Ka Piko Kaulana 0 Ka `Aina/Mauna Kea- The Famous Summit of the Land. Kumu Pono Associates HIMK67-OMKM (0330056). Prepared for The Office of MaunaKeaManagement (University of Hawaii Hilo), Hilo, HI. November 4, 2020 Section 106 AT&T Mobility Saddle Road 3/131L03359 Page 8 of 23 Marquez. C. 2017 Evaluation ofCultural Resources for Section 106 Consultation. Kelmuku Maneuver Area, US Army Garrison-P6hakuloa, Hawaii Island TMK: (3) 6-7-001:003, 041, 042, 045. U.S. Letter to Dr. Man Downer, Deputy State Historic Preservation Officer. Army Installation Management Command, Pacific Region, Headquarters, United States Army Garrison, Pohakuloa. July 7. McCoy, P., and M. Orr 2012 Ethnographic Study of Pohakuloa Training Area and Central Hamakua District, Island of Hawaii, State of Hawai`i. Pacific Consulting Services, Inc. Prepared for Dawson Group, Inc, Honolulu. McElroy, W. K., and D. Duhaylonsod 2018 FINAL—Archaeological Inventory Survey for Improvements to Girl Scout Camp Kilohana, Ka'ohe Mauka Ahupua`a, Hamakua District. Island of Hawaii, TMK: (3) 4-4- 015:005. Keala Pono Archaeological Consulting, LLC. Prepared for Girl Scouts of Hawai`i, Honolulu. Meyer, M. 2003 Ho`oulu: Our Time ofBecoming. CollectedEarly Writings ofManulani Meyer. Ai P6haku Press. Honolulu. Pratt, L., and S. M. Gon, III 1998 Terrestrial ecosystems. In Atlas of Hawaii, pp. 121-129. Third ed. University of Hawaii Press, Honolulu. Pukui, M. K, S. H. Elbert, and E. Mo'okini 1974 Place Names ofHawaii. Revised and Expanded ed. University of Hawaii Press. Honolulu. Roberts, A., J. Robins, and A. Buffum 2004 Archaeological Surveys of Proposed Training Areas for the Stryker Brigade Combat Team U.S. Army Pohakuloa Training Area, Island of Hawaii, Hawaii. Contract No. DACA83- 01-D-0013, Task Order No. 0007. TMK 4-4-16:1, 5. TMK 6-7-1:3. Garcia and Associates GANDA). Prepared for U.S. Army Engineer District. Honolulu and CEPOH-ED-E. Fort Shaffer, HI. Robins, J.. K. Desi lets. and A. Gonzales 2007 Final: Intensive Phase II Survey for Significance Determinations of Cultural Resources, Ke`amuku Land Acquisition Area (WPAA) for the Stryker Brigade Combat Team (SBCT), U.S. Army Pohakuloa Training Area, Hawaii Island, Hawaii (TMK: 3-6-7-001:03). Contract No. DACA83-03-D-001 I, Task Order No. 0003. Garcia and Associates 2053-1. Prepared for U.S. Army Engineer District. Honolulu. Sherrod. ID., .1. Sinton, S. Watkins, and K. Brunt 2007 Geologic Map ofthe State ofHawai `i. U.S. Department of the Interior, U.S. Geological Survey. Open -File Report 2007-1089. Electronic document. http://pubs.usgs.gov/of/2007/1089 accessed Apr 27, 2018. Vancouver, G 1984 A Voyage ofDiscovery to the North Pacific Ocean and Round the World, 1791-1795: With an Introduction and Appendices. Edited by W. K. Lamb. Hakluyt Society, London. November 4, 2020 Section 106 AT&T Mobility Saddle Road 3/HIL03359 Page 9 of 23 Wellmon. B. 1969 The Parker Ranch: A History. Ph.D. Dissertation. Texas Christian University, Department of History. University Microfilms International, Ann Arbor. MI. WorldView 2016 WorldView 2 satellite imagery. State of Hawaii MapServer. Electronic document, haps://geodata.hawaii.gov/arcgis/rest/services/SoH imagery/WV2 2016/MapServer. November 4, 2020 Section 106 AT&T Mobility Saddle Road 3/H1L03359 Page 10 of 23 Portion of t;SCS 7.5 Quadrangle Keamuku. III 2017 Figure 1. Location of the proposed AT&T Mobility, Saddle Road 2 project outline in red, and extent of visual APE outlined in yellow. Figure 2. Fax Map Key ( 3) 4- 4- 015 showing the direct and visual APE. November 4, 2020 Section 106 AT&T Mobility Saddle Road 3/HIL03359 Page 12 of 23 0 200 400deter. Visual APE J 'T.'•3' ;trr 1:1114:114)44 ..:+' r I:;id '72'AI '' 3 J: FY .I t)I1 . Figure 3. Satellite imagery (WorldView 2016) with direct and indirect APE indicated. November 4, 2020 Section 106 AT&T Mobility Saddle Road 3/H1L03359 Page 13 of 23 1') A1.1 ur. 11v PC\E FOR OV321IEAD POMP 5 r:A)R R^UIF F1 A1&T OVERMEAO POWER:FIRERROUTE ARMOR t?00.01 F)ATS' 11, WOE NO4.113(C:USVE 7ECaFXCIAI. PANOf ACCESS AL01.1:1El O,RT PAN 1E1 09.1 ACCESSROAD F./ IPI AT&T miry POLE -- 4' r^1,n,.rvu F\ / POWER a FIBERRd11F r w! I IE) 1.1111.111' POUF. ARO! 118I96, IPJ A?&TPOWER/F1ERyG• P.O.C. RA WR CMS*: GAZE 11, IEI WIREPENCE, TYR. k IEi TIMEPrP. 3"gACAFRCTOSET 1jr' 0 IPIA1&T61O SO.Fl 4 LEASE AREA 1 n 0 1 / 1 r ..... ..... IEI CA,CPME14 1 ff 4 IP A1r19.4AV' EXC:JSIOIt - - \\ OETA).CE. M \ IS.OWI, AS REFERENCE OWL 11 AJ P) ATE! 10U -CV 14GFr MO^10R4E. PROPOSED AT&T I PROJECT AREA REFER TO ENLARGED SITES ON SHEET A-2 SITE PLAN 2 Figure 4. AT&T Mobility, Saddle Road 3, site plan. 0 C C November 4, 2020 Section 106 AT&T Mobility Saddle Road 3/H1L03359 Page 14 of 23 A -A100 TMK: (3) 4-4-015:013 PROPOSED AT&T PROJECT AREA REFER TO DETAIL HEREON lE} ORT ROAf a1• o" - J \ Ee / C\p 44% z! A .14. X.1 JcQp co T toq i IE00t D ;• r. IT IEI BUAD1NG 73 s . IL O1c0 3° 'a ACK TROI'1\ YPRDSER a 1 UPC. RARD T- 1 R {. SVC zl ft A 1;A TMK: (3) 4-4-015:005 IE) EU40RNGS. Tye FE -CONSERV/40,i I / Figure 5. AT&T Mobility, Saddle Road 3, plot plan. November 4. 2020 Section 106 AT&T Mobility Saddle Road 3/HIL03359 Page 15 of 23 Elev. 96-0 IA.G.L ; IPI AI T PANEL ANTENNA .. ryP. I PER SECTOR ; TOVAL. 121 iP1 AAT' IWO NxCN. MONOPr.:E in JC POWFP.. IP) FIBERTRUNK CABLES W.TFMN S:NEf.1S C? ROUTED WINSN!PI MCf'NOP'NE IPI'AT&T SARK 13 PREFABRICATED EOUR'MFNT SNELTER ;BEYOND: PN 6'Q NIGH CHAIN L'NK .. FENCE V/ PRNACv SLATS TO IP: CT.: .. . F5ALNED GRADE A: 'rR BASE OF (PN S E:Ev o'bEQUIPMENT AREA SOUTHEAST ELEVATION sieverwe._ Figure 6. AT&T Mobility, Saddle Road 3. southeast elevation of the proposed Monopine wireless communication tower. A•. IPI AT&T PANE MTENNAS b TOWER MOUNTED EGLI:PMETT SF.A;I BE PANTED TOMAICRONE PROPOSEDMOTMPIIE 2. ALL IPI AT&TPANEL ANTENNAS S,.ALL MCOVEREDWITHPENSSOCKS 3. 'AuxRRu'S. 1MA-s. AND SURGE ARRESTORS NOTDERCTED M 1155VIEWFORCLARITY. FORLOCAT DNS OF Ntse ITEMS. PLEASE REFER TO PREVIOus PLANS VIEWS WITNIN 'Re DRAWING SET PIANTENNA 29 RC; LIVOra NSTAND, ITP. ;SHOWN AS REFERENCE °T.&VL TEL CATCHMENT TANK November 4, 2020 Section 106 AT&T Mobility Saddle Road 3/H1L03359 Page 16 of 23 IE1 SLOPED DIRT PATH - A P) ATV IT WIDE NON{%CLUSIVETECHTRCTAN PATH OF ACCESS ALONG7E) DIRT PAM IPI AT&T LIMITPOLE FOR OVERHEAD POWER & RBE RROUTE E) GRADEBREAK. TVP i E) GRADE BREAK. TTP. IE) SLOPES` LANDSCAPE- Nig LEI SLOPED LANDSCAP-- IE) TREE. TT'P. El CATCHAA',' • PIDC POWER • IPI PEER TPu'1K CABLES WRHIN 1p PVC ROUTED WITFIa UNDERGROUND TRENCH TC IPI AT&T MONOPINE 1E! SLOPEDLANDSCAPE- LEI SLOPED LANDSCAPE.. OUTLINEOF (PI MONOPINE BRANCHES IP('AT&T IDS.D- HIGH MONOPINE ACJ PROPOSED ENLARGED SITE PLAN m2 Figure 7. AT&T Mobility, Saddle Road 3, development plan showing location of subsurface utility trench. November 4, 2020 Section 106 AT&T Mobility Saddle Road 3/HIL03359 Page 17 of 23 1 Direct APE 01 11.0011-64001) yr Laupahochoc Volcanics Sneaod O R Saxon J M NAO. .s S E and (MAI. K M 7001 Geologic Mae of the State M MadenI U S Geuhgrcm SurveyOgen.reeRepos x07. t0&. 53p somas scams1 100000and 1 250000 r.dh GISdatabase Accessed 10304021 01 416100, Qt I I.000.65.(IOD tr fcphra deposits Figure 8. Geology in the vicinity of the Direct APE. 01 806 N Direct APE 383 Waimea medial sere fine sandy loam. 0 to 6 percent slopes 804 Waimea-Kemole complex. 2 to 20 percent slopes 806 Kilohana medial sen fine sandy loam. 10 to 20 percent slopes 812 Kemole extremely stony medial s cry fine sandy loam. dry. 12 to20percentslopes Sod Survey Stall Salami Rewrite., Conservation Scrvoe United Slams Oepattntent 0 45.001 lte Soii SuitesGeograpna (SSURGOI Database Armlet* oob a atnaps ovanstataKCess Scegos usda boa Atceoed 10:302020 0 100 21'1xtd.. Figure 9. Soils in the vicinity of the Direct APE. November 4. 2020 Section 106 AT&T Mobility Saddle Road 3/HIL03359 Page 18 of 23 Figure 10. A 1952 Territory of Hawaii CSF Map No. 11485 showing the boundaries of the current subject parcel (outlined in red) N t r Y moa G-- nman4 111E.34 N CCSFno-re) 755.09 W Q`v r14, A. isPc4.'4rcotioP Land' V07Va u Q e A 0t. Go ernmen4 0 -0eO M 0Q at J 0 ti, L 54a+ion B" 00 V r kVV To Land lAiumoa 46.s10 hVO pi A 3 V eU ii. yam *, ese, Job No. 156 Saikiis Cala Bk.2 y . 31 ' ' '90trYb\` OT,,k o'''4 eAi CJ pi G.75 Ac. cent. atet d Nt e. 0 p ieq. 40 h eQ b. e - CJ ip 0 0 Old Armq Radio Kaolne 3, 5eo4ion F-lamakua, Hawaii eesle: 1 inob. e0oFeai' Tax Map Key: 4-4-15 4 G-7-01 SURVEY DEPARTMENT TERRITORY OF HAWAII Tracinq Int C. $. F, No. 1 1485 I ICKT-July 14, ios2 Figure 10. A 1952 Territory of Hawaii CSF Map No. 11485 showing the boundaries of the current subject parcel (outlined in red) November 4, 2020 Section 106 AT&T Mobility Saddle Road 3/HIL03359 Page 19 of 23 Area ofdetail Site 23490 Visual APE Direct APF Site 30631 GIS 913 Site 23458 Site 23473 0 200 .uu0 ktrn 111 Barna 2018 Langlas et al. 1999 McElroy & Duhaylonsod 2018 Roberts et al. 2004. Robins et al. 2007 C C November 4, 2020 Section 106 AT&T Mobility Saddle Road 3/HIL03359 Page 20 of 23 Figure 11. Locations ofprevious studies and SHIP sites within the visual APE. Figure 12. Direct APE, view to the west. Figure 13. Direct APE, view to the north. November 4, 2020 Section 106 AT&T Mobility Saddle Road 3/HIL03359 Page 21 of 23 Figure 14. Direct APE, view to the south. Figure 15. Direct APE, view to the east. c C C November 4, 2020 Section 106 AT&T Mobility Saddle Road 3/H1L03359 Page 22 of 23 Figure 16. View plane to the south of the Direct APE. Figure 17. View plane to the north of the Direct APE. November 4, 2020 Section 106 AT&T Mobility Saddle Road 3/H1L03359 Page 23 of 23 o-Mw•r-:i». .....glA,'c ;,,,,ay .rnN e{p.a.yi....._. ;.sw. *4. Figure 18. View plane to the east of the Direct APE. Figure 19. View plane to the west of the Direct APE. Environmental Assessment Specialists, om Inc. Office (818) 898-4866 Fax (818) 365-2581 www.easenv.c Biological Resources Impact Analysis HIL03359 (Saddle Road 3) 44-6800 Daniel K. Inouye Highway Kamuela, County and Island of Hawaii Hawaii TMK: (3) 4-4-015:005 Prepared for: AT&T Mobility 500 Kahelu Avenue Mililani, Hawaii, 96789 Prepared by: Contact: Martyn Leaver Environmental Assessment Specialists 71 San Marino Avenue Ventura, CA 93003 February 10, 2021 Findings of a Biological Resources Impact Analysis AT&T Mobility LLC Candidate HIL03359 Saddle Road 3) 44-6800 Daniel K. Inouye Highway Kamuela, County and Island of Hawaii, Hawaii. Environmental Assessment Specialists, Inc. (EAS) is pleased to submit this letter report addressing thebiologicalresourcesassociatedwiththesubjectAT&T Mobility, LLC (AT&T) facility located within the CityofKamuela, County and Island ofHawaii, Hawaii. INTRODUCTION EAS on behalf of AT&T performed an informal biological assessment for the collocation of antennas on anexisting100' mono -pine. This assessment was conducted per Federal Communication Commission's (FCC) National Environmental Policy. Act (NEPA) requirements to evaluate potential impacts on threatened or endangered species, and critical habitats. This informal biological assessment was conducted in conjunctionwithanFCCNEPAreviewinaccordancewith47CFR1.1.307(a) 3. Based on the results of the biological assessment, it is EAS' opinion that the proposed project will have noeffectonlistedthreatenedorendangeredspeciesordesignatedCriticalHabitats, and that the project will notsignificantlyaffectmigratorybirds. US Fish & Wildlife Service (USFWS), the National Marine Fisheries Service (NMFS), and in accordancewithFCCguidelinesonUSFWSreviews, biological assessments with "no effect" determinations donotrequirereviewbytheUSFWSorNMFSinordertofulfillFCCNEPAreportingrequirements. TELECOMMUNICATION SITE DESCRIPTION The project site is generally located southeast of the community of Waimea, and east of Waikoloa Village onthenorthwestportionoftheislandofHawaii. The site is located within a vegetated hillside on the northeast corner of the existing Girls Scout camp property. The girls Scout Camp is located on the west side of SaddleRoad, north of the Keekee Road intersection in Kamuela, Hawaii. The proposed lease area is depicted on theUnitedStatesGeologicalSurvey (USGS) Keamuku, HI 7.5 -minute quadrangle map. J - Utica! Habitat Polygon Fealures • Final: Pablo Ihoneycreeper) 5 NG. -EP.1.4;^.0ney_'ee2ee: C t.. iox,00esta'mc, c. PCOKVCPlaalechock cwrent tCi.Cleiireci,c snaCeli:e Peaes chock CLnen! Dere! soeci?*c sha0af.ta lMMb.o..e.v.rsan.medb of Ma W.wa.Y - biad..b.e.o•P+MM1aw.Wd'. />1C+a-w... . United States Geological Survey (USGS), Keamuku H1.7.5 -minute topographic quadrangle map. AT&T proposes the installation of antennas on to a new 100' monopine. The associated equipment is to be installed within a new 28'2' x 21' 8" fenced lease area approximately 30 feet north west of the proposed monopine. Approximately 50 of trenching will be required to supply power to the monopine, and equipment shelter. Utilities will be supplied overhead from the road to a new utility pole on the north side of the lease area. Ground disturbance will occur on the heavily disturbed hilltop grassland with sparse trees on the northeast side of the existing Girl Scout's facility. Land use adjacent to the project site generally consists of rural undeveloped land to the north and east, with the scout camp to the west and south. The Girl Scout Camp is adjacent to designated critical habitat for palila (USFWS 1977). The critical habitat abuts the Camp property along the length of its eastern boundary and isjust east across the Saddle Road from the proposed tower development site METHODS A biologist has evaluated any biological resources present on. adjacent to, or near the project site. The evaluation has been performed to assist in determining the existence or potential occurrence of sensitive or special interest plant and animal species on the project site or in the vicinity of the site. Sensitive biological resources present, or potentially present, onsite were identified through a literature review using the following resources: State of Hawaii, Division of Forestry and Wildlife (HDFW 2021), U.S Fish & Wildlife, Pacific Islands Fish and Wildlife Office (USFW 2021), and the NatureServe.Org/watershed-map NatureServe 2021) For the purpose of this report. "sensitive" or "special status" species are those plant or wildlife species that are federally and/or state listed species. proposed for listing, candidate species and USFW Species of Special Concern. The reconnaissance -level assessment of the site was conducted by Martyn Leaver. Principal Biologist of EAS Appendix C). Weather conditions included a temperature of approximately 68 degrees Fahrenheit, winds of 5 to 8 miles per hour, and clear skies. Particular attention was focused on sensitive and special interest biological resources to determine the presence or potential occurrence of any sensitive or special interest plant or animal species. The biological resources assessment was based on the literature review and a field assessment. VEGETATION The proposed site will be installed within an area of the property that is has previously been disturbed and is covered by ornamental and ruderal vegetation. Common species observed in the project area are mainly grasses, shrubs, and native shrubs and trees like, Kawelu grasses. Pamakani, koa trees'uki'uki, and 'A`ali`i. GENERAL WILDLIFE The project site is located within heavily disturbed grassland of the scout's camp and does not contain habitat for any of the listed sensitive wildlife species. The surrounding area may provide habitat for wildlife species that commonly occur in rolling hills west of Mauna Kea but will not be affected by the installation of this project. No small mammal burrows were observed on or within the immediate vicinity of the project site. SENSITIVE BIOLOGICAL RESOURCES Special Status Species Special status species are native species that have been accorded special legal or management protection because of concern for their continued existence. There are several categories of protection at both federal and state levels, depending on the magnitude of threat to continued existence and existing knowledge of population levels. The USFWS administers the Federal Endangered Species Act (ESA). The ESA provides a process for listing species as either threatened or endangered, and methods of protecting listed species. The ESA defines as endangered" any plant or animal species that is in danger of extinction throughout all or a significant portion of its range. A `threatened" species is a species that is likely to become endangered in the foreseeable future. A "proposed" species is one that has been officially proposed by USFWS for addition to the federal threatened and endangered species list. Section 9 of the ESA prohibits "take" of threatened or endangered species. The term "take" means to harass, harm, pursue, hunt, shoot, wound, kill, trap, capture, or collect, or to attempt to engage in such conduct. Take can include disturbance to habitats used by a threatened or endangered species during any portion of its life history. The presence of any federally threatened or endangered species that is in a project area generallyimposessevereconstraintsondevelopment, particularly if development would result in take of the species or its habitat. Under the regulations of the ESA, the USFWS may authorize take when it is incidental to, but not the purpose of, an otherwise lawful act. The Hawaii Division of Forestry and Wildlife (HDFW) administers the Hawaiian Endangered Species Law Codified in Chapter 195D of the Hawaii Revised Statutes (HRS). The State of Hawaii considers an endangered" species one whose prospects of survival and reproduction are in immediate jeopardy, a threatened" species is one present in such small numbers throughout its range that it is likely to become an endangered species in the near future in the absence of special protection or management, and a "rare" species is one present in such small numbers throughout its range that it may become endangered if its present environment worsens. The term "rare" species applies to Hawaii native plants. State threatened and endangered species are fully protected against take, as defined above. "Species of special concern" is an informal designation used by HDFW for some declining wildlife species that are not state candidates. This designation does not provide legal protection but signifies that these species are recognized as sensitive byHDFW. The NatureServe has developed an inventory of Hawaii's sensitive plant species by watershed, (NatureServe 2021). This inventory summarizes information on the distribution, rarity, and endangerment of Hawaii's vascular plants. The inventory is divided into four lists based on the rarity of the species. In addition, the NatureServe provides an inventory of plant communities that are considered sensitive by the state and federal resource agencies, academic institutions, and various conservation groups. Determination of the level of sensitivity is based on the number and size of remaining occurrences as well as recognized threats. Sensitive habitats are natural communities that support concentrations of sensitive plant or wildlife species, are of relatively limited distribution, or are of particular value to wildlife (USFW 2021). Sensitive habitats are not afforded legal protection unless they support protected species, except for wetland habitats. which cannot be filled without authorization from the U.S. Army Corps of Engineers (USACE) and HDFW. The following discussion describes the special -status plants, wildlife, and habitats that have been afforded special recognition by federal, state, or local resource agencies or organizations and are known to occur in the region of the project site. Sources used for the classification of sensitive resources are as follows: Plants — U.S Fish & Wildlife, Pacific Islands Fish and Wildlife Office (USFW 2021). Habitats - U.S Fish & Wildlife, Pacific Islands Fish and Wildlife Office (USFW 2021). Wildlife - U.S Fish & Wildlife, Pacific Islands Fish and Wildlife Office (USFW 2021). A review of the Species List provided by the U.S Fish & Wildlife, Pacific Islands Fish and Wildlife Office USFW 2021) a list of 00 sensitive plant species, 08 sensitive wildlife species, and 0 sensitive plant communities that occur within the Keamuku. HL USGS topographic quadrangle. There are no sensitive plant species within the proposed project footprint. The proposed project will be contained within previously disturbed grassland of the scout's camp. This disturbance includes excavation, backfilling, and compaction activities resulting from previous and ongoing construction and maintenance activities of the camp facilities. Evidence of surface disturbance on and in the immediate vicinity of the site has greatly reduced the potential for sensitive plant species to occupy the area. Therefore, no sensitive plant species are anticipated to occur onsite, and the proposed project is not anticipated to result in any impacts to sensitive plant species. No further action is recommended with regard to sensitive plant species. The sensitive wildlife species include Hawaiian goose (Branta sandvicensis); Hawaiian hoary bat (Lasiurus cinereus sonatas); Hawaiian petrel (Pterodroma sandwichensis), Hawaii DPS band-rumped storm -petrel Oceanodroma Castro) Blackburn's sphinx moth (Manduca blackburni), Hawaiian hawk (Buten solitarius), palila (Loxioides baillieu) and the threatened Newell's shearwater (Punus auricularis newelli). The proposed project will be contained within previously disturbed grassland of the scouts camp. This disturbance includes excavation, backfilling, and compaction activities resulting from previous and ongoing construction and maintenance activities of the camp facilities. No portions of the proposed telecommunications footprint contain the important habitat suitability elements for any of the above -listed sensitive wildlife species; none are likely to occur within the proposed development footprint itself The site consists of heavily disturbed grassland, and no small mammal burrows occur on the project site. Therefore, no direct impacts are anticipated to result to any sensitive wildlife species and their habitat from implementation of the proposed project. No sensitive plant communities occur on the project site The proposed project is not located within any Designated Critical Habitat. The Girl Scout Camp is immediately adjacent to designated critical habitat for palila (USFWS 1977). The critical habitat abuts the Camp property along the length of its eastern boundary and is just east across the Saddle Road from the proposed tower development site. To avoid impacts to Palila critical habitat, please incorporate the attached Biosecurity Protocols into your project plans and include in all agreements with contractors. These protocols are intended to prevent the introduction and spread of harmful invasive species and diseases on Hawaii Island. which would adversely affect listed species and the ecosystems that are essential for their survival. Risk of wildfire should be minimized during project implementation to prevent accidental spread to Palila critical habitat. The proposed modifications are within the previously disturbed grassland of the camp, and will not impact native habitats that constitute primary constituent elements (PCEs) as described in the critical habitat final rule. and the proposed activities are not likely to adversely affect critical habitat. The site will be developed within previously disturbed areas. Therefore. although the site is located immediately adjacent to critical habitat boundaries, it does not contain the PCEs of critical habitat and no further consultation is necessary regarding critical habitat. Critical Habitat • Polygon Features • Final: Palila (boneyneeeper) ,. SINGLEal.iee,ze- LO%IO.Ceie•OOKVola, easecha& current Soot es spec shaaeie a eu. clackca•ent eeec,s sre:!ic shaoeile ref•,70.4..'ti-i!.%to..,.. •ma. Nowever ..:kYaiovi•Wa roe, H.n..,vMw'MI#fY4i1aw++nN'e«e.,,wiVara*aar!Mw‘11a'te+l+ 'n'+reYrwaawaNaP,00~:aaysR.... Critical Habitat Map. C C me rnc. n04,, fleece) IGK,f( Vat* e wee, roc. U*C K4441 eh•D*'A Review of the USFW National Wildlife Refuge System site indicates the project is not within the boundaries of an officially designated wildlife preserve. According to information on the US Fish and Wildlife Service USFWS) website the nearest wildlife refuge is the Hakalau Forest National Wildlife Refuge complex located approximately 20 miles east ofthe project site. The project site is not within the boundaries of an officially designated wilderness area, according to information on Wilderness.net. The closest wilderness area is the Hawaii Volcanoes Wilderness, approximately 20 miles of the south of the proposed project. Waters of the U.S. USACE jurisdiction over non -tidal waters of the United States extends laterally to the ordinary high-water mark OHWM) or beyond the OHWM to the limit of any adjacent wetlands, if present (33 CFR 328.4). The OHWM is defined as "that line on the shore established by the fluctuations of water and indicated by physical characteristics such as a clear natural line impressed on the bank, shelving, changes in the character of soil, destruction of terrestrial vegetation, the presence of litter and debris, or other appropriate means that consider the characteristics of the surrounding area" [33 CFR 329.11(a) (1)]. Jurisdiction typically extends upstream to the point where the OHWM is no longer perceptible. Recently, the federal courts have restricted USACE jurisdiction over waters that are not directly connected to traditional navigable waters (isolated waters), thereby increasing the focus clearly establishing the physical connection between the subject water body(ies) as a tributary to traditional navigable waters or otherwise by directly establishing the nexus with interstate commerce. During the biological assessment survey, the site was evaluated according to the guidelines provided in the USACE 1987 Manual (i.e. Environmental Laboratory, 1987). Waters of the U.S. were absent from the site; no water bodies having a perceptible OHWM were identified on site or adjacent to the site. Wetlands The USACE and EPA define "wetlands" as "areas that are inundated or saturated by surface or groundwater at a frequency and duration sufficient to support, and that under normal circumstances do support, a prevalence of vegetation typically adapted to life in saturated soil conditions." In order to be considered a jurisdictional wetland under Section 404, an area must possess three wetland characteristics: hydrophytic vegetation, hydric soils, and wetland hydrology. Each characteristic has a specific set of mandatory wetland criteria that must be satisfied in order for that wetland characteristic to be met. Several parameters may be analyzed to determine whether the criteria are satisfied. D Wetlands Map The proposed project will be contained within previously disturbed landscaped planter adjacent to the existing telecommunications equipment shelter. No hydrophytic plant species were observed on the project site nor along the proposed utility route; therefore, it was not necessary to examine the other two wetland criteria (hydrology and soils), since all three criteria must be met where wetlands are present. No jurisdictional wetlands will be impacted by the installation of the proposed facility. RECOMMENDATIONS The following measures are recommended to avoid and minimize project impacts to listed and endangered species: Hawaiian hoary bat The Hawaiian hoary bat roost in both native and non-native woody vegetation and, while foraging, willleavetheyoungunattendedinnurserytreesandshrubs. if the trees or shrubs suitable for bat roosting areclearedduringthebreedingseason, there is the risk that young bats could be killed or harmed. To minimize the impacts to the endangered Hawaiian hoary bat, woody plants greater than 15ft tall should not be disturbed, removed, or trimmed during the bat birthing and pup rearing season (June 1 throughSeptember15). Site clearing should be timed to avoid disturbance to Hawaiian hoary bats in the project area. HAWAIIAN GOOSE Hawaiian geese are found on the islands of Hawai'i, Maui. Molokai. and Kauai. They are observed in a variety of habitats, but prefer open areas, such as pastures, golf courses, wetlands, natural grasslands and shrublands, and lava flows. Threats to the species include introduced mammalian and avian predators, wind facilities. and vehicle strikes. To avoid and minimize potential project impacts to Hawaiian geese we recommend you incorporate the following measures into your project description: Do not approach, feed. or disturb Hawaiian geese. If Hawaiian geese are observed loafing or foraging within the project area during the breeding season September through April), have a biologist familiar with Hawaiian goose nesting behavior survey for nests in and around the project area prior to the resumption of any work. Repeat surveys after anysubsequentdelayofworkof3ormoredays (during which the birds may attempt to nest). Cease all work immediately and contact the Service for further guidance if a nest is discovered within a radius of 150 feet of proposed project, or a previously undiscovered nest is found within the 150 -foot radius after work begins. In areas where Hawaiian geese are known to be present, post and implement reduced speed limits, and inform project personnel and contractors about the presence of endangered species on-site. Blackburn's sphinx moth. The adult Blackburn's sphinx moth feeds on nectar from native plants, including beach morning gloryIpomoeapescaprae), iliee (Plumbago zeylanica), maiapilo (Capparis sandwichiana), and others. Blackburn's sphinx moth larvae feed on non-native tree tobacco (Nicotiana glauca) and native aiea (Nothocestrum sp.). To pupate. the larvae burrow into the soil and can remain in a state of torpor for a year or more before emergingfromthesoil. Soil disturbance can result in death ofthe pupae. We offer the following survey recommendations to assess whether the Blackburn's sphinx moth occurs within the project area: A biologist familiar with the species should survey areas of proposed activities for Blackburn's sphinx moth and its larval host plants prior to work initiation. o Surveys should be conducted during the wettest portion of the year (usually November -April or several weeks after a significant rain) and within 4-6 weeks prior to construction. o Surveys should include searches for adults, eggs, larvae, and signs of larval feeding (chewedstems. frass, or leaf damage). o If moths, eggs, larvae. or native aiea or tree tobacco over 3 feet tall, are found during the survey, please contact the Service for additional guidance to avoid impacts to this species. Seabirds The wedge-tailed sheanvater fly at night and are attracted to artificially -lighted areas resulting indisorientationandsubsequentfalloutduetoexhaustion; Seabirds are also susceptible to objects that protrude above the vegetation layer. To reduce the potential impacts to seabirds, we recommend the following minimization measures be incorporated into the project description. Construction activities should only occur during daylight hours. Any increase in the use of nighttime lighting, particularly during peak fallout period (September 15 through December 15, could result in additional seabird injury or mortality. If lights cannot be eliminated due to safety or security concerns, then they should be positioned low to the ground, be motion triggered, and be shielded and/or full cut-off. Effective lighting shields should be completely opaque, sufficiently large, and positioned so that the bulb is only visible from below. Hawaiian hawk The State -listed Hawaiian hawk is known to occur across a broad range of forest habitats throughout the Island of Hawaii. Loud, irregular, and unpredictable activities, such as using heavy equipment or building a structure, near an endangered Hawaiian hawk nest may cause nest failure. Harassment of Hawaiian hawk nesting sites can alter feeding and breeding patterns or result in nest or chick abandonment. Nest disturbance can also increase exposure of chicks and juveniles to inclement weather or predators. To avoid and minimize impacts to Hawaiian hawks we recommend you incorporate the following applicablemeasuresintoyourprojectdescription: If work must be conducted during the March 1 through September 30 Hawaiian hawk breeding season, have a biologist familiar with the species conduct a nest search of the project footprint and surroundingareasimmediatelypriortothestartofconstructionactivities. Pre -disturbance surveys for Hawaiian hawks are only valid for 14 days. If disturbance for the specific location does not occur within 14 days of the survey, conduct another survey. No clearing of vegetation or construction activities should occur within 1,600 feet of any active Hawaiian hawk nest during the breeding season until the young have fledged. Regardless of the time of year, trees containing a hawk nest should not be cut, as nests may be re -usedduringconsecutivebreedingseasons. Nesting Birds The Migratory Bird Treaty Act (MBTA) protects all common wild birds found in the United States except the house span -ow, starling, feral pigeon, and resident Wildlife birds such as pheasant, grouse. quail, and wild turkey. Resident Wildlife birds are managed separately by each state. The MBTA makes it unlawful for anyone to kill, capture, collect, possess, buy, sell, trade, ship, import, or export any migratory bird including feathers. parts, nests, or eggs. No avian nests or nesting activity were observed during the field survey. The trees and shrubs located within the immediate vicinity of the proposed project and utility route provide suitable avian nesting habitat. The vegetation adjacent to the proposed facility provides suitable nesting habitat for avian species. Palila Actions such as road construction and development increase human access and result in increased wildfire and invasive species threats. Grazing results in reductions in woody vegetation and increased grass cover, which reduces forest habitat quality and results in increased wildfire risk on the landscape. Avoid conducting activities within forest bird habitat that: Promote the spread or survival of invasive species. Increase mosquito populations or stagnant water habitat. Increase wildfire threat to montane forest habitats. Remove tree cover during the peak breeding season between January I and June 30. Do not approach, feed, or disturb pall la. If palila are observed within the project area, have a biologist familiar with the nesting behavior of palila survey for nests in and around the project area prior to the resumption of any work. o Cease all work immediately and contact the Service for further guidance if a palila nest is discovered within a radius of 150 ft of proposed work. EAS recommends that construction activity avoid the avian nesting season (generally year-round due to climate). Therefore, EAS recommends that a qualified biologist should perform a pre- construction clearance survey to determine the presence/absence of nesting activity onsite and in the vicinity of the project site. The survey will address impacts to nesting birds per the MBTA. If no nesting activity is observed, no further action is required. This should encompass 150 -foot radius for palila and the Hawaiian Goose nests during the January 1 and June 30 breeding season. A 1,600 feet radius for active Hawaiian Hawk nests during the peak January — September breeding season. If nesting activity is observed on or in the immediate vicinity of the project site, construction activity may proceed after the nestlings have fledged. If the facility must be installed in the vicinity of an active nest, a biological monitor will be present during all construction activity. Construction activity can be conducted at the discretion of the monitor to ensure that it does not directly or indirectly cause a nest to fail. To avoid impacts to Palila critical habitat, please incorporate the attached Biosecurity Protocols into your project plans and include in all agreements with contractors. These protocols are intended to prevent the introduction and spread of harmful invasive species and diseases on Hawaii Island. which would adversely affect listed species and the ecosystems that are essential for their survival. Risk of wildfire should be minimized during project implementation to prevent accidental spread to Palila critical habitat. Northern Long -Eared Bat (NLEB) The project is located outside of the NLEB's range. Therefore, no further action with USFWS or FCC isneeded. Based on the information provided by AT&T Mobility LLC and EAS' biological evaluation it is EAS' opinion that the proposed tower installation and associated construction will have no effect on any listedThreatenedorEndangeredspeciesordesignatedCriticalHabitats. We at EAS appreciate the opportunity to assist you on this project. Sincerely, Marlyn Leaver Project Biologist Environmental Assessment Specialists, Inc. 71 San Marino Avenue Ventura, CA 93003 Appendix A — Photographs Appendix B — U.S. Fish & Wildlife, Official Species List Appendix C —U.S. Fish and Wildlife Biosecurity Protocols Appendix D — Resume In Reply Refer To: OILPIP00-2021-SL-0026 United States Department of the Interior FISH AND WILDLIFE SERVICE Pacific Islands Fish and Wildlife Office 300 Ala Moana Boulevard, Room 3-122 Honolulu, Hawaii 96850 Mr. Martyn Leaver Environmental Assessment Specialists, Inc. 7334 S.E. Overaa Road Port Orchard, Washington, 98367 November 4. 2020 Subject: Species List for Proposed Monopine Telecommunications Tower and Facilities, Kilohana Girl Scout Camp, Hawaii Dear Mr. Leaver: The U.S. Fish and Wildlife Service (Service) received your correspondence on October 7, 2020, requesting a species list for the proposed construction of a new 100 -foot monopine telecommunications tower and associated facilities near the Saddle Road at the Kilohana Girl Scout Camp (N 19.813466, W 155.633659), on the island of Hawaii. This proposal constitutes a new project site for the previously proposed tower approximately 1.5 miles south addressed by the Service in 2019 (OIEPIF00-2019-SL-0391), which has not been built. The Kilohana Girl Scout Camp is a 6.83 acre parcel located at an elevation of approximately 5.640 feet (ft). Habitat consists of heavily disturbed grassland and sparse trees interspersed with buildings and camp facilities. AT&T proposes to construct a new 100 ft monopine telecommunications tower at the northeast corner of the Camp property. The associated equipment is to be installed within a new 28 ft 2 inch (in) x 21 ft 8 in fenced, leased area approximately 30 ft northwest of the proposed monopine tower. Approximately 50 ft of trenching will be required to supply power to the monopine and equipment shelter. Utilities will be supplied overhead from the road to a new utility pole on the north side of the lease area. We have reviewed the location you provided and pertinent information in our files, as it pertains to listed species in accordance with section 7 of the ESA. Our data indicate the following federally listed species may occur or transit through the vicinity of the proposed project area: the endangered Hawaiian hoary bat (Lasiurus cinereus semolus), Hawaiian petrel (Pterodroma INTERIOR REGION 9 COLUMBIA— PACIFIC NORTHWEST INTERIOR REGION 12 Pacific Islands Idaho. Montana*, Oregon'. Washington P\RTI AL American Samoa. Guam. I Iawai'i. Northern Mariana Islands Mr. Martyn Leaver 2 sandwwichensis), the Hawai`i Distinct Population Segment (DPS) of the band-rumped storm - petrel (Oceanodroma castro), palila (Loxioides baillieu), Blackburn's sphinx moth (Manducablackburni), and the threatened Newell's shearwater (Puffinus auricularis newelli) and Hawaiiangoose (Branta sandvicensis). The site is adjacent to designated critical habitat for palila (USFWS1977). The Hawaiian petrel, Hawaii DPS band-rumped storm -petrel, and Newell's shearwaterwillhereaftercollectivelybereferredtoas "Hawaiian seabirds". The Hawaiian hawk (Buteo solitarius), a species that was recently removed from the federal listofthreatenedandendangeredspecies, is known to occur in the area. While the Service no longerconsultsontheHawaiianhawk, this species is still protected under Hawaiian state regulationsH.R.S. §195D-4) and the Migratory Bird Treaty Act (16 U.S.C. 703-712). Please referencethoseregulationsforanyadditionalconsultationormitigationrequirements. The Service offers the following comments to assist you in your planning process so that impactstotrustresourcescanbeavoidedthroughsitepreparationandconstruction. This letter has been prepared under the authority of, and in accordance with, provisions of the Endangered SpeciesActof1973 (16 U.S.C. 1531 et seg.) as amended (ESA). Hawaiian hoary bat The Hawaiian hoary bat roosts in woody vegetation across all islands and will leave their youngunattendedintreesandshrubswhentheyforage. If trees or shrubs 15 ft or taller are cleared during the pupping season, June 1 through September 15, there is a risk that young bats couldinadvertentlybeharmedorkilled, since they are too young to fly or move away fromdisturbance. Hawaiian hoary bats forage for insects from as low as 3 ft to higher than 500 ft above the ground and can become entangled in barbed wire used for fencing. To avoid and minimize impacts to the endangered Hawaiian hoary bat we recommend youincorporatethefollowingapplicablemeasuresintoyourprojectdescription: Do not disturb, remove, or trim woody plants greater than 15 ft tall during the bat birthingandpuprearingseason (June 1 through September 15). Do not use barbed wire for fencing. Hawaiian seabirds Hawaiian seabirds may traverse the project area at night during the breeding, nesting andfledgingseasons (March 1 to December 15). Outdoor lighting could result in seabird disorientation, fallout, and injury or mortality. Seabirds are attracted to lights and after circlingthelightstheymaybecomeexhaustedandcollidewithnearbywires, buildings, or other structures or they may land on the ground. Downed seabirds are subject to increased mortalityduetocollisionwithautomobiles, starvation, and predation by dogs, cats, and other predators. Young birds (fledglings) traversing the project area between September 15 and December 15, intheirfirstflightsfromtheirmountainneststothesea, are particularly vulnerable to lightattraction. To avoid and minimize potential project impacts to seabirds we recommend you incorporate thefollowingmeasuresintoyourprojectdescription: Fully shield all outdoor lights so the bulb can only be seen from below. Mr. Martyn Leaver 3 Install automatic motion sensor switches and controls on all outdoor lights or turn off lights when human activity is not occurring in the lighted area. Avoid nighttime construction during the seabird fledging period, September 15 through December 15. Listed seabirds have been documented colliding with communication towers. particularly in areas of high seabird passage rate. In general, self-supporting monopoles are the least likely to result in collisions, whereas lattice towers, particularly those that rely on guy -wires, have a greater risk. To avoid and minimize the likelihood that towers will result in collisions by listed seabirds we recommend you incorporate the following measures into your project description: The profile of the tower should be as small as possible, minimize the extent of the tower that protrudes above the surrounding vegetation layer, and avoid the use of guywires. If the top of the tower must be lit to comply with Federal Aviation Administration regulations, use a flashing red light verses a steady -beam red or white light. If possible, co -locate with existing towers or facilities. Hawaiian Goose Nene are found on the islands of Hawai`i, Maui, Moloka`i, and Kaua`i. They are observed in a variety of habitats, but prefer open areas, such as pastures, golf courses, wetlands, natural grasslands and shrublands, and lava flows. Threats to the species include introduced mammalian and avian predators, wind facilities. and vehicle strikes. To avoid and minimize potential project impacts to nene we recommend you incorporate the following measures into your project description: Do not approach. feed, or disturb nene. If nene are observed loafing or foraging within the project area during the breeding season (September through April), have a biologist familiar with nene nesting behavior survey for nests in and around the project area prior to the resumption of any work. Repeat surveys after any subsequent delay of work of 3 or more days (during which the birds may attempt to nest). Cease all work immediately and contact the Service for further guidance if a nest is discovered within a radius of 150 ft of proposed project, or a previously undiscovered nest is found within the 150 ft radius after work begins. In areas where nene are known to be present, post and implement reduced speed limits, and inform project personnel and contractors about the presence of endangered species on-site. Palila Hawaiian forest birds' current ranges are predominately restricted to montane forests above 3,500 ft in elevation due to habitat loss and threats at lower elevations. Hawaiian forest bird habitat has been lost due to development. agriculture, grazing, wildfire, and spread of invasive habitat -altering species. Forest birds are also affected by mosquito -borne diseases. Mosquitoes are not native to Hawaii; their occurrence increases in areas where ungulate presence results in small pools of standing water. Actions such as road construction and development increase Mr. Martyn Leaver 4 human access and result in increased wildfire and invasive specks threats. Grazing results in reductions in woody vegetation and increased grass cover, which reduces forest habitat qualityandresultsinincreasedwildfireriskonthelandscape. Palila require Saphora chrysophylla/Myoporum sandwicense (mamane/naio) forest to nest andfeed. Avoid conducting activities within forest bird habitat that: Promote the spread or survival of invasive species. Increase mosquito populations or stagnant water habitat. Increase wildfire threat to montane forest habitats. Remove tree cover during the peak breeding season between January I and June30. Do not approach, feed, or disturb palila. If palila are observed within the project area, have a biologist familiar with the nesting behavior of palila survey for nests in and around the project arca prior to the resumption of any work. o Cease all work immediately and contact the Service for further guidance if a palila nest is discovered within a radius of 150 ft of proposed work. Palila Critical Habitat The Kilohana Girl Scout Camp is adjacent to designated critical habitat for palila (USFWS 1977). The critical habitat abuts the Camp property along the length of its eastern boundary andisjusteastacrosstheSaddleRoadfromtheproposedtowerdevelopmentsite. To avoid impacts to Palila critical habitat, please incorporate the attached Biosecurity Protocolsintoyourprojectplansandincludeinallagreementswithcontractors. These protocols are intended to prevent the introduction and spread of harmful invasive species and diseases on Hawaii Island, which would adversely affect listed species and the ecosystems that are essential for their survival. Risk of wildfire should be minimized during project implementation to preventaccidentalspreadtoPalilacriticalhabitat. Blackburn's sphinx moth The adult Blackburn's sphinx moth feeds on nectar from native plants, including Ipomoea pes- caprae (beach morning glory), Plumhago zeylanica (`ilie`e), Capparis sandwichiana (maiapilo), and others. Blackburn's sphinx moth larvae feed on non-native tree tobacco (Nicotiana glauca) and native Nothocestrum spp. (`aiea). To pupate, the larvae burrow into the soil and can remain in a state of torpor for a year or more before emerging from the soil. Soil disturbance can resultindeathofthepupae. We offer the following survey recommendations to assess whether the Blackburn's sphinx moth occurs within the project area: A biologist familiar with the species should survey areas of proposed activities forBlackburn's sphinx moth and its larval host plants prior to work initiation. Mr. Martyn Leaver 5 o Surveys should be conducted during the wettest portion of the year (usually November -April or several weeks after a significant rain) and within 4-6 weeks prior to construction. o Surveys should include searches for adults, eggs, larvae, and signs of larval feeding (chewed stems, frass, or leaf damage). o If moths, eggs. larvae, or native `aiea or tree tobacco over 3 feet tall. are found during the survey, please contact the Service for additional guidance to avoid impacts to this species. If no Blackburn's sphinx moth, `aiea, or tree tobacco are found during surveys, it is imperative that measures be taken to avoid attraction of Blackburn's sphinx moth to the project location and prohibit tree tobacco from entering the site. Tree tobacco can grow greater than 3 ft tall in approximately 6 weeks. If it grows over 3 feet, the plants may become a host plant for Blackburn's sphinx moth. We therefore recommend that you: Remove any tree tobacco less than 3 feet tall. Monitor the site every 4-6 weeks for new tree tobacco growth before, during, and after the proposed ground -disturbing activity. o Monitoring for tree tobacco can be completed by any staff, such as groundskeeper or regular maintenance crew, provided with picture placards of tree tobacco at different life stages. Compliance with the ESA If this potential project should receive federal funding, federal permits, or any federal authorization. it will require a Section 7 consultation with the Service. The Service only conducts Section 7 consultations with the federal action agency or their designated representative. If there is no federal action agency, but take of listed species cannot be fully avoided, further coordination with us pursuant to ESA compliance is necessary. Thank you for participating with us in the protection of our endangered species. If you have any further questions or concerns regarding this consultation. please contact Melissa Cady. Fish and Wildlife Biologist, 808-933-6963, email: melissa_cady i fws.goc. When referring to this project, please include this reference number: 01 EPIF00-2021-TA-0026. Sincerely, Digitally signedAaronbyAaronNadig Date: Nadig 2020.11.04 13:13:53 -10'00' Island Team Manager Pacific Island Fish and Wildlife Office Enclosures (1): Biosecurity Protocols for the Island of Hawaii Mr. Martyn Leaver 6 Literature Cited USFWS. 1977. Endangered and Threatened Wildlife and Plants; Determination of Critical Habitat for Six Endangered Species. Federal Register 42(155): 40685-40690. Mr. Martyn Leaver BIOSECURTY PROTOCOL — HAWAI`I ISLAND The following biosecurity protocol (based on National Park Service, State of Hawaii_ U.S. Fish and Wildlife, U.S. Geological Survey, and the DOI Office of Native Hawaiian Relations guidance) should be followed when operating on Hawaii Island to prevent the introduction of harmful invasive species including frogs, ants, weeds. and fungi into local natural areas (e.g. Hawai `i Volcanoes National Park, Hakalau Forest National Wildlife Refuge, State of Hawai `i Natural Areas") and areas with native habitat (habitat that is primarily composed of native vegetation). other islands in Hawaiian archipelago, or the U.S. mainland. The protocol also includes suggestions for keeping field staff safe from certain invasive species. 1. All work vehicles, machinery, and equipment should be cleaned, inspected by its user, and found free of mud, dirt, debris and invasive species prior to entry into the natural areas or native habitat. a. Vehicles, machinery, and equipment must be thoroughly pressure washed in a designated cleaning area and visibly free of mud, dirt, plant debris. insects, frogs including frog eggs) and other vertebrate species such as rats, mice and non - vegetative debris. A hot water wash is preferred. Areas of particular concern include bumpers, grills, hood compartments, areas under the battery, wheel wells, undercarriage. cabs, and truck beds (truck beds with accumulated material intentionally placed or fallen from trees) are prime sites for hitchhikers). b. The interior and exterior of vehicles, machinery, and equipment must be free of rubbish and food. The interiors of vehicles and the cabs of machinery must be vacuumed clean. Floor mats shall be sanitized with a solution of >70% isopropyl alcohol or a freshly mixed 10% bleach solution. c. Any machinery, vehicles, equipment, or other supplies found to be infested with ants (or other invasive species) must not enter natural areas or native habitat. Treatment is the responsibility of the equipment or vehicle owner and operator. 2. Little Fire Ants — All work vehicles, machinery, and equipment should be inspected for invasive ants prior to entering the natural areas or native habitat. a. A visual inspection for little fire ants should be conducted prior to entry into natural areas or native habitat. b. Hygiene is paramount but even the cleanest vehicle can pick up a little fire ant. Place MaxForce Complete Brand Granular Insect Bait (1.0% Hydramethylnon; http:L'Iittletireants.corn/Maxtbrce%20Comulete.pol) into refillable tamper resistant bait stations. An example of a commercially available refillable tamper resistant bait station is the Ant Cafe Pro (httos://www.antcafe.com; ). Place a bait station (or stations) in vehicle. Note larger vehicles, such as trucks, may require multiple stations. Monitor bait stations frequently (every week at a minimum) and replace bait as needed. If the station does not have a sticker to identify the contents. apply a sticker listing contents to the station. Mr. Martyn Leaver 8 c. Any machinery, vehicles, equipment, or other supplies found to be infested with ants (or other invasive species) must not enter natural areas or native habitat until it is sanitized and re -tested following a resting period. Infested vehicles must be sanitized following recommendations by the Hawaii Ant Lab httn://www.littlefireants.cont/) or other ant control expert and in accordance with all State and Federal laws. Treatment is the responsibility of the equipment or vehicle owner. d. Gravel, building materials, or other equipment such as portable buildings should be baited using MaxForce Complete Brand Granular Insect Bait (1.0% Hydramethylnon• http://littlefireants.com/Maxforce%2oComplete.pdt) or AmdroPro (0.73% Hydramethylnon; http://littlefireants.com/Amdro%2oPro.pdf) following label guidance. e. Storage areas that hold field tools. especially tents. tarps. and clothing should be baited using MaxForce Complete Brand Granular Insect Bait (1.0% Hydramethylnon; htto://littlefireants.com/Maxforce%20Complete.pdf) or AmdroPro (0.73% Hydramethylnon; http://littlefireants.com/Amdro%2opro.pdf) following label guidance. 3. Base yards and staging areas inside and outside areas must be kept free of invasive species. a. Base yards and staging areas should be inspected at least weekly for invasive species and any found invasive removed immediately. Pay particular attention to where vehicles are parked overnight, keeping areas within 10 -meters of vehicles free of debris. Parking on pavement and not under trees, while not always practical is best. b. Project vehicles or equipment stored outside of a base yard or staging area, such as a private residence, should be kept in a pest free area. 4. All cutting tools must be sanitized to prevent the Rapid `Ohi`a Death (ROD) fungus. a. Avoid wounding `bhi`a trees and roots with mowers, chainsaws, weed eaters, and other tools. Cut only the minimum amount of trees and branches as approved for the project. b. All cutting tools, including machetes, chainsaws, and toppers must be sanitized to remove visible dirt and other contaminants prior to entry into natural areas or areas with native habitat, and when moving to a new project area within the native habitat area. Tools may be sanitized using a solution of >70% isopropyl alcohol or a freshly mixed 10% bleach solution. One minute after sanitizing, you may apply an oil based lubricant to chainsaw chains or other metallic parts to prevent corrosion. c. Only dedicated tools and chainsaws should be used to sample known or suspected ROD infected trees. Mr. Martyn Leaver 9 d. Vehicles, machinery. and equipment must be cleaned as described in (1) above. 5. Imported firewood, logs, and `bhi`a parts: a. `Ohi`a firewood, `bhi`a logs, and `bhi`a parts should not be transported. 6. For individuals working in the field: a. Before going into the field, visually inspect and clean your clothes. boots, pack, radio harness, tools and other personal gear and equipment, for seeds, soil, plant parts, insects. and other debris. A small brush is handy for cleaning boots. equipment and gear. Soles of shoes should be sanitized using a solution of>70% isopropyl alcohol or a freshly mixed 10% bleach solution. b. Immediately before leaving the field. visually inspect and clean your clothes, boots, pack, radio harness, tools, and other personnel gear and equipment, for seeds, soil, plant parts, insects, and other debris. Soles of shoes should be sanitized using a solution of >70% isopropyl alcohol or a freshly mixed 10% bleach solution. c. Little fire ants nest in trees. If you are under a tree and that tree is bumped or somehow stressed, the threat response of the ants is to fall from the leaves and sting the person under the tree. If you are subject to an ant attack, do not panic. The ants are extremely small but their stings are painful so make sure you remove all ants from your body and clothing. The stings cause inch long welts that are itchy and painful. and can last for weeks. Treat stings as you would other insect stings. In some persons stings can produce life threatening reactions. Stockingantihistamineinthefirstaidkitisareasonableprecaution. d. Rat Lungworm disease is caused by a parasite that can infect humans who consume raw or undercooked infected snails or slugs or consume raw produce that contains a small infected snail or slug. Infection is rare but can be serious. Symptoms can include severe headache, neck stiffness, low grade fever, nausea, and vomiting anywhere from 1-6 weeks after exposure. The disease is not spread person to person. Anyone who handles snails or slugs should wear gloves and/or wash hands. Eating unwashed produce is discouraged. AT&T Mobility Saddle Road 3/HIL03359 Project location, view to the west. view to the north. C Ci AT&T Mobility Saddle Road 3/HIL03359 view to the south. view to the east. AT&T Mobility Saddle Road 3/1-11L03359 ijt(0•;... . View plane to the south View to the north. C C C AT&T Mobility Saddle Road 3/HIL03359 View plane to the east View plane to the west MARTYN LEAVER PROFESSIONAL HISTORY Environmental Assessment Specialists Project Manager Biologist EDUCATION B.A., Biological Sciences, University of Missouri, Kansas City. School of Biological Sciences BIOLOGIST PROJECT MANAGER Mi. Leaver is a Biologist, Graduated from University of Missouri, school of biological sciences. He has inventoried both plant and wildlife in Missouri, and consulted on Biological projects in California. Mr. Leaver has performed and managed Environmental Assessments and Investigations for the past 5 years. Mr. Leaver has extensive knowledge of the National Environmental Policy .Act (NEPA) and National Historic Preservation Action Section 106 requirements for the FCC wireless industry. Mr. Leaver has also been involved in the Consultation with Native American Tribes regarding Telecommunicadons projects in California. PROFESSIONAL EXPERIENCE Provided QA/QC review of environmental reports including NEPA environmental screens, cultural resource surveys, arehitecruni historian surveys, view shed surveys, and biological assessments. Managed environmental vendors for EAS West Region California) and Northwest Region (Washington). Participated in tracing source of E.coli contamination, in rhe Brush Crack Flood Control Project, Kansas City, Missouri. Researched the effects of river bank construction on resident beaver populations along the Missouri River. Conducted fish population survey on Blue Springs Creek, Blue Springs, Missouri. Performed Biological resource investigations with Database searches using the California Natural Diversity Database, for light industrial, telecommunications, commercial facilities, residential developments and vacant parcels. DEPARTMENT OF HOMELAND SECURITY FEDERAL EMERGENCY MANAGEMENT AGENCY STANDARD FLOOD DETERMINATION FORM (SFHDF) CustlD'. 88309 CoslCir: OMB Control No. 1660-0040 Expires 10/31/18 SECTION I 1 LENDER/SERVICER NAME AND ADDRESS Y cNVIRONMENTAL ASSESSMENT SPECIALISTS 71 SAN MARINO AVENUE VENTURA. CA 93003 2 COLLATERAL DESCRIPTIO (Building/Mobile Home/Property) (See i structipns for more Information) 44-6800 DANIEL K. INOUYE HIGHWAY KAMUELA. HI 96743-0000 3. LENDER/SERVICER ID It 4. LOAN IDENTIFIER HIL03359 5 AMOUNT OF FLOOD INSURANCE REQUIRED SECTION II A. NATIONAL FLOOD INSURANCE PROGRAM (NFIP) COMMUNITY JURISDICTION 1. NFIP Community Name HAWAII COUNTY 2. County(ies) UNINCORPORATED AREAS 3 State HI 4 NFIP Community Number155166 B. NATIONAL FLOOD INSURANCE PROGRAM (NFIP) DATA AFFECTING BUILDING / MOBILE HOME 1. NFIP Map Number or Community-Panel Number Community name, if not the same as "K) 155166 0575F 2 NFIP Map Panel Effective/ Revised Date0929/2017 3. Is there a Letter of a Ma Change k NO f y d LOMC date/no. Is available, below). Date: LOMC)? VES enter date and case no. Case No. 4. Flood Zone S. NO NFIP Map C. FEDERAL FLOOD INSURANCE AVAILABILITY(check all that pply) 1 Ei Federal Flood insurance is available (community participates in NFIP). O Regular Program 0 Emergency Program of NFIP 2. Federal Flood insurance is not available because community is not participating in the NFIP 3 Building/Mobile home Is in a Coastal Barrier Resources Area (CERA) or Otherwise Protected Area (OPA), Federal Flood insurance may not be available. CBRA/OPA designation date: D. DETERMINATION IS BUILDINGIMOBILE HOME IN SPECIAL FLOOD HAZARD AREA YES ©NOZONESCONTAININGTHELETTERS' A" OR "V")7 If yes, flood insurance is required by the Flood Disaster Protection Act of 1973. If no, flood insurance Is not required by the Flood Disaster Protection Act of 1973 Please note. the risk of flooding in this area is only reduced, not removed. E. COMMENTS (optional). Request ate 09/11/2020 Service Type: Single Determination Additional Loan ID. Requested By. ENVIRONMENTAL ASSESSMENT SPECIALISTS Input Address: 44-6800 DANIEL K. INOUYE HIGH WAV, KAMUELA, HI 967430000 HMDA Information: MSA/MD Code: N/A State' 15 County. 001 Census Tract 0220.00 Text: 1948' 48.54" N, 155 38' 00.61" W This flood determination Is provided solely for the use and benefit of the entity named In Section 1, Box 1 In order to comply wIh the 1994 Reform Act and may not be used for or relied upon by any other entity or individual for any purpose, Including, but not limited to deciding whether to purchase a property or determining the value of a property. This determination is based on examining the NFIP map, any Federal Emergency Management Agency revisions to it, an any other information needed to locate the building/mobile home on the NFIP map. F. PREPARERS INFORMATION Certificate: 74533788-0001 Name, address, telephone number (If other than Lender). DATE OF DETERMINATION L E LERETA, LLC 901 Corporate Center Drive T A Pomona, CA 91768 800-676-1430 09/11/2020 Certificate No: 74533788 Request Date: 09/10/2020 Completion Date: 09/10/2020 200 200 200 Irlaief v FIRM STATUS: ALL ZONE X NO PUBLISHED FIRM This a en olecbal copy of a portion or IBC aux.e reletenCM hood map. Iman extracted using F.MIT On Line This mop does not report Changesotamendmentswhishmayhovebeenmadesuloepuenitothedoteonthebtkblock. For the 1.akat product inlormahon about llotron.al Flood Insurance P,npi.am 1100.1m op% flinch the f(MAflood Mau Store at wxw.msc.rema.gov 55° 38' 00.61" W Flood Zone: Zone X Comm Number: 155166 Map Panel: 1551660575F Comm Name: Hawaii County, HI MnOVE•tea Mlle January 11, 2021 STATE OF HAWAII DEPARTMENT Of LAND AND NATURAL RESOURCES STATE EISIURK PRE¢$VATIONDIVSION 1IGnIMEWABUDDING 601 KAAf0RRABLVD.. STE 555 F.APOLU. HI 96707 Loma BillN, Archaeologist - RPA Environmental Assessment Specialists, Ire EmiroWest 71 San Marino Avenue Ventura, CA 93003 lom>(@lmvcnaesdlemm Dear Ma Bdhat MIAMI a CUM KimitOP x. wau aurn ao atIIvas 111. W W1 aIIWIa SCUaltMUMS la Mena: ble•Fail Libta Ye.4111"i sit- '—OaYLatt we IN REPLY REFER TO: ProjectNa 2020PR35012 LagNo. 2020.02905 Doe No. 2101D806 Archaeology SUBJECT Chapter 6E-42 and Nation/ !Brink Preservation Act (NhIPA) Section 106 Review - Aegoest for Concurrence with "fro Historic Properties Affected^ EAS Project: AT&T Mobility -Saddle Road 3/HIIA3359 44-6800 Daniel K Inouye Mears, Sasr % Hawaii 96743 Keole Akoona's, Humane District, Had of Hawaii TMK (3) 4-4-015:005 This It provides the State Historic Preservation Mission's (SHPD's) review of the subject AT&T Mobility ecomromicatian facility project which was sdamledbyEAS, Inc. as behalf ofAT&T Mobility. SHPD received the msbmitbl on November 25, 2020. The snbmital indicates the project s subject to historic psesenatim review m accordance with both Section 106 of the National historic Preservartoa Act (NHPA) and Hawaii Revised Stamps MRS) Chapter 6E42. The submittal mended the following X ] X ] X ] X ] X1 Lena from EAS. Ise recasting historic paesavatm review and the State Historic Aestivation Officer's SHPO's) room with the effect daamioatims on behalf ofFCC / AT&T Mobility FCC Form 621 TMR Map. Pew Sec and Photographs HRS 6E Submittal and Filing Fee Four Cultural Rewmce Assessment Report Historic Prnpones Review and Assessment to Aaonpm0 FCC Wire/ass Tebmmwmluwrious Brave Calla arieov Stinaissio, Pocket (FCC From 620), far the Prcpasd AT&T Mobility Saddle Road 30111.03359. Nov Wireless Comminications Tone Anent. Ka'ohe Ahnpe a Hsill a District, Eland ofHaat i TAIL (3) 4-4-015:005 (ASM Affiliates, November 2020) Project Desaiptim: Project area/APE comprises a 2,000 -sq -ft. portion of the 6.575 -acre property. The project trains the castration ofa new AT&T wireless telecoms/Stations facility to include collocation ofantemas on a one proposed 100 -R. - tad monopole in the northeastern comm of the Rllohana Girl Scold property. Project work and trod distmbmg activities i 4aAs the constructs of a 610 -sq-& equipment lease area in a fenced compound which will inchade AT&T cabinets. Underground electrical aul fiber optic lines will be installed m a trench (within the 12 -ft -wide nhlty easement) that will extend from the commmxistions to across a distance of app uzimnly 32 fi hi the prefabricated equipment sprite and will extend several het deep. Vegdation within and net the project area/APE Ms. Loma Billet January 11, 2021 Page 2 consist of grassland and sLmbland that has been disturbed by human activity, including fountain grass, Sreweed, ironwood bees and other plats. The specific project work on the lowerhuteana imdndes the installation oftwelve AT&T panel antennas, 36 AT&T radio receiving units (ARVs), six DC9-4&60-24-8C-EV sage suppressaas, and me GPS antenna Other equipmenttobeinstalledincludesa6 -11. -tall chaain-1ark tee with privacy slats, one prefabricated equipment shelter, medieselback-up gemztor, one 200A AC power panel, one Emerson pons plant rack with twelve batteries, twohybridracks, one H -Sane with utility equipment, one cable bridge, power and fiber cable beaks, one transformer, and three DCI2-48-60-RM surge suppressors. Findings. ASM Affiliates (November 2020) conducted binary and archival records march the SHPD ant/Wray, whichincludedidentificationofhrsbncpropertieslistedontheHawaiiand/or National Register ofHWonc Plies withintheprojectarea/APE and a 0.5 -mile radius surrounding the project area/APE. This review identified four waviness archaeological studies (langlas et al 1999: McElroy and Dobayionsod 2018; Roberti et aL 2004; and Robins et al20071. and five previously recorded historic properties assessed as •ipiit r.ot under HAS 6E (Stave memory ofHistoricPlaces (SHIP) #50-10-21-23490 (enrlosund; SHIP *50-10-21-23473 [mound complex]; GANDA temporary sib& *GIS 913 Lmoomd]; SHIP #50-10-21-23488 [mound site; and SHIP #50-10-21-30631 (bissnic firering]. Although the Radian Girl Scout Camp parcel might be c.mide ed a historic edMcElroyandDnhaylonsod (2018) study did not identify it as such In papally, inspection the s of theecrepectaddition, a field imspedtion of project area/APE was conducted on September 15, 2020, coexisting of a 100% surface smnaey. No subsurface testing was conducted within the project a ta'APE doe to the limited seal and rocky condition of the ground surface, as well as the menthe results of the prelims subsurface tesimg conducted by McElroy, andDohaylaosod (2018). No historic pwperyes were observed or doc®mb&d diving the background research or fieldinspectionwithinprojectaura./APE, and although several sites were identified within the O.5-mle search area, nonewerelistedordeterminedeligiblefurlistingintheHawaiiorNationalRegisterofHistoricPlaca The project area/APE is located within the Waimea -Kemple complex, 2 to 20 percent slopes (883), canes -ling ofticash, sand, and cinders. Based on precious archaeological studies of the sunou ding area, the laud -usehistory, previous dislmbance within the project arealAPE, and the rocky ground conditions with little soilaccumulation, limited to lowpotential exists for historic properties, to be pined Q,l,.,..a;,,.e_ Concnnencce= The SHED eon, withdele oftbibsoatiePmpelis Affectedparson k HAA§11-2E47(a(1). The SEM %man rawait denomination ofro hiweviapopwrfai eaupursuant to36 CPR8OOA(dx1). Please crated David Buckley, Kaua'i Lead Archaeologist, at (808) 462-3225 or at David any goestiom or concerns regarding this letter. Bw.11eS'havraiigoti• for Alm &whef- Alan S. Downer, PhD Adn inisbator, Slate Historic PreservatioaDivision Deputy State atonic Preservation Officer ScottBillet, EAS, scottrrfem-uarestic.com Barbara L Lee DLNA, barba aj.leera.21,awai: gov Colleen Thompson, AT&T Mobility, cn7512aatt.com JeffRawer, AT&T Mobility, ir837Q1attcam Bryce Novak, 15 Infrastructure Partners bmorakroiSincom New Tower ("NT") Submission Packet FCC FORM 620 SITE NUMBER/NAME: HIL03359 / SADDLE ROAD 3 SITE ADDRESS: 44-6800 Daniel K. Inouye Hwv Kamuela, HI 96743 FA Code: 12716303 TMK: (3) 4-4-015:005 25 November 2020 Submitted by EAS Environmental Assessment Specialists, Inc. 71 San Marino Avenue Ventura, CA 93003 Office (805) 650-0949 Applicant's Name: AT&T Mobility, LLC Project Name: Saddle Road 3 Project Number: HIL03359 FCC Form 620 January 2005 FCC Form 620 Notification Date: 7AM EST 11/27/2020 File Number: 0009311304 FCC Wireless Telecommunications Bureau New Tower ("NT") Submission Packet General Information Approved by OMB 3060 -1039 See instructions for public burden estimates 1) (Select only one) ( NE ) NE - New UA - Update of Application WD- Withdrawal of Application 2) If this application is for an Update or Withdrawal, enter the Me number of the pending applicationcurrentlyonfile. File Number: Applicant Information 3) FCC Registration Number (FRN) 0004979233 4) Name: AT&T Mobility, LLC Contact Name 5) First Name. Colleen 6) MI B 7) Last Name: Thompson 8) Suffix. 9) Title: Director, Federal Regulatory Contact Information Consultant Information 18) FCC Registration Number (FRN): 0023790918 19) Name. EnviroWest LLC (on behalf of EAS) Principal Investigator 20) First Name_ Scott 21) MI: 22) Last Name: Billat 23) Suffix: 24) Tale. Principal Investigator Principal Investigator Contact Information 25) P.O. Box: Anor d 26) Street Address: 330 S Woodland Hills DriveI 27) City: Woodland Hills 28) State: UT 29) Zip Code: 84653 30) Telephone Number: (801)609-7999 31)FaxN mber. (801)771-2838 32) E-mail Address: lorna@envirowestlic.com I of 11 FCC Form 620 May 2014 10) P.O. Box: 0 d 11) Street Address: 1120 20th St NW 12) City: Washington, D.C. 13) State: DC 14) Zip Code: 20036-3408 15) Telephone Number: (202)457-3020 16) Fax Number: 17) E-mail Address: cm7512@att.corn Consultant Information 18) FCC Registration Number (FRN): 0023790918 19) Name. EnviroWest LLC (on behalf of EAS) Principal Investigator 20) First Name_ Scott 21) MI: 22) Last Name: Billat 23) Suffix: 24) Tale. Principal Investigator Principal Investigator Contact Information 25) P.O. Box: Anord 26) Street Address: 330 S Woodland Hills DriveI 27) City: Woodland Hills 28) State: UT 29) Zip Code: 84653 30) Telephone Number: (801)609-7999 31)FaxN mber. (801)771-2838 32) E-mail Address: lorna@envirowestlic.com I of 11 FCC Form 620 May 2014 Professional Qualification 33) Does the Principal Investigator satisfy the Secretary of the Interiors Professional Qualification Standards? x ) YYes ( Ino 34) Areas of Professional Qualification: X ) Archaeologist Architectural Historian Historian Architect Other (Specify) Additional Staff 35) Are there other staff involved who meet the Professional Qualification Standards of the Secretary of the Interior? x)_Yes ( )No If "YES," complete the following: 36) First Name: Benjamin 37) MI: 38) Last Name: Barna 9) Suffix: 40) Title: 41) Areas of Professional Qualification: X ) Archaeologist Architectural Historian Historian Architect Other (Specify) 2 of II FCC Form 620 May 2014 Tower Construction Notification System Site Information 1) TCNS Notification Number 218814 Site Information Tower Information 13) Tower height above ground level (include top -mounted attachments such as lightning rods): 30.5 Feet ( X) Meters 14) Tower Type (Select One} Guyed lattice tower Self-supporting lattice X ) Monopole Other (Describe): Project Status 15) Current Project Status (Select One): X ) Construction has not yet commenced Construction has commenced, but is not completed Construction commenced on: Construction has been completed Construction commenced on: Construction completed on: 3 of 11 FCC Form 620 May 2014 2) Positive Train Control Filing Subjectto Expedited Treatment Under Program Comment: ( ) yes ( X No 3) Site Name: HIL03359/Saddle Road 3 4) Site Address: 44-6800 Daniel K. Inouye Hwy (3) 4-4-015:005 5) Detailed Description of Project: Proposed 100 -ft tall monopine outside a proposed 28 -ft by 22 -ft enclosure for equipment. I 6) City: Kamuela 7) State HI l 8) Zip Code. 96743 9) County/Borough/Parish. HAWAII 10) Nearest Crossroads: Saddle Road 11) NAD 83 Latitude (DD -MM -SSS): 19-48-48.5 ( X Nor( )S 12) NAD 83 Longitude (DD-MM-SS.S): 155-38-00.6 ( Ear( X ) W Tower Information 13) Tower height above ground level (include top -mounted attachments such as lightning rods): 30.5 Feet ( X) Meters 14) Tower Type (Select One} Guyed lattice tower Self-supporting lattice X ) Monopole Other (Describe): Project Status 15) Current Project Status (Select One): X ) Construction has not yet commenced Construction has commenced, but is not completed Construction commenced on: Construction has been completed Construction commenced on: Construction completed on: 3 of 11 FCC Form 620 May 2014 Determination of Effect 14) Direct Effects (Select One): X ) No Historic Properties in Area of Potential Effects (APE) No Effect on Historic Properties in APE No Adverse Effect on Historic Properties in APE Adverse Effect on one or more Historic Properties in APE 15) Visual Effects (Select One): No Historic Properties in Area of Potential Effects (APE) X ) Na Effect on Historic Properties in APE No Adverse Effect on Historic Properties in APE Adverse Effect on one or more Historic Properties in APE 4 of I FCC Form 620 May 2014 Tribal/NHO Involvement 1) Have Indian Tribes or Native Hawaiian Organizations (NHOs) been identified that may attach religious and culturalsignificancetohistoricpropertieswhichmaybeaffectedbytheundertakingwithintheAPEsfordirectandvisualeffects? X )Yes ( )No 2a) Tribes/NHO5 contacted through TCNS Notification Number' 218814 2b) Tribes/NHOs contacted through an alternate system' Number of Tribes/NHOs' 1 Number of Tribes/NHOs: 0 Tribe/NHO Contacted Through TCNS 3) Tribe/NHO FRN: 4) Tribe/NHO Name' Office of Hawaiian Affairs Contact Name 5) First Name. Anita 6) MI' C 7) Last Name: Manzano 8) Suffix: 9)Title Compliance Enforcement Dates & Response 10) Date Contacted 09/10/2020 No Reply Replied/No Interest Replied/Have Interest Replied/Other 11) Date Replied of 11 FCC Form 620 May 2014 Other Tribes/NHOs Contacted Tribe/NHO Information 1) FCC Registration Number (FRN)'. 2) Name: Contact Name 3) First Name: 4) MI: 5) Last Name: 6) Suffix: 7) Title: Contact Information 8) P.O. Box: Ortl 9) Street Address: 10) City: 11) State: 12) Zip Code: 13) Telephone Number: 14) Fax Number: 15) E-mail Address: 16) Preferred means of communication: E-mail Letter Both Dates & Response 17) Date Contacted No Reply Replied/No Interest Replied/Have Interest I Replied/Other 18) Date Replied 6 of 11 FCC Form 620 May 2014 Properties Identified Historic Properties 1) Have any historic properties been identified within the APEs for direct and visual effect? X Yes ( No 2) Has the identification process located archaeological materials that would be directly affected, or sites that are ofculturalorreligioussignificancetoTribes/NHOs? Yes (X Nc 3) Are there more than 10 historic properties within the APEs for direct and visual effect? If "Yes', you are required to attach a Cultural Resources Report in lieu of adding the Historic Property below. Yes ( X No Yes ( No Historic Pronem 4) Property Name: 5) SHPO Site Number: Property Address 6) Street Address: 7) City: 8) State: 9) Zio Code: 10) County/Borough/Parish: Status 8 Eligibilit 14) Direct Effects (Select One) No Effect on this Historic Property in APE No Adverse Effect on this Historic Property in APE Adverse Effect on this Historic Property in APE 15) Visual Effects (Select One): No Effect on this Historic Property in APE No Adverse Effect on this Historic Property in APE Adverse Effect on this Historic Property in APE 7 of II FCC Form 620 May 2014 11) Is this property listed on the National Register? Source: I yes ( No 12) Is this property eligible for listing an the National Register? Source: Yes ( No 13) Is this property a National Historic Landmark? Yes ( No 14) Direct Effects (Select One) No Effect on this Historic Property in APE No Adverse Effect on this Historic Property in APE Adverse Effect on this Historic Property in APE 15) Visual Effects (Select One): No Effect on this Historic Property in APE No Adverse Effect on this Historic Property in APE Adverse Effect on this Historic Property in APE 7 of II FCC Form 620 May 2014 Local Government Involvement Local Government Agency 1) FCC Registration Number (FRN): 2) Name: Hawaii County Planning Department Contact Name 3) First Name: Planner 4) MI: 5) Last Name: Planner 6) Suffix. 7) Title: Contact Information 8) P.O. Box: Oa 9) Street Address: 101 Pauahl St eet, Suite 3 10) City: Hilo 11) State: HI 12) Zip Code: 96720 13) Telephone Number: (808)961-8288 14) Fax N mber: 15) E-mail Address: planning@hawaiicounty.gov 16) Preferred means of communication: X ) E-mail Letter Both Dates 8 Response 17) Date Contacted 11/25/2020 X ) No Reply Replied/No Interest Replied/Have Interest Replied/Other 18) Date Replied Additional Information 19) Information on local governments role or interest (optiona0: El ofII FCC Form 620 May 2014 Other Consulting Parties Contacted Other Consulting Parties 1) Has any other agency been contacted and invited to become a consulting party' Yes(X)No Consulting Party 2) FCC Registration Number (FRN): 3) Name. Contact Name 4) First Name: 5) MI: 6) Last Name: 7) Suffix 8) Title: Contact Information Dates 8 Response 18) Oate Contacted No Reply Replied/No Interest Replied/Have Interest Replied/Other 19) Date Replied Additional Information 20) Information on other consulting parties' role or interest (optional): 9 of II FCC Form 620 May 2016 9) P.O. Bon rd 10) Street Address: 11) City: 12) State: 13) Zip Code: 14) Telephone Number: 15) Fax N mber: 16) E-mail Address: 17) Preferred means of communication: E-mail Letter 1 )Both Dates 8 Response 18) Oate Contacted No Reply Replied/No Interest Replied/Have Interest Replied/Other 19) Date Replied Additional Information 20) Information on other consulting parties' role or interest (optional): 9 of II FCC Form 620 May 2016 Designation of SHPO/THPO 1) Designate the Lead State Historic Preservation Officer (SHPO) or Tribal Historic Preservation Officer (THPO) based on the location of the tower. SHPO/THPO Name: State Historic Preservation Office 2) You may also designate up to three additional SHPOs/THPOs if the APEs include multiple states. If the APEs include other countries, enter the name of the National Historic Preservation Agency and any state and provincial Historic Preservation Agency. SHPO/THPO Name: SHPO/THPO Name: SHPO/THPO Name: Certification I certify that all representations on this FCC Form 620 Submission Packet and the accompanying attachments are true, correct, and complete. Party Authorized to Sign First Name: Lorna MI: Last Name: Billet Suffix: Signature: Lorna Billet Date: 11/25/2020 FAILURE TO SIGN THIS APPLICATION MAY RESULT IN DISMISSAL OF THE APPLICATION AND FORFEITURE OF ANY FEES PAID. WILLFUL FALSE STATEMENTS MADE ON THIS FORM OR ANY ATTACHMENTS ARE PUNISHABLE BY FINE AND/OR IMPRISONMENT (U.S. Code, Title 18, Section 1001) AND/OR REVOCATION OF ANY STATION LICENSE OR CONSTRUCTION PERMIT (U.S. Code, Title 47, Section312(a)(1)), AND/OR FORFEITURE (U.S. Code, Title 47, Section 503). 10 of II FCC Form 620 May 2014 Attachments : Type ResumesNitae ResumesNitae Map Documents Area of Potential Effects Historic Properties for Visual Effects Historic Properties for Direct Effects Tribal/NHO Involvement Local Government Involvement Public Involvement Cultural Resources Report Photographs Additional Site Information State -Specific Forms State -Specific Forms Description SRillat Resume Barna Resume Project Mao See Cultural Resnurrn Report See Cultural Resource Report see Cultural Resource Report TONS Packet lora! Govt Public Notice Cultural Resources Report Pbotograohc Protect Plans Hawaii SHPD Cover I otter Hawaii BFPO 6E Form Date Entered 11/25/2020 11/25/2020 11/25/2020 11/25/2020 11/25/2020 11/25/2020 11/25/2020 11/25/2020 11/25/2020 11/25/2020 11/25/2020 11/25/2020 11/25/2020 11/25/2020 FCC Fame 620 May 2014 Attachments Provide the following attachments in this order and numbered as follows: Attachment 1. Resumes / Vitae. Resumes for Scott Billat and Benjamin Barna are attached. Applicant's Name: AT&T Mobility. LLC Project Name: Saddle Road 3 Project Number: HIL03359 FCC Form 620 January 2005 EnviroWest SCOTT E. BILLAT Principal Investigator Project Inventories/Mitigation Prehistoric Research Report Author/Editor PROFESSIONAL HISTORY 2012 -Present Principal Investigator, EnviroWest, Woodland Hills, Utah 2001-2012 Co -Principal Investigator/Senior Archaeologist, EarthTouch, Inc., Layton, Utah 1994-2001 Cultural Resource Director, JBR Environmental Consultants Inc., Springville, Utah. 1985-1994 Staff Archaeologist, Office of Public Archaeology, Brigham Young University, Provo, Utah. 1983 Crew Archaeologist, Nickel's and Associates, Montrose, Colorado. 1981-1980 Staff Archaeologist, MESA Corporation, Salt Lake City, Utah. PROFESSIONAL EXPERIENCE Scott Billat has over 37 years of experience in professional archaeology and cultural resource management. Scott currently is the Principal Investigator at EnviroWest. He has overseen the successful completion of over 700 separate cultural resource projects. His responsibilities as cultural resource director include overseeing both the office and field operations, authoring and/or editing reports, preparing projectproposalsandbudgets, and conducting or supervising cultural resource inventories and/or cultural resource site mitigations. His background includes both prehistoric and historic archaeological work in Utah, Nevada, Wyoming, Idaho, Arizona, Montana, Colorado, Oregon and California. Most of the experience is within the Great Basin, Colorado Plateau, and Western Plains regions. He has conducted many types of projects for telecommunications facilities, mineral exploration, oil and gas developments, utilities, transportation, land exchanges, military installations and cellular communication facilities. He has performed Class I overviews, Class II and III inventories, and site mitigations, in conjunction with authoring and editing reports for many oftheseprojects. His work has also included completion of over 400 FCC 620/621 reports for wireless facilities in seven western states. Some of the more notable projects he has supervised and performed include various large land exchanges in northeastern Nevada. an extensive 700 mile 3-D seismic project in Sublette County Wyoming, and several major linear corridors for gas pipelines/fiber-optic cables stretchingfromWyoming, through Utah, Arizona, Nevada. and into California. He also conducted the documentation of some 750 rock art panels associated with the Clear Creek Canyon Archaeological Project, in central Utah. His analytical emphasis is the study of faunal remains with demonstrated documentation in his thesis work at a prehistoric Fremont site in Utah Valley, and a Late Prehistoric site along the Jordan River. SELECTED PROJECTINYENTORIES Scott has completed numerous cultural resource inventories, site assessments, site testing and mitigations in Utah, Nevada, Wyoming, Colorado, Oregon, Washington, Arizona, California, Oregon and Idaho. He has considerable experience throughout the Great Basin of Nevada and Utah. Colorado Plateau region, along with High Plains of Wyoming, facilitating projects and reports with local, state, and federal agency entities. Selected projects include thefollowing: UDOT Road Right -of -Ways Adesta Fiber Optic line along 1-70 and Hwy.6, from Colorado to Spanish Fork, Utah, approx. 200 miles of UDOT right-of-way. Joes Valley Road Improvement near Ephraim. Utah. FWHA and UDOT administered project. Lisbon Valley Road improvement near La Sal, Utah. FWHA/UDOT and San Juan administered project. Scott E. Billat Resume Hole in the Rock Road Project. FW HA./UDOT and Escalante Grand Staircase Monument administered project. Mining Conducted small and large block inventories in eastern and northern portions of Nevada for various mining developments and explorations, such as; Conducted multi -phase work consisting of Class III inventories for Nevada Goldfields for a land exchange, tailing pond expansion, HABS/HAER documentation of an existing Juniata Mill Complex, along with mitigation of historic building trash debris and prehistoric campsites. The historic mining district of Olinghouse was inventoried involving approximately 1100 acres. Twenty historic sites were recorded during the inventory. Historic research included mining records, mineral survey maps, general and office maps, and local informant interviews. OiUGas Exploration/Development Conducted cultural resource investigations on the right-of-way for over 600 miles of proposed pipeline for WyCal Natural Gas Pipeline from southwestern Wyoming. through Utah, southern Nevada, to the California border. Conducted over 100 inventories for 2-D and 3-D seismic programs in Utah, Nevada, and Colorado and Wyoming for numerous geophysical companies. Wireless Facilities Cultural resource assessments, including record searches, historical evaluations, field surveys, of over a 1000 wireless communications facilities in northern & southern California, Oregon, Washington, Hawaii, Utah, Nevada, Montana, Idaho, Wyoming and Arizona for various wireless communication companies. Land Exchanges Inventory and management of 80,000 acres entailing six different land exchange projects in Elko County, Nevada. PHASE I ENVIRONMENTAL SITE and NEPA CHECKLIST EVALUATIONS In addition, Phase I ESA and NEPA checklist assessments, and documents have been conducted for a number of cellular communication facilities. These have been conducted for SprintlNextel Communications, U.S. Cellular, Metro PCS, T -Mobile, AT&T and others for FCC compliance. SUMMARY OF CAPABILITIES Director - directing, supervising, proposals, budgeting Class I overviews Class II and III field inventories - site forms, mapping. drawing Report writing Site testing and mitigation Excavations - prehistoric emphasis, profiles, plan maps, etc. GPS — Both sub -meter (Trimble Geo) and standard units Faunal analysis Ceramic analyses (Late Prehistoric -Fremont) EDUCATION 1985 M.A. Brigham Young University, Provo, Utah. 1980 B.A. Brigham Young University. Provo, Utah. 1978 A.A. Ricks College, Rexburg, Idaho. Scott E. Billet Resume PROFESSIONAL EXPERIENCE Administrative. Responsible for supervising cultural resource divisions for environmental companies. Coordination of projects, conducting Class I and Class III assessments, report preparation and editing, along with preparing project proposals. Cultural Resource Management. Over 37 years as an Archaeologist, including artifact analyses, graphics and historic research. Performed cultural resources records searches, field surveys, prehistoric artifact analysis, personnel supervision, research and monitoring, site testing, report research and preparation. Cultural Resource Mitigation. Projects included the preparation of cultural resource assessment, pre - construction site testing, historic visual assessments, and construction monitoring reports for projectsinvolvingarchaeologicalresourcesinUtahandCalifornia. CHRIS Research. Over 12 years experience using California OHP Information Centers for Record Search Reports. Includes reading and interpreting current and historic topographic maps and the information recorded on them, accessing reports, DPR and site forms submitted to SHPO, using theCaliforniaHistoricResourcesInventory (HRI). National Register of Historic Places (NRhIP), California Historic Landmarks (CHL), and California Historic Points of Interest (CHPI) inventory lists. Incorporating all results into NHPA compliant documents. NEPA Compliance / Telecommunication Facilities. Consulting for cultural resources in complyingwiththeNationalEnvironmentalPolicyAd (NEPA) for the implementation of over 1200 wireless communication facilities, including states: Utah, California, Oregon, Washington, Hawaii, Idaho, Montana, Wyoming and Arizona between 2001 to 2018. Projects include the preparation of NEPA compliance documents in accordance with the Federal Communication Commission regulations pertaining to telecommunication facilities, along with cultural resource record searches and fieldinventories. Scott E. Billat Resume Benjamin T. Barna, Ph.D. Senior Archaeologist, ASM Affiliates Total Years of Experience: 15 Archaeology • History • Ethnography • Architectural History Education Ph.D. M.A. B.A. 2013/Anthropology/University of Nevada, Reno 2008/Anthropology/University of Nevada, Reno 1999/Archaeology and United States History/Boston University. Boston Professional Profile Benjamin T. Barna, Ph.D. is a Senior Archaeologist and Principal with ASM Affiliates in the Hilo, Hawaii office. Since joining ASM in 2014, Dr. Barna has worked as a Principal Investigator and supervisor on a range of projects that include Section 106 Compliance, Archaeological Assessments. Inventory Surveys. Reconnaissance Surveys, Field Inspections, Data Recovery, Preservation Planning, and Archaeological Monitoring. Dr. Barna has over 15 years of professional archaeological experience and has worked on projects in Hawaii. Nevada. California, and Arizona for private landowners and developers, and county. state, and federal agencies. His professional duties require supervising and conducting fieldwork including, but not limited to. excavation, site recordation, and construction monitoring; literature searches and historical research; artifact identification, analysis, and cataloguing; and technical report writing. Dr. Barna earned his Ph.D. in Anthropology from the University of Nevada in 2013, where his research focused on the cultural evolution of Hawai`i's ranching community in the 19th and 20th centuries. Before joining ASM, he was a senior archaeologist with AMEC Environmental and Infrastructure. He also taught anthropology and archaeology courses at University of Nevada. Reno, and Truckee Meadows Community College in Reno, Nevada. Dr. Barna formerly served as a Surface Warfare Officer in the U.S. Navy, and he currently serves as the president of the Society for Hawaiian Archaeology. Training, Honors & Awards Runner Up, Society for Hawaiian Archaeology Student Paper Prize (2013) Section 106 Essentials, Advisory Council on Historic Preservation (2012) William Self Award, University ofNevada. Reno (2008) Professional Memberships and Registrations Society for Hawaiian Archaeology (President 2018-2020) Society for Historical Archaeology Register of Professional Archaeologists Recent Publications 2015 Two Cabins at Laumai`a: The evolution of hybrid working households on a Hawaiian Sheep Ranch. In Beyond the Walls: New Perspectives on the Archaeology ofHistorical Households, James Nyman, Kevin Fogle, and Mary C. Beaudry, eds. University of Florida Press. In press. 2013 The Paradox of the Paniolo: an Archaeological Perspective of Hawaiian Ranching. Historical Archaeology 47(2):117-138. (with Peter R. Mills. Ph.D. and Carolyn L. White. Ph.D.). 2011 The Rabbit Hole Snipers: Mining, Making Do, and the Great Depression in Northern Nevada. Nevada Historical Society Quarterly 54:75-100. 2011 The Rabbithole Mining District: Survey and Excavation in a Depression -Era Mining. Nevada Archaeologist 24: 47-64. (with Carolyn L. White, Ph.D. and Sean McMurry, Ph.D.) Attachment 2. Site Information - Photographs Refer to Appendix A in Cultural Resource Survey [Attachment 7] Attachment 3. Site Information — Map Requirements Refer to Appendix B in Cultural Resource Survey [Attachment 7] Attachment 4 - Additional Site Information Refer to Appendix C in Cultural Resource Survey [Attachment 7] Project Summary The location of the proposed undertaking is within a 610 -square foot area within a Girl Scout Council of Hawaii owned parcel (Tax Map Key [TMK]: (3) 4-4-015:005) located along Saddle Road in Kaohe Ahupua'a, Hilo District, Island of Hawaii. The proposed tower location is 1.5 miles north of the intersection of Saddle Road and the Daniel K. Inouye Highway. Proposed Action The proposed undertaking, known as Saddle Road 3/HIL03359 Wireless Communication Tower and Shelter Project, consists of the construction a new wireless telecommunications facility in the northeastern corner of the Kilohana Girl Scout property (the current subject parcel). This will include a 100 -foot tall Monopine wireless communication tower with 12 panel antennas, 36 remote radio units, 6 surge suppressors and a GPS antenna, and an equipment storage lease area which will be enclosed by a 6 foot high fence within a 610 square foot area. Underground electrical and fiber optic lines will be installed in a trench that will extend from the communication tower a distance of roughly 32 feet to the prefabricated equipment shelter. Applicants Name: AT&T Mobility. LLC Project Name: Saddle Road 3 Project Number: HIL03359 FCC Form 620 January 2005 Attachment 5. Area of Potential Effects (APE) a. Describe the APE for direct effects and explain how this APE was determined. The APE for direct effects includes a new wireless facility situated in a vacant field at 44- 6800 Daniel K. Inouye Hwy, near Kamuela, Hawaii. The direct APE was determined following a visual inspection of the project site. b. Describe the APE for visual effects and explain how this APE was determined. The APE for visual effects was determined to be a 1/2 mile radius around the lease area located at 44-6800 Daniel K. Inouye Hwy, near Kamuela, (3) 4-4-015:005. This determination is based upon the stipulations in the FCC PA (2004) and a visual assessment of the project, along with the actual viewshed from the proposed wireless facility. Applicant's Name: AT&T Mobility, LLC Project Name: Saddle Road 3 Project Number: HIL03359 FCC Form 620 January 2005 Attachment 6. Tribal and NHO Involvement Consultation with Appropriate Native American Groups EAS filed the proposed undertaking on the FCC's Tower Construction Notification System TCNS) on September 4, 2020 (#218814). The attached FCC Notification email dated September 11, 2020 lists the Tribes identified through the TCNS process. Follow up correspondence, when necessary, will be completed via the methods listed on the attached email considered acceptable to that Tribe. Applicants Name: AT&T Mobility, LLC Project Name: Saddle Road 3 Project Number: HIL03359 FCC Form 620 January 2005 Attachment 7 - Historic Properties Identified in the APE for Direct Effects The Cultural Resource Report Assessment of Proposed Wireless Facility Saddle Road 3/ HIL03359 is attached. There are no sites or historic properties within the direct APE. Applicants Name: AT&T Mobility, LLC Project Name: Saddle Road 3 Project Number: HIL03359 FCC Form 620 January 2005 6E Form Applicant's Name: AT&T Mobility, LLC Project Name: Saddle Road 3 Project Number: HIL03359 FCC Form 620 January 2005 State Historic Preservation Division HRS 6E Submittal Form Per §6E, Hawaii Revised Statutes, if the Project requires review by the State Historic Preservation Division (SHPD), please review and fill out this form and submit all requested information to SHPD. Please submit this form and project documentation electronically to: dlnr.intake. shpd@hawai i.gov If you are unable to submit electronically, please contact SHPD at (808) 692-8015. Mahalo. The submission date of this form is: November 25, 2020 1. APPLICANT (select one) E Property Owner Government Agency 2. AGENCY (select one) Planning Department Department of Public Works E Other (specify): EnviroWest behalf ofEAS Type ofPermit Applied For: AT&T Wireless Facility 3. APPLICANT CONTACT 3.1) Name: Scott Billat 3.2) Title: Principal Investigator 3.3) Street Address: 71 San Marino Ave. 3.4) County: Ventura 3.5) State: CA 3.6) Zip Code: 93003 3.7) Phone: 801-609-7999 3.8) Email: scop@envirowestllc.com 4. PROJECT DATA 4,1) Permit Number (if applicable): NA 4.2) TMK [e.g. (3) 1-2-003:004]: (3) 4-4-015:005 4.3) Street Address: 44-6800 Daniel K. Inouye Hwy 4.4) County: Hawaii 4.5) State: HI 4.6) Zip Code: 96743 4.7) Total Property Acreage: 6.875 acres 4.8) Project Area (acreage, square feet): 2000 sq ft 4.9) List any previous SHPD correspondence (LOG Number & DOC Number. if applicable): LOG NO. DOC NO. 5. PROJECT INFORMATION 5.1) Does the Project involve a Historic Property? A Historic Property is any building, structure, object, district, area, or site, including heiau and underwater site which is over 50 years old (HRS §6E-2). Yes No 5.2) The date(s) of construction for the historic property (building, structure, object, district, area, or site, including heiau and underwater site) is 5.3) Is the Property listed on the Hawaii and or National Register of Historic Places? To check: http://dlnr.hawaii.gov/shpd/ Yes E No 5.4) Detailed Project Description and Scope of Work: Scope of Work: The proposed undertaking, known as Saddle Road 3/HIL03359 Wireless Communication Tower and Shelter Project, consists of the construction a new wireless telecommunications facility in the northeastern comer of the Kilohana Girl Scout property (the current subject parcel). This will include a 100 -foot tall Monopine wireless communication tower with 12 panel antennas, 36 remote radio units, 6 surge suppressors and a GPS antenna, and an equipment storage lease area which will be enclosed by a 6 foot high fence within a 610 square foot area. Underground electrical and fiber optic lines will be installed in a trench that will extend from the communication tower a distance of roughly 32 feet to the prefabricated equipment shelter. 5.5) Description ofprevious ground disturbance (e.g. previous grading and grubbing): Previous Ground Disturbance: Vegetation in this area has been described by (Pratt and Gon 1998) as Land Transformed by HumanActivity (Grassland and Shmbland); and is dominated byintroduced plants such as fountain grass Cenchrus setaceus) with some fireweed (Senecio madagascarensis), ironwood trees (Casuarina equisetifolia). Some common native plant species observed in the Direct APE include a'aliS Dodonaea viscosa), and akia (Wikstroemia uva-ursi). 0 5.6) Description ofproposed ground disturbance (e.g. 6 oftrenches, Length x Width x Depth): Proposed Ground Disturbance: Proposed ground disturbance includes approximately 100 -ft long by 12 -ft wide utility easement, andabout610 -sq ft equipment lease area. 5.7) The Agency shall ensure whether historic properties are present in the project area, and, ifso, it shall ensure that these properties are properly identified and inventoried. Identify all known historic properties: Historic Properties: As a result ofthe field inspection, there were no specific historic features observed within the Direct AP and while the Kilohana Girl Scout Camp parcel might be considered a historic property, it was not idem as such as a result of the SHPD-accepted McElroy and Duhaylonsod (2018) study. Based on the findin) the current study, there are no NRHP-listed or eligible historic properties located in the Visual APE. Nc historic properties will be affected by the proposed undertaking. Integrity (check all that apply): Location O Design 0 Setting Materials Workmanship Feeling Association Criteria (check all that apply): tied s of a — associated with events that have made an important contribution to the broad patterns of our history El b — associated with the lives of persons important in our past c — embody the distinctive characteristics ofa type, period, or method of construction; represent the work of a master; or possess high artistic value d — have yielded, or is likely to yield, information important for research on prehistory or history e — have an important value to the Native Hawaiian people or to another ethnic group of the state due to associations with cultural practices once carried out or still carried out, at the property or due to associations with traditional beliefs, events, or oral accounts - - these associations being important to the group's history and cultural identity 5.9) The effects or impacts ofa project on significant historic properties shall be determined by the agency. Effect Determination (select one): O No Historic Property Affected Effect, with Agreed Upon Mitigation Commitments (0E-42, HRS) Effect, with Proposed Mitigation Commitments (0E-8, HRS) 5.10) This project (check all that apply, if applicable): will receive federal funding is located on land owned by the federal government C will require a permit from a federal agency If any of these boxes are checked, then the Project may also be subject to compliance with Section 106 of the National Historic Preservation Act (NHPA). 6. PROJECT SUBMITTALS 6.1) Please submit a copy ofthe Tax Map Key (TMK) map 62) Please submit a copy ofthe property map showing the project area and indicate if the project area is smaller than the property area. 6.3) Please submit a permit set ofdrawings. A permit set is a set of drawings prepared and signed by a licensed architect or engineer and is at least 65% complete. 6.4) Are you submitting a survey? RI Yes No Specify Survey: ASM Affiliates 6.5) Did SHPD request the survey? Yes G' No If `Yes', then please provide the date, SHPD LOG NO, and DOC NO: Date: LOG NO. DOC NO. 6.6) SURVEY REVIEW FEES Fee for Review ofReports and Plans (§§13-275-4 and 284-4). A filing feewillbechargedforallreportsandplanssubmittedtoourofficeforreview. Please go to: http:ttdlnehawaii uoe'shod/aboutbranchcs,archacoloevfiline-fee-schedules A check payable to the Hawaii Historic Preservation Special Fund should accompany all reports or planssubmitted. 6.7) Please submit color photos/images of the Historic Property (any building, structure, object, district, area, or site, including heiau and underwater site) that will be affected by the Project. The following are the minimum number and type of color photographs required: Quantity Description 1-2 Street view(s) of the resource and surrounding area1-2 Over view of exterior work area I exterior photo of the North elevation (ifapplicable) I exterior photo of the South elevation (ifapplicable) 1 exterior photo of the East elevation (if applicable) 1 exterior photo of the West elevation (if applicable) 1-2 interior photos(s) ofareas affected (if applicable) CHECKLIST O SHPD FORM 6E (this form) 0' PROJECT SUBMITTALS (any requested documentation for items 6.1 - 6.7 ofthis form) 0 FILING FEE FORM (if applicable) TMK MAP SADDLE ROAD 3/ HIL03359 TMK: ( 3) 4- 4- 015: 005 1 TMK: (3) 4-4-015:005 TMK Map Saddle Road 3/HIL033S9 44-6800 Daniel Inouye Hwy, Kamuela, Hawaii Mao Key: AT&T Mobility F-. PROPERTY MAP SADDLE ROAD 3/ HIL03359 Property Map Saddle Road 3/HIL03359 44-6800 Daniel Inouye Hwy, Kamuela, Hawaii Map Key: AT&T Mobility PERMIT SET DRAWINGS FOR SADDLE ROAD 3/ HIL03359 CODE COMPLIANCE ALL WORK Aro NA 966IS SHALL BE P686000 ED AND * MAILED N ACCORDANCE WITH IFR: CURRENT EMOTE OF ME POLLOWNG COOTS AS ADOPTED 0Y ME LOCAL GOVERNING AUTHOR/) S. NDNNC N THESE PLANS IS TO BE CONSTRUED TO FIRM' WORK NOT CONFORMING TO THESE CODES 2006 RIEE6NARONAL BUEDWG CODE WITH LOCAL AAEFLOMENTS 2012 06110064 FRE PROTECTION ASSOCIATION ( NEPA) 1 2015 INTERNATIONAL MPG, CONSERVATION CODE PROJECT TEAM PROPRIETY LEGAL CESCRPIDN. AL. OT THAT CERTAN PARCEL OF IAND IBFRIG AIL OP THE LANDIS/ DESCRIBED NAND COVERED BY LAND PATENT GRAM NO. 13, 014 MED TO ' HE HAWAII ISLAND GEL SCOUT COUNCIL. INC. ANA WARANFENAOSYNARY CORPORATION) SITUATE. LYING AND BEPIG AI OLD ARMY RAOIOSTAIFON. KAOIE 3. SECTIONS N TIE DETECT OP HAMAKUA. 151AND AND COUNTY OP HAWAII. SPATE OF PAWN AND 744 BOWING AND DESCRIBED 8EGRNNG AT THE NORTHEAST CORNER Of THE PARCEL Of : AroONTHEWEST501EOFTAR SADDLE ROAD. THE COORDINATES OE SAO PONT Of 0000! 200 REFERRED TO GOVERNMENT SURVEY 1RUINGAATION STATION - MU* OA' BERG : 7: 2. 31 Eft NORTH AND , 53303 ' PEI WEST AND 66474010 B" AZIMUTH MEASURED CL000wISE FROM TIME 50000* - SAID * 8009 0( 5080810 PARCEL OF AND 6* 0010 NERO. AC08090 95 HAWARIAANG GLIB SCOUT COUNC. RIC . A RAWAIMN ELEEMOSYNARY CORPORATION. BY APD PATENT GRANT 40. 15014: 55UE0 BY THE STATE OFHAWAkONAIME25. 1054. VICINITY MAP SITE NUMBER: SITE NAME: SITE TYPE: ADDRESS: TMK: AT& T NEW BUILD LTE IC: LTE2C: LTE3C: LTE4C: LTE5C: LTE6C: USID:— FA CODE: 12716303 H I L03359 SADDLE ROAD 3 MONOPINE/ SHELTER 44- 6800 DANIEL K. INOUYE HIGHWAY KAMUELA, HI 96743 3) 4- 4- 015: 005 LOCAL MAP ARPUCANT/ LESSEE. ATLI NIOBIITT SRO KAHELU AVE0TE 666KA64. 1096789 SITE ACC/ WTON IS INFRASTRUCTURE PARTNERS CONTAC': ANDREW TOMLMON EMAIL: DIOmIn409015R cow PH100814644567 CONSTRUCMJNMANAGER CONTACT JEER RIMER EMAIL ( 83010001. 4om 908 ( BOB) 3526283 RF ENGINEER 6160 PROJECT MANAGER CONTACT: JEFF RIEWER ORAL. E413:1Rot. car PHMB) 3524282 ZONING' AT& TMOBERYCONTACT. CHOWS 0AKAIA RAN ENGINEER ENMR: CO8262. 81tcom Plc ) BOB) 6709720 ARCHITECT / ENGINEER. AS KRASIRUCIURE PARTNERS COPIUCE: JOSE M. M.RANDA TWNN: F,W0E00406c0w0119491247. 7767 JS 4ERASIRUCTURE PARTNERS CONTACT ANDREW 70404SON EMAIL. O1LA900$ N9N5D. CE.1 PN (008) 061.8567 PROJECT 022600*. 15 NERA5TRUCTINIE PARTNERS CONTACT: SINCE NOVAK EMAIL: DROYIH615D. 00m PH. 8800129' 2960 SITE INFORMATION PROPERTY OWNER: GRA SCOUT CNC& OF PACNC 410 ATIRAON DRSTE2E1BOK3 009400I6 11196614 4730 JURISOICTIONC COMITY OFNAWAP WIND LOACE ' OWN 13 - SECOND GL:511 EXPOSURE CATEGORY: C SEISMIC 201E: 4 FLOOD 700E K TAA 0. 13) 44015005 ZONING. AG (2.060) IAIMD( IN6083) 19.46.6.54N LONGITUDE MAD 83I 153. 36' ° CRT511 EIGHT SETBACK IFT: Sf7 Of TOWER 160FEETI FROM AND REAR FARO SEIOACK% 30FEET RDE YARD SETBACKS: 20FEET ACCESSBEIIY REQUIREMENTS . FACILITY D AN UNKIANEEDfOUPMENI SPACE NOT 8RE0ED9OR HUMAN N KERATON AVO ONLAY NEREOUENTI+ VISITED BY MARREANCE PERSONAL. ACCESSYSLITY IS NOT RECURED PPP RC 2006. SECTIO. 1) 03. 7. 9 IfOUPNEN' SPACES) TOWER OWNER AT&T POWER AGENCY: TELCO RUE VERSION. IMEP4IORE AGENCY XAWACAN0RECOM DATE UPDATED BIG ISLAND OF HAWAII GENERAL CONTRACTOR NOTES DRIVING DIRECTIONS PROJECT DESCRIPTION PROPOSED 511E BUILD OF AN UNMAN` FD ' ILECC666410: CARONS FACILITY . CONSUAIG OE TAR FOLLOWING: TOWER/ ANTENNA SOW: NSEALAMON ( I) 107 - CFTALL MON4ORRE NSTAOATION CP ( 12) ATLI PANELAMENIAS INSALA/ ONCE Ib( ATM REMOTE RADIO UMTS LRRUS) RB0ALLATON OE ( 610091& 60 244080 SURGE SUPPRESSORS 0UTALLATON OF 11) GPS ANTENNA EpIRMENTSORT NSTALLATIONOF AN' ATB.^ NW K 70. 7' 1610 SUFI I TELECONIAYNICAMON COMPOUND LEASE AREA BOTALATKJN OP 64004061 CHAIN 0611 FENCING W/ P8WAC15& 475 INSTALLATION OF II) PREFABRICATED EQUIPMENT SHELTER NSTALLATION CF 111 DIEM BACK - IP GENERATOR NSEAMARON 0E 111 200A AC POWER PANEL NSTALLATIONOE ( 11 EMERSON POWER RANT PACSW/) 121 BA0ER, ES ROTALLAIIDN OF 12/ 80980 RACKS NSTALLATION OF ( 1) HPRAAE W/ UTILITY EOUPAENT IM/ ALLATION OE ( 1) CANE BRIDGE WSrALLAn3N O POWER B NMR LAME TRIPES INSTAi1AIIONCP IN MANPOWER INSTALLATION OF ( 35 DC 12. 4660901 SURGE SUPPRESSORS DO NOT SCALE CRA0N0S MSE R AM ARE FORMATTED TOM 8505 SITE AT 74 K 36- CONTRACTORS SHALL VERILY PLANS ANOEAIST80 OMENSON5 AND CONMR0745 ON THE JOB LIE AND SNAIL IMATEDATEE: T NOM TIE ARCHITECT/ ENGINEER N WRUNG Of ANY DISCREPANCIES BEFORE PROCEEDUIG W: IN THE WORK OR MATERIA. CROPS OR M RESPONMRLF FOR ME SANE. GENERAL NOTES TIE MCUT, S UNMANNED ANY: NOT FOR HUMAN NAMTATION A IECTRICAN WRlYAPMELTE AS 6(00) 960 FOR RMJ10E MANINIANCE TIE PROJECT WIN NOT RESAT N ANY SGNRTCAN: DISTURBANCE OR EFFECT ON LEARAGE. NFO226128)• SEWER SERVICE. POTABLE WATER OR TRASH DISPOSAL ISRELJURED MONO COMMERCIAL SIGNAGE 6 PROPOSED. STATEMENTS A TOWER ANA, N515 WAi 0101 PERFORMED BY 251NIRAS: RUC' URI PARMA( R5 FOR 1X6 212081 OFY.Ut9 TOWER ANALYSIS SU, K COMPIEtEC BY TOE TOWER OWNER PRIOR TOUR START OF COVSMR„• CIION FOR ME SCOPE Of WORK SHOWN ON MESE DRAWINGS TOWER ANAUYSS AND ANY REOUREC MC00 CATIONS TO ME TOPER SHALL BE UNDER A SEPARATE PERMJT DRI00R] NI IRAN NIU ARF( MI A410Ft[ U,. N1LM Sl HEC. 1116124 HEADREST Co. ARIYMI RDIMOIANALM LI 7 IJEN UN OHIO HARM MIT RUIRANOLLIHIM AW 3 IURNREPXO0pR NANMO$ I 4 Ur RIGHT CE00 ROAIMMNM ST S UNIT. OPIIOPUANAKO57 LONHN0ONTOMDOTE RD TMOYNE OHIO DANE) R NAM Mr RAN MOHONTOSADOSt RD a CESINA110I WILMON00* 1611 rN• PM 1601 2071, MF •.Y Mu, Eon ,.. 03r1Ra1 vmo• Aid' 0^+ 9098 Marvk4b81Ow. CaIIINNT. you 476 v < Trw.1 SHEET INDEX REV. II TITLE SHEET GNI GENERAL NOTES GED SITE SGNAGE C - I SURVEY NMP A. I ROT PLAN b SIE PAN A- 2 ENLARGED SITE PANG A. 3 COMPOUND RAN 45- 6 ANTENNA I EOOIPMENT RAN A- 5 ETfVA11ONM 0. 6 ELEVATIONS 0 0 0 0 0 PREPAREDFOR AT& T SPR0, 4116 AVDAIEMOTAANW{/N Vender: 151NFRASTRUC ) URE 677 AIA MOANA 8100 STE917 HONOLULU. HAWAII 96413 D.Poz.% ATLISMD. H I L03359 I DRAWN BY, ISE NECKED BY: JMM 0 07108720 ) DOSODE A 03116/ 20 90% TD. REV DATE DESCRPTTOP1 Su00Fa H11. 03359 SADDLE ROAD3 44- 6800 DANIEL K. INOUYE HIGHWAY KAMUELA. W 94743 TMK: 13) 41Q) 5700.5 511uR! 1100 L TITLE SHEET Y.1I0.6604. T- 1 SITE MAP SCALE: 1 IN. • 100FT. MOO DOk 0 COMM SE WOO 10OVUM LOY1001.010 1111111 . 40.40/ 414441m an doom r' Iv p 0. 40/ 41444WOO . M11q q11 p1 R 1pMp SN arta wok SUO a s 1,004r w if WC MAW. 0. 1A111 1 , 00IMO0000, 5 * IEms' IMO10_ 1 0 dif01010 ? OWN, g1 ‘ 3, 01••> W 474 SCUPS CNP ROW*. 1,1051iK5 kvu.q kW4-0154• AL1tS4 VICINITY MAP NOT TO SCALE 1. 01- 1+ 111.. 1 un 0100• 4,41501 kVMAI.) AMY r. , a» 444, 1.4 Aa• SADDLE • M.. o7 aFa 4•• t 11x11 •, I -' A • R• Na RN nue 4..: tN ROAD 10.l bra__ W11r• wN ____ easm. aAN .., a.. ,.•- WO, W.. Nos - yy 44t___. ___ 4K ENLARGEMENT SCALE: 1 IN. • 20FT. AT& T HIL03359 SADDLE ROAD 3 AFFECTING GIRLS SCOUT CAMP KILOHANA" ALL OF GRANT 13. 014 TO HAWAII ISLAND GIRL SCOUT COUNCIL. INC. KAHOE 3, HAMAKUA ISLAND OF KAWAII. HAWAII TAX MAP KEY: ( T)44-015:005 LOCATION: 1. S! MILES NORTH OF THE INTERSECTION OF SADDLE ROAD AND DANIEL K. INOUYE HIGHWAY Lk" d Sipes U[ Joe 1. 0 IP) AT&TPOWER/INTERAPPROXI PI AT& T 17vADE NON- ExCiuSw/ TECHNICIAN PART Of ACCESS ALONG ( E) 001E) DIRT p, AISTUTIUTY PPE - I FOR OvERHEAD POWER a MR ROUTE 1 MI I 1, 0 i4„.• : V:41 A,<,,,',,,,.. 5... 1 ' ' I IP) ANTENNA 29' ExCLuSsON - J DISTANCE DTP 191 OWWit AIT IP) Al& T MEM POIE - • li / FOR OVERHEAD .." POwFR a NEER ROUTE 1 OVERHEAD , I ROUTE -, ‘ E 26001 '`,. , I I ( II uTTLITY ROLE TPIAT&I T ..... POwEINNTER i / , PATH , - 1 .\ GATE . S, ,' ATE1WTRE ' ; ACCESS '''' 4' / ' .. ' ‘, FEP4CE. F7P. 1 ROAD . .. , Rey r. I 4y/ , \ ,'„ , Iii I '. . , f ,,. • / , WI '; `‘ ii'' - ts . $ i.. ( 1 6 N ; ' T T 1- 1,/ 304 ,, ' . N. i '. i.- i lX IP, AT&T410SO. FTEASEAREA i I ET, . i fp • k S. T TS / ' Ns \ . Aiiil i I ‘„ 0 !!„. / -- x --- IE) CATCHATENT TA , k1 t• NV, sat a ...."'-' `,, --- -- ( WAIST locur ' , T,..... s , 14GHATONOINNE T ‘ 1 s? T A .0301 1 TMK: 4-. 4- 015: 013 PREPARED FORAT& T KTDRANDAI AMAX MARANt RITMO, 3) v...., I PROPOSED AT& T PROJECT AREA REFER TO DETAIL HEREON f • _ _.. i 4 , ,, IMNFROISTRyciLM 677 ALA 11. 40ANA WV. STE917 HONOLUW. HAwATI96413 1 1 ! 61110ROTO POD. ITT OW ROAD I St' s 44 - ATMS.leID: ' HI L03359 st, -,, • flaogst``' 1 7. - t CP ORAwNSYITCHECKED RI' 00.1 L,-. 5z1 1 "..,,,,/ 0 1E) UmANNED 11 ...-„,. TOOT SEED - -- TTT t r/ 4r 1 % 0 T 1 46 . 0. I . Y ssencx TMK: ( 31 4- 4- 015: 005 46M ' 11.ae, ;\ 2I 0 11 S 07/ 08, 470 100% IDI A 03114/ 20 90% ZDs REV DATE DESCRTPTION ilTi4 \ LO euko. cs. fn. 1t dP Scenic, ' 5 1 „: . comp. mc1 57 0 1 r.:.• .....,,-. 72..": 1::::';:.... Zia7211- 71. 1F4a.:.. it1 :/„.„, \ H I L03359SADDLE ROAD 3 44. 030 DANIEL K. INOUYE HIGHWAY KASAUELA. HI 96743 TMK: 13144-015.005 SHOWN AS REFERENCE 0,N PROPOSED AT& T PROJECT AREA 112 . c() NSERvADON 1 SheetIrtlePLOT PLAN 8. SITE PLAN REFER TO ENLARGED SITES ON SHEET A-2 SPORT PRATIPTOTTA- 1 SITE PLAN ..'. :::: ,..:' : , 1.11....... w...• 1. 41- 2 PLOT PLAN 1 1 I K 3I 1 I I , TIt I I } I 1,\ t1 t 61 SLOPED DR, PATE- t, PI A181 17 WIDE NON{ YCIUSNE / YOUNG/ AN 1 1 PAD. Of ACCESS ALONG 1E1DIRTPATH II - duA181/ / MUTT POLEEOR 1 OVERI. EADPOWER 81BER ROUTE li 1 `( E) SLOPED LANDSCAPE- L1 11 LEI GRADE j BREAK TIP. LEITREE. IYP. 11j1E/'' ICS V ITT EA- CAtr i - r 1 } / I 1 1 II 1 I I I t 1 I I 1 1 I 1 1 1 r l I• i I 1\ \ 1 1 1 1 I i I I 1 I I I 11 Zl 11 j It\ t r IEILMxuKIA- 1— . EI SLOPED IANDSCAPE- A E) OVERHEAD DNES. ,. P. V1. V z - LEI DRADE -( EI SLOPED LANDSCAPE- BREAK. TVP, LEIIEEE. Pry. t t 11 Ir l ( E) CA/ Ow/ EN/ TANK t S 1t \ /• t- - - I \\ _ 1 / -- REV OV, LINE OE PROPOSED AT&T10x . Ib' PRERABEK: AIEO SIR: IIER fODNDATION 1 fE13LOPEDIANDSCAPE- t L 1T. t T 1T A ! 1 LE) SLOPEO LANDSCAPE- I \ \ OUTLINE OF PROPOSED AIBP R-0. 010WER EGNR+ OA1pN l PREPAREEOR AT& T 501./ 101, AVPNHE NL.,1.,.11, AeVA. vMar. 15 INFRA$ iRUCTURE 61/ AU U10ANA Blb. SIE91/ NONOIU V. NAWAll96313 I,•r,,n< aPn.m L J AT& TA,a, sib, D: HI L03359 l DRAWN BV' 0 CHECKED BV- 0AA4 ESE- E- EE a / 0 07/ 08120 18.7% /Ds A 03/ 16/ 20 90%7DI OAIE DESCRIPIpN sI / N• t I I 11 I I 1 CLR IE) GAICN I MENT TANK I I( I I T t I 1 I .` IPI AT& T161050. 111 TEASE AREA "" W tI. 11 J - tl / - IPI DC POWER • IPI NEER TRUNK 1 CARIES WIIMN CO PVC ROUTED vnDIIN UNDERGROUND TRENCH TO IR) AT& T IAONOPNE LEI SLOPED LANDSCAPE- BR\ 1 \ EIGRADEEAK. IrP. \ Iv ( RI SLOPED LANDSCAPE - I \,' \\ 1 t /I \ \\ \ 11 4/; \\\\ \ 11 - i \ ) t. / / LEI SLOPED LANDSCAPE- r/ / l 1 ,,,[[[ V ` , ; OUTLINE CR (PI NONOwN: BRA SOCKS Alar 1017.0' 5/. 1.. 1 AAONOPINE s. li[ OmOr. \ u... Issued Fcr. HIL03359 SADDLE i0A03 11- 6800 DANIEL K. NCRIYE HIGHWAY KAMUEU. NI 96743 TMK: ( 3111- 015'005 ENLARGED SITE PLANS 58. 1 Nuestwc A- 2 PROPOSED ENLARGED SITE PLAN'^ 1', ri 2 EXISTING ENLARGED SITE PLAN ,,,,, • I:; ;;;= ;-°: , pkil 1 NOT USED PILEASEAREA l - IPI: 7SA' mGn ( PI' A16T 17- 0, 4104uMm ROLE HNC( IP)' AT6T' TRANSFORMER / DOU& E SwwGGA1ES CHARI4INK ON CONCRETE RAO W/ GREEN DAD 8..& I BIS P.P- A. P- M-- M V U1 ... Fd ..--,--. 8 I 1 1 I bV RI AT& T NRA.* d EOUIPMENI P LTJ/ > LJ L J i S0 API AMT SAIN 13 PREFABRIC: AIED E0/ 541541.11/ SHELTER P) AO' NIGH CHAIN MK / TWICE W/ PRIVACY SLATS 11. 1 A161 1610 SO. 01. I LEASE AREA R7 P1 A161LEASE AREA 6' 81616' 4141 CONDUIT STU6UPS WIINN 7d'K7-0' 16GA. GAO/ AWED SHEET METAL CASTE SHROUD W/ REMOVABLE COVER 2 COMPOUND PLAN 1a. e. SCALE: 1e1'¢ Y I 0 - PREPARED FIXEAT& T X01. 11( 11/ 881888 NAM. 11196281 0.042 INFRASTRUCTURE 677 ALA MOANA & V0. STE917 HONOLIAU. HAWK 96813nfOACIRROIIO} ATMSIM0: HI L03359 DRAWN BY. 5YCHECKED BY: EMAI 0 07,06/ 70 100% / Ds A 03116/ 70 90% EDs REV DAZE OESCRIP1ION Wenalwe0to' H I L03359SADDLE ROAD 3 44. 6800 DANIEL R. 840050 HIGHWAY KAMUELA. HI 96743 TMK: 13166-015:000 SAeei TAB. COMPOUND PLAN 51801 NteeOelA- 3 e IPI DISCONNECT SWITCH W/ CAMLOCK - - — GENERATOR NIERFACE MOVMEO TO EXTERIOR OF SHELTER BELOW P) RADEO CONCRETE -- STOOP, TW. IECW/ AUTOMATIC TRANSFER SWITCH 19) CCU SURGE SUPRESSOR BOK MOUNTED TO EXTERIOR OF SMELTER, TTP, ( TOTALJ) IPI TELCO BOARD IPI DIESEL NEISPILLKH - PI FIRE EKTNGUISHFR — P) 30KW AC GENETERAOR W/ -- - I18GALLON TANK IPI REMOTE FUEL ALARM PANEL PI GENERA TORFUELBOK IP) AT& T PREFABRICATED SATN 13 EQUIPMENT SHELTER MOUNTED TO RAISED CONCRETE PAD PI FIRE Ex1INGVENER P) TELCO BOR R) • NAC UMI, IVP. REFER IO MAN1/ 1ACTURER DRAWINGS AC — IP( HYBRID RACK ( TOTAL. 2) IPI ( II 6630BASEBAND UNT WTINFT HYBRID RACK PI ( 31 DCI2• I3. E0RM SURGE SUPPRESSORS WRMN HYBRDRACK AC IPI CABLE ENTRY. TTP. P1 EMERSON . H(SV POWER Pt AM RACK W/ 16) RECTRIERS AND 131 STRINGS OF 19DAH BATTERIES IP) OPS ANIERNA MOUNTED TO EXTERIOR OF SHELTER EQUIPMENT PLAN 2 I• - PI ANTENNA V. BOOM - - MOUNTING FRAME DESIGN Br OTHERS( IP)' AT& T RM.). TYP. 12PER SECTOR ( 1O1AL• 361( STACKEDI NOTE: I. ALL ( PI CABLING END EOUIPMENT MUSTBE INSTALLED AND USED IN ACCORDANCE WITHME PRODUCTS NCIUDED NSTRUCTK3NS. LISTING AFD/ OR LABELING REQUREMRITS. PERNEC SECTION 110318(. 2. ALL ( R) CABLNG CONFORMS WIM AND6TOBE INSTALLED PERFEC356.10E356.12. 3. RRUS ARE STACKED AND STAGGERED TOFR I. MONOFINE BRANCHES NOT SHOWN FOR CLARITY. 5. ALL ( P)' AT& T PANEL ANTENNAS B TOWER MOUNTED EQUIPMENT SNAIL BE PANTED TO MATCH THE PROPOSED MONOFINE. 6. ALL IPI' AT& T PANEL ANTENNAS SHALL BE COVERED WIM FINE SOCKS. PIAT&TTOG.' HIGH MORIONIE IP) AT& T 0C9. 60. 6021-8C.ES/ SURGE TIAPRESSOR. TTP, ( TOTAL - 61 IP) . 0, 16r BACK TO BACK FlU MOUNT, ISP. IIOTA4161 IP) AT& T PANEL ANTENNA TIP. A PERSECTOR ( TOTAL - 1?) DIMENSION PLAN 3 ANTENNA PLAN 1: 1041 1 PREPARED FOR e AT& T SBI ERIN AVENUE MIIAM HiEpM Venda: INFRASTRUCTURE 677 ALA MOAN. BLVD. STERI? HONOLULU- IIAWAI 66E13 6. 0. 10. 40146 AT&TSaeD: H I L03359 DRAWERS LI CHECKED BY: JMM D 0/ 508/ 20 10U% IDS A 03/ 16/ 70 90% EDI REV DATE DESCRIPTION Issuedfar HI L03359 SADDLE ROAD 3 66. 61300 DANIEL K. INOUYE HIGHWAY KAAIUELA. HI 96743 TMX: 1316-6-015:005 SHeeT TIMe: ANTENNA L EQUIPMENT PLAN SIMPI RAStR. A- 4 OIPIWIMOO'NIA.OPINIIE STEEL / IPI • 41sT PANEL ANTENNAS ELEV G - IPI 4rPANEL ANTENNAS RAD CENTER_ _ P) AMENIA 29 EKCWSEON DISTANCE. PYP. ( SHOWN AS REFERENCE 01491 PI ' AT& T' SAM13PREARRFCATEDEOUPMENT SMELTER P16' 4' NGH CHAIN LN( s FENCE W/ PRIVACY SLATS F. O. ( P1 SHELTER 7 ELEV. MD' IAD .L.( 10. IPICHARU NK FENCE \ ELEV. 6'ATIA.OLI P1 ATLI PANEL ANTENNA IYP. 4 PER SECTOR DOTAL/ 12( NOTEALL IP( ATM' PANEL ANTENNAS d TOWER MOUNTED EDUPMENT SHALL BE PANTE° TO MATCH TIE PROPOSED MONOfNE 7 AIL 8P1' AIIT PAHEI ANTENNAS SHALL BE COVERED WITH PRE SOCKS 3 ' ADE nu S. ' MACS. ANO SURGE ARRESTORS NOT DEPICTED NPHSVIEW FOR CLARITY. EOR LOCATK] NS OF MESE ITEMS. PLEASE REFER DO PREVIOUS PLANS VOWS WIDE. ENE DRAWING SET PI - ARB' I0D-0- TACO MONOPUE PI OC ROWER • IP) FIRERIRON! CABLES WV MIN NNERDUCI ROUTED WITHIN PVI MO OPINE MASHED DRAM AT THE RASE HIEN.°{ Y OF ( P) EOIIPMENI AREA SOUTHWEST ELEVATION IOse' FAILTREEEl CATCMMENI TANK In AT& T PANEL ANTEFNA - \ ISI. A PER SECTOR ( TOTAL. 12( 0 LO IPI MoNOPNF STEM / IRS 'ATA ELEV. IOD'i/ FAOA./ PANEL ANTENNAS \ IPI' AT6rPAREL ANTEINAS RAD CENTER IPPA Thr DCC' NIGH MOFHOPR. E IP) DC POWER • ( PI FREER ' RUIR( - CABIES WIDAM HEEROUCT ROUTED WITHIN IP) MONOPNE IP) ' ArIrSAM13 - PREfABRICATED FOUPAIEM SHELTER ( BEYOND( PI 6'- 0' IRGNCNANLRR FENCE W/ PRIVACY SLATS r. 0. ( PI SMELTER C1Ev. 10-R' IAGEI 4, fLEV. 6' TO / P( 4'CHANTA. G- SINE.1I FENCE fMSHEO GRACE ASTHEBASEOF (PI EOUPMfNI AREA ELEVDEE NOTE. I. ALL IP) ' MKT - PANEL ANTENNAS d TOWER MOUNTED EQUIPMENT SHALL RE PANTED TOIAATCH DIE PROPOSEDMONOPB( 2 ALL ( PIPANEL ANTENNAS SHALL BE COVERED YAM PINE SOCKS S AT& T• REV' S. TINA' S. AND SURGE ARRESTORS NOT DEPICTED NDHSVIEW FOR CLARETS'. POR LOCATIONS OF THESE TEMS. PLEASE REFER TO PREVIOUS PLANS NEWS WINN THE ORA WING SET v) ANTENNA 79' EXCLUSION DISTANCE. TSP. ISIIWN AS REFERENCE ONS) 2 SOUTHEAST ELEVATION PREPARED FOR0AT& T TW & N * LUAVEMR ADRIAN HRS/ST vena« JS INFRASTRUCTURE en ALA MOAFU Rlw. SIE917 IR) NOW U. HAWA196817AT&TSATED: H I L03359 DRAWN BY: JRCHECKED BC11.4 AU// DB/ SO M IU/ DL a1/ 16/ 7U PMD74 REV SATE DESCRPTION D,IAxFRNHIL03359SADDLE ROAD 3 4441300 DANIEL K. INOUYE HIGHWAY KAMUELA. M96/43 MEC 13) 4- 4- 015035 SMyRI THRE: ELEVATIONS SICO? N Vtp' A- 5 e NOTE: 1 ALL IP) ' mar PANEL ANTENNAS b TOWER MOUNTED EOUPMENT SHALL RE PANTED TO MATCH TIE PROPOSED MONOPNE 7. ALL ( P) ' Arm- PANEL ANTENNAS SHALL RE COVERED WI H FINE SOCKS 3. AIRTRRU' S. HAAS. AND SURGE ARRESTORS NOT DEPICTED NTHLSNEW FOR CLARITY. FOR LOCATIONS OF THESE RENS. PLEASE REFER TO PREVOIS PLANS VIEWS WINN THE DRAWING SET NOTE; --_- H. ALL ( 11 ' ATM' PANEL ANTENNAS a TOWER RECURRED EQUIPMENT SHALL BE PANTED 7. ALL ( PJ' ATTOMATCH THE PROPOSED MONOPINE ' oar PANEL ANTENNAS SHALL RE COVERED WITH PRE SOCKS 3. T& TRRU' S. IMA' S, AIO ERROR ARRESTORS NOT DEPICTED INTHISVEW FOR CURRY. FOR LOCATIONS C. THESE RENS. PLEASE REFER 10 PREVIOUS MANS VV.' S WITHIN RIE DRAWING SET PREPARED FOR J AT& T SPP KAHELU AVHNE NANNY HI16/1H Vander: INFRASTRUCTURE 677 ALA FAGANA Rlw. STE917 HONOLULU. NAWAI196813 APPORCI0 PONTOS oTT.T6341 A1 • ti AT' rdt TAT '' V\,t?._. A9f Y??Fa{."' ` l Yyrr 14773....:., LEIS45TALLTREE 1 E115' TAU ` ,' i TREE F a I. O. ( PI MONDPPIE STEEL ( IPI ' AT& T PAESI ANENJW $ 7 NOV. lova 1A.G.L.) IP)' ATbT PAPER ANTENNAS RAD CENTgt yy I S ,. __ ____ __ _____ ELEV. 96'#( AaAj El ANTENNA ZP EKCLUSTON DETANCE. IIP. ( SHOWN AS REFERENCE ONLY I( -- IP) AT& TPANEL ANTENNA TIP. • 6 PER SECTOR ( TOFAL' 17I I L YM - _ _ IPI ' AIRE ( 00'0 I KOH MONOPRIE 6' c f ". 4 Frya i , y- % t PIDCPOWER.( PIFOER TRUNK 1 ROUTED WRNN ( PI MOITCPINF 4L, CARIES WITHIN NNERDUCI.. 11::;'';'.:(.' r'chu. V,,,, IIP) ATAT SAM 13. 4.44:11.1'. PREEAERICATED 4i-.' E:a EOUIPAWIT SHELTER Fff IPI 6'1F' EMGII CINN TPR( FENCE w/ PRIVACY SLATS O IPI SHELTER 1, EIEV 0$(A.G.L.I4 t O IP( CHA , INKFENKE tI / ELEv. 6'O (AG.LI IP) AT& T PANEL ANTENNA FYP. d PER SECTOR ( TOTA417) PJ ANTENNA 77 Exams*. DISTANCE. -- T.O. IPI MONOPINE STEEL TVP. ( SHOWN AS REFERENCE ONLY' IP) ' ATM' PANEL ANTENNAS TIEV.( 0061 IA C.,/' r I IPI' AIRE PATEL ANTENNAS RADCENTER , EIEV.% SO(A.G,l.1 AT&T5MR3: H I L0335 9 I1I A 4. PRAWN BY; lY CHECKED RY. PAN J EYy. f. 1 ' I)"r '-" I 444. tti: NGIL IAN OPLL IdGN MpgWE 0 07/ OR/ 70 103%70E A Din6/ M. 90%1a REV DATE DESORPTION LEIldSTALL " 1 REE ` 3, 5 . t i !' f{' I t).: NC P* F'\: A ' SA`3Ff"._ k, A.3,-,- J ' Iii -F 5 _ ( PI DC POwER . IPI FRIER TRUNK CASTES 1r OUCT ROUTED WRNN ( PIRONOPIIE fSb%- SH LTCHTHC' l 1' \ , } L _. 1t • 4 ,.+ T,1P IE) f25' TALL f TREE JL y \ PREFABRICAIEO EOWPMEM LTER ( E0 OND SHELTER ( REYONDI PI 6- 0' HIGH CHAIN LRK FENCE W/ IGH CHAIN SLATS wR P. . J 21 L t ES , Qin 4546 - 11IZ,K - 7 I.O. (PISHLTER ELEV IO% IAGIJ' 1 O [ oJ CHAIN - EN( FENCE J._. ELEv, 6'OIA.G.iI PUSHSH( O GRADE AI TIE RASEOF IPI EQUIPMENT AREA Hwavd F HIL03359 SADDLE ROAD 3 44- 6800 DANIEL K. INOUYE HIGHWAY aAMUEIA, HT 96743 EI CAIUI' IA rV FINLSHED GRADE AI TIE BASEOFPI I ( EQUIPMENTAREA EIEV.D REV.00' TMS: 131d -d-015.005 6TCHMENT / TAY. Sm., Me: ELEVATIONS r,...1N.•ma... NORTHEAST ELEVATION ' ' Rrw. n., e.......••• A- 6 2 NORTHWEST ELEVATION. 1 PHOTOGRAPHS FOR SADDLE ROAD 3/ HIL03359 C C C November 4, 2020 Section 106 AT&T Mobility Saddle Road 3/HIL03359 Page 20 of 23 Figure 11. Locations of previous studies and SHIP sites within the visual APE. Figure 12. Direct APE, view to the west. Figure 13. Direct APE, view to the north. November 4, 2020 Section 106 AT&T Mobility Saddle Road 3/H1L03359 Page 21 of 23 Figure 14. Direct APE, view to the south. Figure 15. Direct APE, view to the east. 0 C C November 4, 2020 Section 106 AT&T Mobility Saddle Road 3/H1L03359 Page 22 of 23 Figure 16. View plane to the south of the Direct APE. Figure 17. View plane to the north of the Direct APE. November 4, 2020 Section 106 AT&T Mobility Saddle Road 3/HIL03359 Page 23 of 23 Figure 18. View plane to the east of the Direct APE. Figure 19. View plane to the west of the Direct APE. Attachment 8 - Historic Properties Identified in the APE for Visual Effects a. Provide the name and address (including U.S. Postal Service ZIP Code) of each property in the APE for visual effects that is listed in the National Register, has been formally determined eligible for listing by the Keeper of the National Register, or is identified as considered eligible for listing in the records of the SHPOITHPO, pursuant to Section VI.D.1.a. of the Nationwide Agreement. No properties identified. b. Provide the name and address (including U.S. Postal Service ZIP Code) of each Historic Property in the APE for visual effects, not listed in Attachment 8a, identified through the comments of Indian Tribes, NHOs, local governments, or members of the public. Identify each individual or group whose comments led to the inclusion of a Historic Property in this attachment. For each such property, describe how it satisfies the criteria of eligibility (36 C.F.R. Part 63). No properties identified. c. For any properties listed on Attachment 8a that the Applicant considers no longer eligible for inclusion in the National Register, explain the basis for this recommendation. Not applicable. Applicant's Name: AT&T Mobility, LLC Project Name: Saddle Road 3 Project Number: 14L03359 FCC Form 620 January 2005 Attachment 9 - Local Government EAS has contacted the Hawaii County Planning Department requesting comments regarding the proposed project. Correspondence is attached. Applicants Name: AT&T Mobility, LLC Project Name: Saddle Road 3 Project Number: HIL03359 FCC Form 620 January 2005 ERS November 25, 2020 Environmental Assessment Specialists, Inc. 71 San Marino Avenue Ventura CA 93003 Office (805) 650-0949 Fax 1805) 650-8054 tcww.easenv.coin Via email: planninpehawaiicounty.gov Hawaii County Department of Planning Cultural Resources Commission East Hawai`i: 101 Pauahi St 4 3 Hilo, HI 96720 Subject: Notification for Section 106 Review Project Name and Number: HIL03359/Saddle Road 3 (New Location) Project Address: 44-6800 Daniel K. Inouye Hwy, Kamuela, Hawaii 96743 TMK: (3) 4 4 015:005 Dear Planner: AT&T Mobility, LLC (AT&T) is proposing the development of a new wireless telecommunications facility at the above -referenced location. Environmental Assessment Specialists, Inc. has been retained to conduct a review of the proposed telecommunications facility for compliance with the Federal Communications Commission's (FCC) Nationwide Programmatic Agreement for Review under the National Historic Preservation Act (47 CFR Part I, dated January 4, 2005). Please note that we are requesting your review ofthe attached information as part of the Section 106 process and not as part of the local zoning process. We are only seeking comments related to the proposed project's potential effects on historic properties. The proposed undertaking, known as Saddle Road 3/H1L03359 Wireless Communication Tower and Shelter Project, consists of the construction a new wireless telecommunications facility in the northeastern corner of the Kilohana Girl Scout property (the current subject parcel). This will include a 100 -foot tall Monopine wireless communication tower with 12 panel antennas. 36 remote radio units, 6 surge suppressors and a GPS antenna, and an equipment storage lease area which will be enclosed by a 6 foot high fence within a 610 square foot area. Underground electrical and fiber optic lines will be installed in a trench that will extend from the communication tower a distance of roughly 32 feet to the prefabricated equipment shelter. A copy of the project plans and area photographs have been attached for your review. Thank you for your assistance in this matter. Should you have any questions, comments, or require additional information. please contact me at 801-381-3523 or lornaridenvirowestlIc.com. Please include the project name and number in your response. Sincerely, Lorna Billat Archaeologist -RPA 801-381-3523 1ornann envi rowestl Ic .com Attachment 10. Other Consulting Parties and Public Involvement List additional consulting parties that were invited to participate by the Applicant, or independently requested to participate. Provide any relevant correspondence or other documents. No other parties consulted. Public Notice Attached, please find a copy of legal notice regarding the proposed telecommunications installation that was posted in the West Hawaii Today on 9/16/2020 and 9/17/2020. As of the date of this submission packet, no comments regarding this notice have been received by EAS. Should a response be received, copies will be forwarded to all consulting parties as an addendum to this submission packet. See attached notice. Applicant's Name: AT&T Mobility, LLC Project Name: Saddle Road 3 Project Number: HIL03359 FCC Form 620 January 2005 AFIlIDAVrj OF I'UIII IC_AI ION 1N 1If6 NINO rF1101' PUPLIC F(11014 51.111 OF 11 MAII GIl and cnnniy of Doc. Date:..._.____. SFP 1'2 20211-__.._. # Pages: 1 Notary Name:cotinn e.GonaJA. rentJrrlioraICIrcult Doc. Description: Affidavit of Publication NolarySbne SEP 2 5 2020 D4 le NCCIARY I-t10LIC CJ1-253 Ina Vd r; la le sesendebhe lcik a rick ,d llit tnt4e. r n. c.u.o. .. I at Oda. IdaIt.n i ne Inv tab !SILO Of :'ue HonoloFi' o v- r hu B^ldmi r 5w-AJvemperNIdatark .(he Oe.Ott Island, \Vett Hahn.i ToIIN and a iii nihune IMnid. that rare n.=Impepm are MCC papen orgeoeral cur luRon in the Matt rill., tett and that at tire. had nonce nam rmice sv a pnbLMitt in the Ilonololu Star- 'dueltme. Nelid\h el ILe Oardar lrLrrd I INuaii ',bum. Icrald O m.a u11. o tins om. limes ou. C tinier On: Peg IJam.'C.Icoav 2 Mill, 0u'. 05/16,09/1712020 Od¢r Puhl.c66ons 0 times an And that affirmire not o port- ret or in any tat tm..ex ed imh; above enerlcd inane N Y L.:r SeL,kr.kr. St.tcpmci.Lic ard 2.11{r'' 1741ar r StplarbarA D co tSntarnka bl hrF roma, ar. 'dale Ona,lMscanmuny.m le GC 2024 .ar. Ad N 0001295082 1D GN6.338I416I In gm0een ON Set. 106 of is ReymmM 4ieemen. A161 platin res woods t 44.6600 OAYla N INOU HIOMYAY, WMURIn N 06143. Please deed comments Weak L at 616498.1666 retailing see NR03359. 19411]9508] 9/16.9/17/201 ICSP NO. Attachment 11 — Hawaii SHPD Specific Forms Hawaii SHPD Cover Letter 6E Form Applicant's Name: AT&T Mobility, LLC Project Name: Saddle Road 3 Project Number: HIL03359 FCC Form 620 January 2005 November 25, 2020 Environmental Assessment Specialists, Inc. 71 San Marino Avenue Ventura CA 93003 Office (805) 650-0949 Fax (305) 650-8054 www_easenv.com Via: dIncintake.shpd@hawaiigov Alan Downer, PhD. Deputy State Historic Preservation Officer State Historic Preservation Division, DLNR 601 Kamokila Blvd., Ste. 555 Kapolei, HI 96707 SUBJECT: NHPA Section 106 Agencies: Federal Communications Commission & Department of Planning and Permitting Project Name: Saddle Road 3/HIL03359 Location: 44-6800 Daniel K. Inouye Hwy, Kamuela, HI 96743 Kaohe Ahupuaa, Hilo District, Island of Hawaii TMK: (3) 4-4-015:005 Dear Mr. Downer: Environmental Assessment Specialists. Inc. (EAS) who is submitting on behalf of AT&T Mobility and the Federal Communications Commission (FCC) to install a new. unmanned telecommunications facility at 44-6800 Daniel K. Inouye Hwy, near Kamuela. There is ground disturbance associated with this project. As this project requires a federal license and approval, it is subject to Section 106 of the National Historic Preservation Act (NHPA) and as the project requires a building permit, it is subject to §6E-42, HRS. Included in this submittal is the FCC Form 620 (Section 106) packet, a cultural resource report, and a 6E Form. For purposes of36 CFR 800, the Area of Potential Effect (APE) is defined as the 6.875 -acre subject property upon which the equipment lease area, a 100 -ft tall monopine, and ground disturbance will occur (-610-sf for equipment lease area, roughly approximately 100 -ft of trenching for power/fiber from the proposed compound to an existing utility pole (trenching within access road). see plans and photographs; for a total of 2,000-sf. The indirect APE is defined as a one-half (0.5) -mile radius from the direct APE. EAS has retained ASM Affiliates (ASM) to conduct the record search and archaeological assessment for this project. ASM is staffed with qualified archaeologists and their qualifications are included in the resume attached to the report. A record of consultation is included in the FCC submittal packet. Identification and Inventory of Historic Properties 1. There are no historic properties or cultural resource sites in the Direct APE. There are no historic properties within the Visual APE. Evaluation of Significance Not Applicable 1 ERS Effect Determinations Environmental Assessment Specialists, Inc. 71 San Marino Avenue Ventura CA 93003 Office (805) 650-0949 Fax (805) 650-8054 www.easenv.com The subject parcel and the area immediately surrounding the Direct APE has been modified for human use dating from WWII (c.1940s) to the present and since 1954 has been utilized by the Girl Scout Council ofHawai`i as a recreation area. As a result of the field inspection, there were no specific historic features observed within the Direct APE, and while the Kilohana Girl Scout Camp parcel might be considered a historic property. it was not identified as such as a result of the SHPD-accepted McElroy and Duhaylonsod2018) study. There are no historic properties within either the direct or visual APEs. Per 36 CFR 800.4(d)(1) project effect determination of"no historic properties affected". Per §I 3-284-7, HAR, the project will have no effect on significant historic properties, therefore the undertaking is determined to be "no historic properties affected". Mitigation Given the determination of"no historic properties affected", EAS is not proposing mitigation commitments. EAS, is requesting the State Historic Preservation Officer's (SHPO) acceptance ofthe APE and concurrence with the effect determination of"no historic properties affected". Thank you, Loma eillat EAS 71 San Marino Avenue Ventura, CA 93003 801-381-3523 lornarenvirowestl Ic.com cc: Susan.A.Lebo@hawaii.gov Attachments: Cover Letter FCC Form 620 Form Cultural Resource Report 6E Form 6E Submittal Cover Archaeological Inventory Survey HIL03359/Saddle Road 3 Archaeological Inventory Survey (AIS) Conducted by ASM Affiliates September 2020 Premise for AIS An archaeological inventory survey (AIS) should be conducted by a qualified archaeologist who meets the educational and experience qualifications enumerated in the Secretary of the Interior's professional qualifications. The AIS can include a number of different methodologies, including pedestrian surveys as well as trenching. Determining what methodologies will be used depends primarily on the proposed project location and what the project involves. Research of previous archaeological studies and historic contexts of the area often reveal the potential for artifacts and the types of artifacts. Knowledge of the different strata in a given area provides a foundation for understanding what eras the artifacts date from. The footprint and type of ground disturbing activity is considered in determining the scope of work for the AIS (e.g. is the project demolition and replacement of a concrete slab, or installing pilings for a new high rise?). Another major consideration is the setting of the proposed project. For example, methodologyforanAISdiffersforaprojectinaruralsettingfromoneinanurbanarea. Additionally, existing conditions, such as sewer lines and presence of buildings, are taken into consideration when deciding on the methodology of AIS. Taking into account the historic context, previous studies, proposed project's scope of work, project setting, locations existing conditions decides how the AIS will be carried out. This scope of work should be agreed upon with the State Historic Preservation Division. Honua Consulting has consulted with Susan Lebo, Archaeology Branch Chief of the State Historic Preservation Division (SHPD), regarding the AT&T HIL03359/Saddle Road 3 a new telecommunications facility project on Hawaii island. Based on the above direction from SHPD an AIS needs to be conductedforeveryrawlanddevelopment. AIS Fieldwork An archaeological field inspection was conducted at the proposed wireless facility on September 20, 2020. Fieldwork was completed by ASM archaeologist Benjamin Barna, PhD. The field inspection consisted of a100percentpedestriansurveyoftheproposedwirelessfacilityDirectAPE. The entire lease area was inspected by walking systematically in sweeps across the Direct APE (100% surface survey). The ground surface was easily visible as the majority of the vegetation within the Direct APE is a maintained landscaped with only some overgrown areas where the vegetation was approximatelyhip -high. The proposed lease area is located on a rock outcrop with very little (<5 cm) soil accumulation, and the terrain in the majority of the lease area is level to gently sloping. The proposed tower location is situated on level ground between to existing water tanks. The subject parcel and the area immediatelysurroundingtheDirectAPEhasbeenmodifiedforhumanusedatingfromWWII (c.1940s) to the present and since 1954 has been utilized by the Girl Scout Council of Hawai'i as a recreation area. As a result of the field inspection, there were no specific historic features observed within the Direct APE, and while the Kilohana Girl Scout Camp parcel might be considered a historic property, it was not identified as such asaresultoftheSHPD-accepted McElroy and Duhaylonsod (2018) study. AIS Results No historic properties are present on the ground surface within the Direct APE. Based on the soil conditions coupled with and the negative results of the previous subsurface testing conducted by McElroy and Duhaylonsod (2018) the likelihood of encountering subsurface archaeological deposits during the ground disturbance for utility trenching is very low. There are no sites listed or determined eligible for listing in the NRNP or HRHP within the Visual APE. Thus, the proposed undertaking (AT&T Mobility Saddle Road 3/HIL03359, New Wireless Communication Tower Project) will have no effect on historic properties within the Visual APE or the Direct APE. Environmental Assessment Specialists, Inc. 71 San Marino Avenue Ventura CA 93003 Office (805) 650-0949 Fax (805) 650-8054 www.easenv.com DATE: February 12, 2021 TO: AT&T Mobility, LLC FROM: Scott Billat, Environmental Assessment Specialists, Inc. (EAS) RE: Tower Construction Notification System (TCNS) Escalation Package Site ID#/Name: HIL03359A/Saddle Road 3 Address: 44-6800 Daniel K. Inouye Hwy, Kamuela, County, HI 96743 TMK. (3) 4 4 015:005 TCNS ID#: 218814 Date of Initiation to FCC: 9/4/2020 Date of First Tribal Notification: 9/11/2020 Date of Second Tribal Notification: 10/5/2020 Date of Third Tribal Notification to OHA: 1/20/2021 Date of Escalation to FCC: 1/21/2021 End of Referral: 2/11/2021 Tribe Responses Office of Hawaiian Affairs Cleared thru referral Dept of Land and Natural Resources Responded; no concerns Please find attached TCNS Package containing: 1. TCNS Initiation Letter 2. TCNS Notification Letter 3. Tribal Lists 4. Responses 5. Escalation to FCC Tower Construction Notification L FCC FederalOorrunical ccs Commission htsps://wireless2.fcc.gov/TribalHistoricNotification/asrConhmmtion.htm FCC Home I Search I Updates I E-Filinq I Initiatives I For Consumers I Find People Tower Construction Notification FCC > WTB > Tower Construction Notification Logged In: (Log Out) Section 106 Tower Construction Notification New Notification Notifications Home J FCC Site Map Your Notification has been successfully submitted to the FCC. The date for this Notification is 09/04/2020. Your Notification ID number is 218614. Please make a note of this Notification ID — print out this page for your records. A confirmation of this submitted notification will also be emailed to the email address specified in your notification. This system is intended to facilitate consultation under Section 106 of the National Historic Preservation Act by providing early notification of proposed construction to Tribes and State Historic Preservation officers. This system is not to be used in place of Section 106 consultation, and use of this notification system in itself does not satisfy parties' obligations with respect to historic preservation review under the Commission's rules. Please note: the submission of this notification is NOT to be considered a submission for Antenna Structure Registration. Tower Structures that require antenna structure registration based on FCC Rules 47 C.F.R. Part 17 must complete FCC Form 854 after FM clearance is obtained. ASR Help ASR Online Systems About ASR ASR License Glossary - FAQ - Online Help - Documentation - Technical Support TOWAIR- CORES/ASR Registration - ASR Online Filing - Application Search - Registration Search Privacy Statement - About ASR - ASR Home Federal Communications Commission 445 12th Street SW Washington, DC 20554 More FCC Contact Information... Phone: 1-877-480-3201 TTY: 1-717-338-2824 Fax: 1-866-418-0232 Submit Help Request Web Policies 8 Privagy Statement @gguired Browser Plug -ins Customer Service Standardq Freedom of Information Act 1 oft 9/4/20,11:58 AM Wednesday, November 25, 2020 at 16:47:58 Mountain Standard Time Subject: Proposed Tower Structure Info - Email ID k7312856 Date: Friday, September 4, 2020 at 11:57:48 AM Mountain Daylight Time From: towernotifyinfo@fcc.gov To: lorna@envirowestlIc.com Dear Lorna Billat, Thank you for submitting a notification regarding your proposed construction via the Tower Construction Notification System. Note that the system has assigned a unique Notification ID number for this proposed construction. You will need to reference this Notification ID number when you update your project's Status with us. Below are the details you provided for the construction you have proposed: Notification Received: 09/04/2020 Notification ID: 218814 Tower Owner Individual or Entity Name: AT&T Mobility, LLC Consultant Name: Street Address: 330 S Woodland Hills Drive City: Woodland Hills State: UTAH Zip Code: 84653 Phone: 801-381-3523 Email: lorna@envirowestlic.com Structure Type: MTOWER - Monopole Latitude: 19 deg 48 min 48.5 sec N Longitude: 155 deg 38 min 0.6 sec W Location Description: 44-6800 Daniel K. Inouye Hwy (3) 4-4-015:005 City: Kamuela State: HAWAII County: HAWAII Detailed Description of Project: Proposed 100 -ft tall monopine outside a proposed 28 -ft by 22 -ft enclosure forequipment. Ground Elevation: 1723.3 meters Support Structure: 30.5 meters above ground level Overall Structure: 30.5 meters above ground level Overall Height AMSL: 1753.8 meters above mean sea level Page 1 of 1 Wednesday, November 25, 2020 at 16:48:10 Mountain Standard Time Subject: NOTICE OF ORGANIZATION(S) WHICH WERE SENT PROPOSED TOWER CONSTRUCTION NOTIFICATION INFORMATION - Email ID #7317441 Date: Friday, September 11, 2020 at 1:16:17 AM Mountain Daylight Time From: towernotifyinfo@fcc.gov To: lorna@envirowestfic.com CC: tcnsweekly@fcc.gov Dear Applicant: Thank you for using the Federal Communications Commission's (FCC) Tower Construction Notification System (TCNS). The purpose of this electronic mail message is to inform you that the following authorized persons were sent the notification that you provided through TCNS, which relates to your proposed antenna structure. The information was forwarded by the FCC to authorized TCNS users by electronic mail and/or regular mail (letter). We note that the review period for all parties begins upon receipt of the Submission Packet pursuant to Section VII.A of the NPA and notifications that do not provide this serve as information only. Persons who have received the notification that you provided include leaders or their designees of federally - recognized American Indian Tribes, including Alaska Native Villages (collectively "Tribal Nations"), Native Hawaiian Organizations (NHOs), and State Historic Preservation Officers (SHPOs). For your convenience in identifying the referenced Tribal Nations and NHOs and in making further contacts, the City and State of the Seat of Government for each Tribal Nation and NHO, as well as the designated contact person, is included in the listing below. We note that Tribal Nations may have Section 106 cultural interests in ancestral homelands or other locations that are far removed from their current Seat of Government. Pursuant to the Commission's rules as set forth in the Nationwide Programmatic Agreement for Review of Effects on Historic Properties for Certain Undertakings Approved by the Federal Communications Commission (NPA), all Tribal Nations and NHOs listed below must be afforded a reasonable opportunity to respond to this notification, consistent with the procedures set forth below, unless the proposed construction falls within an exclusion designated by the Tribal Nation or NHO. (NPA, Section IV.F.4). The notification that you provided was forwarded to the following Tribal Nations and NHOs. A Tribal Nation or NHO may not respond until a full Submission Packet is provided. If, upon receipt, the Tribal Nation or NHO does not respond within a reasonable time, you should make a reasonable effort at follow-up contact, unless the Tribal Nation or NHO has agreed to different procedures (NPA, Section IV.F.5). In the event a Tribal Nation or NHO does not respond to a follow-up inquiry, or if a substantive or procedural disagreement arises between you and a Tribal Nation or NHO, you must seek guidance from the Commission (NPA, Section IVG). These procedures are further set forth in the FCC's Second Report and Order released on March 30, 2018 (FCC 18-30). 1. Compliance Enforcement Anita C Manzano - Office of Hawaiian Affairs - 560 N. Nimitz Hwy., Suite 200 Honolulu, HI - anitam@oha.org - 808-594-1755 - electronic mail and regular mail Exclusions: The Office of Hawaiian Affairs (OHA) is not interested in reviewing TCNS projects that involve the replacement of existing structures on rooftops or buildings; the installation of new structures on rooftops or buildings; or, projects that do not involve ground disturbing work. The notification that you provided was also forwarded to the following SHPOs in the State in which you propose to construct and neighboring States. The information was provided to these SHPOs as a courtesy for their information and planning. You need make no effort at this time to follow up with any SI -IPO that does not respond to Page 1 of 3 this notification. Prior to construction, you must provide the SHPO of the State in which you propose to construct (ortheTribalHistoricPreservationOfficer, if the project will be located on certain Tribal lands, with a Submission Packet pursuant to Section VILA of the NPA unless the project is excluded from SHPO review under Section III D or E of theNPA. 2. Chairperson Suzanne D Case - Department of Land & Natural Resources - 1151 Punchbowl Street - Room 220 Honolulu, HI - suzanne.case(ahawaii.gov; RusseiLY.Tsujjhawaii.gQu - 808-587-0401 - regular mail 3. Deputy SHPO Theresa K Donham - State Historic Preservation Office - 601 Kamokila Blvd Room 555 Kapolei, HItheresa.k.donhamfahawaii.gov-808-692-8015 -electronic mail TCNS automatically forwards all notifications to all Tribal Nations and SHPOs that have an expressed interest in the geographic area of a proposal. However, if a proposal for PTC wayside poles falls within a designated exclusion, you need not expect any response and need not pursue any additional process with that Tribal Nation or SHPO. In addition, a particular Tribal Nation or SHPO may also set forth policies or procedures within its details box that exclude from review certain facilities (for example, a statement that it does not review collocations with no ground disturbance; or that indicates that no response within 30 days indicates no interest in participating in pre - construction review). Please be advised that the FCC cannot guarantee that the contact(s) listed above have opened and reviewed an electronic or regular mail notification. If you learn that any of the above contact information is no longer valid, please contact the FCC by emailing tcnshelp_©fcc.gov. The following information relating to the proposed tower wasforwardedtotheperson(s) listed above: Notification Received: 09/04/2020 Notification ID: 218814 Excluded from SHPO Review: No Tower Owner Individual or Entity Name: AT&T Mobility, LLC Consultant Name: Street Address: 3305 Woodland Hills Drive City: Woodland Hills State: UTAH Zip Code: 84653 Phone: 801-381-3523 Email: lorna faenvirowestl I c. com Structure Type: MTO W ER - Monopole Latitude: 19 deg 48 min 48.5 sec N Longitude: 155 deg 38 min 0.6 sec W Location Description: 44-6800 Daniel K. Inouye Hwy (3) 4-4-015:005 City: Kamuela State: HAWAII County: HAWAII Detailed Description of Project: Proposed 100 -ft tall monopine outside a proposed 28 -ft by 22 -ft enclosure forequipment. Ground Elevation: 1723.3 meters Support Structure: 30.5 meters above ground level Page 2 of 3 Overall Structure: 30.5 meters above ground level Overall Height AMSL: 1753.8 meters above mean sea level If you have any questions or comments regarding this notice, please contact the FCC using the electronic Help Request form located on the FCC's website at: https://www.fcc.gov/wireless/available-support-services You may also call the FCC Support Center at (877) 480-3201 (TTY 717-338-2824). Hours are from 8:00 a.m. to 6:00 p.m. Eastern Time, Monday through Friday (except Federal holidays). To provide quality service and ensure security, all telephone calls are recorded. Thank you, Federal Communications Commission Page 3 of 3 DARIO Y. ice ERROR OF SARNI STATE OF HAWAII DEPARTMENT OF LAND AND NATURAL RESOURCES LAND DIVISION POST OFFICE BOY 621 HONOLULU, HAWAII 96809 October 13, 2020 EnviroWest, LLC Attention: Ms. Lorna Billat 330 S. Woodland Hills Drive Woodland Hills, UT 84653-2004 Dear Ms. Billat: StTLXI D. caa CHAIRPERSON BOARD OrLANDA\u \AIBRAP xrwlx¢s COMMISSION ON C.VIER RUCSEWE etl ACF]¢xr via email: lorna otCenvirowestllc.com SUBJECT FCC Wireless Telecommunications -TONS ID 218814 — AT&T Mobility, LLC MTOWER — Monopole located at 44-6800 Daniel K. Inouye Highway, Kamuela, Island of Hawaii; TMK: (3) 4-4-015:005 Thank you for the opportunity to review and comment on the subject matter, The LandDivisionoftheDepartmentofLandandNaturalResources (DLNR) distributed or made available a copy of your request pertaining to the subject matter to DLNR's Divisions for their review andcomments. At this time, enclosed are comments from the (a) Engineering Division, (b) Division ofForestry & Wildlife, and (c) Land Division — Hawaii District on the subject matter. Should youhaveanyquestions, please feel free to contact Darlene Nakamura at (808) 587-0417 or email: darlene.k.nakamura©hawaii.gov. Thank you. Sincerely, Russell Tsuji Russell Y. Tsuji Land Administrator Enclosures cc: Central Files DEPARTMENT OF LAND AND NATURAL RESOURCES ENGINEERING DIVISION LD/Russell Y. Tsuji Ref: FCC Wireless Telecommunications-TCNS Id 218814 — AT&T Mobility, LLC MTO WER — Monopole Location: 44-6800 Daniel K. Inouye Highway, Kamuela, Island of Hawaii TMK(s): (3) 4-4-015:005 Applicant: FCC Wireless Telecommunications on behalf of AT&T Mobility, LLC COMMENTS The rules and regulations of the National Flood Insurance Program (NFIP), Title 44 of the Code of Federal Regulations (44CFR), are in effect when development falls within a Special Flood Hazard Area (high risk areas). State projects are required to comply with 44CFR regulations as stipulated in Section 60.12. Be advised that 44CFR reflects the minimum standards as set forth by the NFIP. Local community flood ordinances may stipulate higher standards that can be more restrictive and would take precedence over the minimum NFIP standards. The owner of the project property and/or their representative is responsible to research the Flood Hazard Zone designation for the project. Flood Hazard Zones are designated on FEMA's Flood Insurance Rate Maps (FIRM), which can be viewed on our Flood Hazard Assessment Tool (FHAT) (http://gis.hawaiinfip.org/FIAT). If there are questions regarding the local flood ordinances, please contact the applicable County NFIP coordinating agency below: o Oahu: City and County of Honolulu, Department of Planning and Permitting 808) 768-8098. o Hawaii Island: County of flawaii, Department of Public Works (808) 961-8327. o Maui/Molokai/Lanai County of Maui, Department of Planning (808) 270-7253. o Kauai: County of Kauai, Department of Public Works (808) 241-4896. Signed Date: 6) CARTY S. CHANG. CHIEF ENGINEER Oct 7, 2020 DAVID Y. !GE GOVERNOR OF HAWAII STATE OF HAWAII DEPARTMENT OF LAND AND NATURAL RESOURCES LAND DIVISION POST OFFICE BOX 621 HONOLULU. HAWAII 96809 SI ?ANNE 0. CASE BOARD 01. vAFMMVRCnenmstuxoWTG{F September 21, 2020 FROM: MEMORANDUM TO. DLNR Agencies: Div. of Aquatic Resources Div. of Boating & Ocean Recreation X Engineering Division (DLNR.ENGR(a,hawaiiciov) X Div. of Forestry & Wildlife (rubvrosa.t.terrago(ahawaii.gov) Div. of State Parks X Commission on Water Resource Management (DLNR.CWRM@hawaii.00v) Office of Conservation & Coastal Lands X Land Division — Hawaii District (gordon.c.heit hawaii.gov) X Historic Preservation (DLNR.Inlake.SHPDahawaii.00v) To: FFi6114:Russell Y. Tsuji, Land Administrator Russell Tspji SUBJECT: FCC Wireless Telecommunications -TONS ID 218814 — AT&T Mobility, LLCMTOWER - Monopole LOCATION: 44-6800 Daniel K. Inouye Highway, Kamuela, Island of Hawaii; TMK: (3) 4- 4-015:005 APPLICANT: FCC Wireless Telecommunications on behalf of AT&T Mobility, LLC Transmitted for your review and comment is information on the above -referenced subjectmatter. Please submit comments by October 12, 2020. If no response is received by the above date, we will assume your agency has nocomments. Should you have any questions about this request, please contact Darlene Nakamuraatdarlene.k.nakamuraOhawaii.gov. Thank you. We have no objections. We have no comments. Comments are attached. Signed: Print Name Division: Date: Attachments cc: Central Files Carty S. Chang, Chief Engineer Engineering Division Oct 7, 2020 DAVID Y. ME GOVERNOR OF SUMO STATE. OF HAWAII DEPARTMENT OF LAND AND NATI'Il.Ai. RESOURCES LAND DIVISION POSFOFFICL BON 021 HONOLULU HAWAII 96809 September 21, 2020 MEMORANDUM xxxso, BOARD 0LANOA% sD DAMER&RE,mtR ATrD: G usMENREso, TO: DLNR Agencies: Div. of Aquatic Resources Div. of Boating & Ocean Recreation X Engineering Division (DLNR.ENGR(iilhawailgov) X Div. of Forestry & Wildlife(rubvrosa.t.terrago(c hawaiigov) Div. of State Parks X Commission on Water Resource Management (DLNRCWRM@hawaii.gov) Office of Conservation & Coastal Lands X Land Division — Hawaii District (gordon.c heit(&hawaii.gbv) XHistoric Preservation (DLNR.Intake.SHPD(iThawaii.gov) FROM: Russell Y. Tsuji, Land Administrator Russe!/Tsuji SUBJECT: FCC Wireless Telecommunications-TCNS ID 218814 — AT&T Mobility, LLC MTOWER - Monopole LOCATION: 44-6800 Daniel K. Inouye Highway, Kamuela, Island of Hawaii; TMK: (3) 4- 4-015:005 APPLICANT: FCC Wireless Telecommunications on behalf of AT&T Mobility, LLC Transmitted for your review and comment is information on the above -referenced subject matter. Please submit comments by October 12, 2020. If no response is received by the above date, we will assume your agency has no comments. Should you have any questions about this request, please contact Darlene Nakamura atdarlene.k.nakamura(@hawaii.gov. Thank you. We have no objections. We have no comments. Comments are attached. Signed: Print Name Division: Date: Attachments cc: Central Files 01) DAVID G. SMITH, Administrator Division of Forestry and Wildlife Oct 8, 2020 MEMORANDUM STATE OF HAWAII DEPARTMENT OF LAND ANI) NATURAL RESOURCES DIVISION OF FORESTRY AND WILDLIFE 1151 PUNCHBOWL Si BEET. ROOM 325 I IONOLIILU. HAWAII 96813 October 8, 2020 TO: RUSSELL Y. TSUJI. Administrator Land Division FROM: DAVID G. SNI[1 H, Administrator Division of Forestry and Wildlife I Log no. 2820 SUBJECT: Division of Forestry and Wildlife Comments for AT &T Mobility, LLC Monopole (MTOWER) on the Daniel K. Inouye Highway, Kamuela The Department of Land and Natural Resources, Division of Forestry and Wildlife (DOFAW) has received your inquiry regarding the AT&T Mobility, LLC monopole tower in Kamuela on the Island of Hawaii, TMK: (3) 4-5-015:005. The proposed project consists of constructing a 100 - foot tall monopine outside a proposed 28 -foot by 22 -foot enclosure for equipment. The State listed Hawaiian Hoary Bat or'Ope'ape'a (Lnsimzu cinereas semoius) has the potential to occur in Ibe vicinity of the project area and may roost in nearby trees. If any site clearing isrequiredthisshouldbetimedtoavoiddisturbanceduringthebatbirthingandpuprearingseasonJuneIthroughSeptember15). If this cannot be avoided, woody plants greater than 15 feet (4.6 meters) tall should not be disturbed, removed, or trimmed without consulting DOFAW. Additionally, barbed wire should be avoided for any construction because bat mortalities have been documented as a result of becoming ensnared by barbed wire during flight. DOFAW recommends minimizing the movement of plant or soil material between worksites, such as in fill. Soil and plant material may contain invasive fungal pathogens (e.g. Rapid'Ohi'a Death), vertebrate and invertebrate pests (e.g. Little Fire Ants). or invasive plant parts that could harm our native species and ecosystems. We recommend consulting the Big Island Invasive Species Committee at (808) 933-3340 in planning, design, and construction of the project to learn of anyhigh-risk invasive species in the area and ways to mitigate spread. All equipment, materials, and personnel should be cleaned of excess soil and debris to minimize the risk of spreading invasivespecies. Gear that may contain soil, such as work boots and vehicles, should be thoroughly cleaned with water and sprayed with 70% alcohol solution to prevent the spread of Rapid 'Ohi'a Deathandotherharmfulfungalpathogens. We note that artificial lighting can adversely impact seabirds that may pass through the area at night by causing disorientation. This disorientation can result in collision with manmade artifactsorgroundingofbirds. For nighttime lighting that might be required. DOFAW recommends that all lights be fully shielded to minimize impacts. Nighttime work that requires outdoor lighting should be avoided during the seabird fledging season from September 15 through December 15. This is the period when young seabirds take their maiden voyage to the open sea. For illustrations and guidance related to seabird-friendly light styles that also protect the dark. starry skies of Hawaii please visit: https:l/dInr.hawaii.gov/w ildlife/files/2016/03/DOC-139.pdf. We appreciate your efforts to work with our office for the conservation of our native species. Should the scope of the project change significantly. or should it become apparent that threatened or endangered species may be impacted, please contact our staff as soon as possible. If you have any questions. please contact Lauren Taylor, Protected Species Habitat Conservation Planning Coordinator at (808) 587-0010 or lauren.tavlor(FiThawaii.gov. DAVID Y. me STATE OF HAWAII! UEPARTMEN T OF LAND ANO, NATURAL RESOURCES LAND DIVISION HIST OFFICE BOX 621 1IONOLUr. U, I IAWAII 96809 September 21, 2020 MEMORANDUM rCRsoa onnLnn o.: WAMAREini` ACE TO: DLNR Agencies: Div. of Aquatic Resources Div. of Boating & Ocean Recreation X Engineering Division (DLNR.ENGR{u hawairgov) X Div. of Forestry & Wildlife (I uhyrosa.t terrago(Thawaii.goy) Div. o1 Slate Parks X Commission on Water Resource Management (DLNR.CWR1x hawaii. ov Office of Conservation & Coastal Lands X Land Division - Hawaii District (gordon.c,heit(dJhawaii goy) X Historic Preservation (DLNR. Inlake,SHPD'uihawaii.gov) FROM:Russell Y. Tsuji, Land Administrator .PusseH Tsur SUBJECT: FCC Wireless Telecommunications -TONS ID 218814 - AT&T Mobility, LLCMTOWER - Monopole LOCATION: 44-6800 Daniel K. Inouye Highway, Kamuela, Island of Hawaii; TMK: (3) 4- 4-015:005 APPLICANT: FCC Wireless Telecommunications on behalf of AT&T Mobility, LLC Transmitted for your review and comment is information on the above -referenced subjectmatter. Please submit comments by October 12, 2020. If no response is received by the above date, we will assume your agency has nocomments. Should you have any questions about this request, please contact Darlene Nakamuraatdarlenek.nakamuraahawaii,qov. Thank you. We have no objections. We have no comments. Comments are attached. Signed: Print Name: Division: Date: Attachments cc: Central Ales rko 2 7-50N r. F!% U F Friday, February 12, 2021 at 11:51:58 Mountain Standard Time Subject: FW: TCNS#218814 AT&T Saddle Road 3/HIL03359 Date: Wednesday, January 20, 2021 at 12:43:57 PM Mountain Standard Time From: Lorna Billat To: Kathy Keala, Kamakana Ferreira Priority: High Attachments: 32180.19 - EnviroWest AT&T Saddle Road 3 HIL03359 (new location).pdf, 3-4-4-015_2020- 02905_2020PR35012_2101DB06_ARCHY_6E42_106_DTRM_CON_NHPA.pdf, image001.png, image002.png ill Rainy/ Ndl idddl,d. Just received the SHPD concurrence for this project today. I've attached the cultural resource report and the SHPD response for your review. Please let me know your comments or concerns. Thanks for your help. Lorna Billat Archaeologist-RP.4 EnviroWest 801-:381-3523 lorna@ envirowestllc.com From: Lorna Billat <lorna@envirowestllc.com> Date: Wednesday, January 20, 2021 at 12:29 PM To: <lorna@envirowestllc.com> Subject: Fwd: TCNS#218814 AT&T Saddle Road 3/HIL03359 Sent from my iPhone Begin forwarded message: From: "OHACompliance @oha.org" <ohacompliance@oha.org> Date: October 5, 2020 at 12:51:55 PM MDT To: Lorna Billat <lorna@envirowestllc.com>, "OHACompliance @oha.org" ohacompliance@oha.org> Subject: RE: TCNS#218814 AT&T Saddle Road 3/H1103359 Aloha Lorna, Mahalo for your quick response. Yes, thank you, we look forward to reviewing both the report and SHPD's response. Have a great week! Kathy Kathryn Kea la Phone: 808-594-0272 From: Lorna Billat <lorna@envirowestllc.com> Sent: Monday, October 5, 2020 7:55 AM To: OHACompliance @oha.org <ohacompliance@oha.org> Subject: Re: TCNS#218814 AT&T Saddle Road 3/HIL03359 Hi Kathy: Our subcontractor will conduct an archaeological assessment (field work) of the subject property and proposed action and then submit the results of the record search and field inventory to us. We submit the package as part of the FCC SHPO submittal to SHPD for review and then they will respond. I can send you a copy of the report when I receive it or if you want to wait I can send both the report and SHPD response when I receive it. I'm happy to do either or both. Lorna Billat Archaeologist -RPA EnviroWest 801-381-3523 lorna@envirowestdc.com From: "OHACompliance @oha.org" <ohacompliance@oha.org> Date: Monday, October 5, 2020 at 11:46 AM To: Lorna Billat <lorna@envirowestllc.com> Cc: Kamakana Ferreira <kamakanaf@oha.org> Kai Markel) <kaim@oha.org> OHACompliance @oha.org" <ohacompliance@oha.org> Subject: RE: TCNS#218814 AT&T Saddle Road 3/HIL03359 Aloha Lorna, The Office of Hawaiian Affairs (OHA) is in receipt of your email dated September 24, 2020. Mahalo for your email with the attached project plan for TCNS#218814 located at 44-6800 Daniel K. Inouye Hwy, Ka'ohe Mauka, Hamakua, Hawaii. Based on the project plans, it does look like this is all new construction and ground disturbing activity includes a new monopine, antenna, radio units, and compound (with fencing and concrete pads). Your email mentions field work has not been completed and the field work report will follow from the subcontractor. Can you explain what is meant by "field work". As a point of clarification, has the work commenced for this project or is this archaeological work? It is unclear if this is actual work currently taking place while consultation is in progress. If this is archaeological work, ORA is interested in reviewing the report and any State Historic Preservation Division comments. OHA looks forward to your reply. Mahalo, Kathy Kathryn Keala Phone: 808-594-0272 From: Lorna Billat <lorna@envirowestllc.com> Sent: Thursday, September 24, 2020 6:38 AM To: OHACompliance @oha.org <ohacompliance@oha.org>r Kathy Keala <kathyk@oha.org> Subject: TCNS4218814 AT&T Saddle Road 3/HIL03359 Importance: High Hi all: Our subcontractor on Hawaii has not yet completed the field work for the above project. I've attached the project plans which I usually submit when I initiate TCNS. We will send over the field work report when we receive it from the subcontractor. Thanks! Lorna Billat Archaeologist -RPA EnviroWest 8o1-381-8523 lorna( emdrowestllc.com Friday, February 12, 2021 at 11:24:41 Mountain Standard Time Subject: Proposed Construction of Communications Facilities Notification of Final Contacts - Email ID #28602 Date: Thursday, January 21, 2021 at 7:02:51 AM Mountain Standard Time From: towernotifyinfo@fcc.gov To: lorna@envirowestlIc.com CC: tcnsweekly@fcc.gov AT&T Mobility, LLC Lorna Billat 330 5 Woodland Hills Drive Woodland Hills, UT 84653 Dear Applicant: This letter addresses the proposed communications facilities listed below that you have referred to the Federal Communications Commission (Commission) for purposes of contacting federally recognized Indian Tribes, includingAlaskaNativeVillages (collectively Indian Tribes), and Native Hawaiian Organizations (NHOs), as specified by SectionIV.G of the Nationwide Programmatic Agreement (NPA). Consistent with the procedures outlined in the Commission'sWirelessInfrastructureSecondReportandOrder (1), we have contacted the Indian Tribes or NHOs identified in theattachedTablefortheprojectslistedintheattachedTable. You referred these projects to us between 01/14/2021and01/21/2021. Our contact with these Tribal Nations or NHOs was sent on 01/21/2021. Thus, as described in the Wireless Infrastructure Second Report and Order (2), if you or Commission staff do notreceiveastatementofinterestregardingaparticularprojectfromanyTribeorNHOwithin15calendardaysof01/21/2021, your obligations under Section IV of the NPA with respect to these Tribal Nations or NHOs are complete. If a Tribal Nation or NHO responds that it has concerns about a historic property of traditional religious and cultural significance that may be affected by the proposed construction within the 15 calendar day period, the Applicant mustinvolveitinthereviewassetforthintheNPA, and may not begin construction until the process set forth in the NPAiscompleted. You are reminded that Section IX of the NPA imposes independent obligations on an Applicant when a previouslyunidentifiedsitethatmaybeahistoricproperty, including an archeological property, is discovered duringconstructionorafterthecompletionofreview. In such instances, the Applicant must cease construction and promptly notify, among others, any potentially affected Tribal Nation or NHO. A Tribal Nation's or NHO's failure toexpressinterestinparticipatinginpre -construction review of an undertaking does not necessarily mean it is notinterestedinarcheologicalpropertiesorhumanremainsthatmayinadvertentlybediscoveredduringconstruction. Hence, an Applicant is still required to notify any potentially affected Tribal Nation or NHO of any such finds pursuanttoSectionIXorotherapplicablelaw. Sincerely, Jill Springer Federal Preservation Officer Federal Communications Commission ji I I.spr. nger(afcc.gov 1) See Accelerating Wireless Broadband Deployment by Removing Barriers to Infrastructure Deployment, SecondReportandOrder, FCC 18-30 (Mar. 30, 2018) (Wireless Infrastructure Second Report and Order). 2) See id. at paras. 111-112. LIST OF PROPOSED COMMUNICATIONS TOWERS TCNS# 217820 Referred Date: 01/20/2021 Location: Off Upper Kanaio Road (2) 2-1-009:017, Kula, HI Page 1 of 2 beneath light pole for power/fiber connections to existing utility vaults. Tribe Name: Apache Tribe of Oklahoma Tribe Name: Eastern Shoshone Tribe Tribe Name: Kiowa Indian Tribe THPO Tribe Name: Mescalero Apache Tribe Tribe Name: Puebla of Zuni Tribe Name: Salt River Pima-Maricopa Indian Community Tribe Name: Skull Valley Band of Goshute Indians Tribe Name: Tonto Apache Tribal Council TCNS# 223791 Referred Date: 01/18/2021 Location: Off Hwy 410, Enumclaw, WA Detailed Description of Project: Proposed 184 -ft tall lattice tower within a 50 -ft by 50 -ft equipment lease area. Trenching proposed for utilities, and a new access road is also proposed. Tribe Name: Blackfeet Nation Tribe Name: Eastern Shoshone Tribe Tribe Name: Muckleshoot Indian Tribe Tribe Name: Puyallup Tribe of Indians Tribe Name: Squaxin Island Tribe Tribe Name: Suquamish Tribe Tribe Name: Tulalip Tribes of the Tulalip Reservation LEGEND: Notification numbers are assigned by the Commission staff for sites where initial contact was not made through TCNS. Page 2 of 2 ATTACHMENT 12 - FLOOD HARD REPORT 0575F BASEMAP: FIRM BASEMAP S O Flood Hazard Assessment Report 1 -- ` www.hawaiinfip.org 5 '' ern. `; Property Information COUNTY: TMK NO: WATERSHED: PARCEL ADDRESS: HAWAII 3) 4-4-015:005 POHAKULOA CAMP KILOHANAKAMUELA, HI 96743 Flood Hazard Information FIRM INDEX DATE: LETTER OF MAP CHANGE(S): FEMA FIRM PANEL: PANEL EFFECTIVE DATE: Notes: SEPTEMBER 29, 2017 NONE 1551660575F SEPTEMBER 29, 2017 THIS PROPERTY 15 WITHIN A TSUNAMI EVACUTION ZONE: NO FOR MORE INFO, VISIT: http://www.scd.hawaii.gov/ THIS PROPERTY 15 WITHIN A DAM EVACUATION ZONE: NO FOR MORE INFO, VISIT: http://dlnreng.hawaii.gov/dam/ 0 0.60 1.20 mi arloimer: The Howoi, Department of Lod and Natural Resources (DLNR) assumes no responsibility arising from the use, accuracy, completeness, and timeliness of any information contained in this report. Viewers/Users ore responsiblefor verifying the accuracy of the information and agree to indemnify the DLNR, its officers, and employ- ees from any liability which may prisefrom its use of its data or information. If this map hos been identified as 'PRELIMINARY', please note that it is being providedfor informational purposes and is not to be used forflood insurance rating. Contact your countyfloodplain managerforflood zone determmo- bons to be usedfor compliance with local floodplain management regulations. FLOOD HAZARD ASSESSMENT TOOL LAYER LEGEND Note: legend does not correspond with NFHL) SPECIAL FLOOD HAZARD AREAS (SFHAs) SUBJECT TO INUNDATION BY THE 1% ANNUAL CHANCE FLOOD - The 1% annual chance flood (100 - year), also know as the base flood, is the flood that has a 1% chance of being equaled or exceeded in any given year. SFHAs include Zone A, AE, AH, AO, V, and VE. The Base Flood Elevation (BFE) is the water surface elevation of the 1% annual chance flood. Mandatory flood insurance purchase applies in these zones: ZoneA: No BFE determined. ZoneAE: BFE determined. ZoneAH: Flood depths of 1 to 3 feet (usually areas of ponding); BFE determined. Zone AO: Flood depths of 1 to 3 feet (usually sheet flow on sloping terrain); average depths determined. Zone V: Coastal flood zone with velocity hazard (wave action); no BFE determined. Zone VE: Coastal flood zone with velocity hazard (wave action); BFE determined. Zone AEF: Floodway areas in Zone AE. The floodway is the channel of stream plus any adjacent floodplain areas that must be kept free of encroachment so that the 1% annual chance flood can be carried without increasing the BFE. NON -SPECIAL FLOOD HAZARD AREA - An area in a low -to -moderate risk flood zone. No mandatory flood insurance purchase requirements apply, but coverage is available in participating communities. Zone XS (X shaded): Areas of 0.2% annual chance flood; areas of 1% annual chance flood with average depths of less than 1 foot or with drainage areas less than 1 square mile; and areas protected by levees from 1% annualchance flood. Zone X: Areas determined to be outside the 0.2% annual chance floodplain. OTHER FLOOD AREAS Zone D: Unstudied areas where flood hazards are undeter- mined, but flooding is possible. No mandatory flood insurance purchase apply, but coverage is available in participating commu- nities. ATTACHMENT 13 - AT&T OPTION AND LAND LICENSE - REDACTED Market. Hawaii Cell Site Number: !11L03359 Cell Site Name: Saddle Road3 Search Rine Name: Saddle Read 3 Fixed Asset Number: 12716303 OPTION AND LAND LICENSE AGREEMENT THIS OPTION AND LAND LICENSE AGREEMENT ("Agreement"), dated as of the latter of the signature dates below (the "Effective Date"), is entered into by Girl Scouts of Hawaii, a Hawaii Nonprofit Corporation, having a mailing address of 410 Atkinson Drive, Suite 2E1, Box 3, Honolulu, Hawaii 96814 Landlord") and New Cingular Wireless PCS, LLC, a Delaware limited liability company, having a mailing address of 1025 Lenox Park Blvd NE, 3r° Floor, Atlanta, GA 30319 (`Tenant"). BACKGROUND Landlord owns or controls that certain plot, parcel or tract of land, as described on Exhibit 1, together with all rights and privileges arising in connection therewith, located at Kilohana Girl Scout Camp, State Rte 200, Waimea, HI 96743, in the County of Hawai i, State of Hawaii, Hawaii Tax Map No. 4-4-015:005 collectively, the `Property"). Landlord desires to grant to Tenant the right to use a portion of the Property in accordance with this Agreement. The parties agree as follows: 1. OPTION TO LICENSE. a) Landlord grants to Tenant an exclusive option (the "Option") to license: (i) a certain portion of the Property containing approximately 610 square feet of ground space including the air space above such ground space (the "Compound Area"); and (ii) a certain portion of the Property containing approximately 50 square feet of ground space including the air space above such ground space plus additional air space of clearance of 24' from the circumference of the ground space for the branches of the monopine starting at approximately 24' from ground level (collectively, the "Monopine Area"), both as described or depicted on attached Exhibit 1, the Compound Area and Monopine Area are collectively referred to herein as the "Licensed Area") together with non-exclusive easements for overhead and underground utilities and pedestrian and vehicular access from Daniel IC Inouye Highway to the Compound Area and from the Compound Area to the Monopine Area, for the placement of a Communication Facility (defined below) in accordance with the terms of this Agreement. b) During the Option Term, and during the Term, Tenant and its agents, engineers, surveyors and other representatives will have the right to enter upon the Property to inspect, examine, conduct soil borings, drainage testing, material sampling, radio frequency testing and other geological or engineering tests or studies of the Property (collectively, the "Tests"), to apply for and obtain licenses, permits, approvals, or other relief required of or deemed necessary or appropriate at Tenant's sole discretion for its use of the Licensed Area and include, without limitation, applications for zoning variances, zoning ordinances, amendments, special use permits, and construction permits (collectively, the `Government Approvals"), initiate the ordering and/or scheduling of necessary utilities, and otherwise to do those things on or off the Property that, in the opinion of Tenant, are necessary in Tenant's sole discretion to determine the physical condition ofthe Property, the environmental history of the Property, Landlord's title to the Property and the feasibility or suitability of the Property for Tenant's Permitted Use, all at Tenant's expense. Tenant will not be liable to Landlord or any third party on account of any pre-existing defect or condition on or with respect to the Property, whether or not such defect or condition is disclosed by Tenant's inspection. Tenant will restore the Property to its condition as it existed at the commencement of the Option Term, reasonable wear and tear and loss by casualty or other causes beyond Tenant's control excepted. c) In consideration of Landlordntin Tenant the tion, Tenant n to Landlord the sum of The 00150157-312) 1 wpm and H1In3359 saltRued 3(SaddleRoad 3) Option Ind land Licata. AmamrortwI sole''-, Option may be exercised during an initial term of one (1) year commencing on the Effective Date (the `Initial Option Term") which term may be renewed by Tenant for an additional one (1) year (the `Renewal Option Term' u on written notification to Landlord and the payment ofTerm' later than five (5) days prior to the expiration date ofthe Initial Option Term. The Initial Option Term and any Renewal Option Term are collectively referred to as the "Option Term.- d) erm"( d) The Option may be sold, assigned or transferred at any time by Tenant without the written consent of Landlord to a similarly FCC regulated entity. Upon notification to Landlord of such sale, assignment or transfer, Tenant shall immediately be released from any and all liability under this Agreement, including the payment of any license fee or other sums due, without any further action. e) During the Option Tenn, Tenant may exercise the Option by notifying Landlord in writing. If Tenant exercises the Option, then Landlord licenses the Licensed Area to Tenant subject to the terms and conditions of this Agreement. If Tenant does not exercise the Option during the Initial Option Term or any extension thereof, then this Agreement will terminate, and the parties will have no further liability to each other. f) If during the Option Term, or during the Term if the Option is exercised, Landlord decides to subdivide, sell, or change the status of the zoning of the Licensed Area, the Property or any of Landlord's contiguous, adjoining or surrounding property (the "Surrounding Property"), or in the event of a threatened foreclosure on any of the foregoing, Landlord shall immediately notify Tenant in writing. Landlord agrees that during the Option Term, or during the Term if the Option is exercised, Landlord shall not initiate or consent to any change in the zoning of the Licensed Area, the Property or the Surrounding Property or impose or consent to any other use or restriction that would prevent or limit Tenant from using the Licensed Area for the Permitted Use. Any and all terms and conditions of this Agreement that by their sense and context are intended to be applicable during the Option Term shall be so applicable. 2. PERMITTED USE. Tenant may use the Licensed Area for the transmission and reception of communications signals and the installation, construction, maintenance, operation, repair, replacement and upgrade of communications fixtures and related equipment, cables, accessories and improvements, which may include a suitable support structure, associated antennas, equipment shelters or cabinets and fencing and any other items necessary to the successful and secure use of the Licensed Area (collectively, the "Communication Facility"), as well as the right to test, survey and review title on the Property; Tenant further has the right but not the obligation to add, modify and/or replace equipment in order to be in compliance with any current or future federal, state or local mandated application, including, but not limited to, emergency 911 communication services, (collectively, the "Permitted Use"). Landlord and Tenant agree that any portion ofthe Communication Facility that may be conceptually described on Exhibit 1 will not be deemed to limit Tenant's Permitted Use. If Exhibit 1 includes drawings of the initial installation of the Communication Facility, Landlord's execution of this Agreement will signify Landlord's approval of Exhibit 1. For a period of ninety (90) days following the start of construction, Landlord grants Tenant, its subtenants, licensees and sublicensees, the right to use such portions of the Surrounding Property as may reasonably be required during construction and installation of the Communication Facility. Tenant has the right to install and operate transmission cables from the equipment shelter or cabinet to the antennas, electric lines from the main feed to the equipment shelter or cabinet and communication lines from the Property's main entry point to the equipment shelter or cabinet, install a generator and to make other improvements, alterations, upgrades or additions appropriate for Tenant's Permitted Use, including the right to construct a fence around the Licensed Area or equipment, install warning signs to make individuals aware of risks, install protective barriers, install any other control measuros manunably required by Tenant's safety procedures or applicable law, and undertake any other appropriate means to secure the Licensed Area or equipment at Tenant's expense. Tenant has the right to modify, supplement, replace, upgrade, expand the Communication Facility (including, for example, increasing the number of antennas or adding microwave dishes) or relocate the Communication Facility within the Licensed Area at any time during the Term. Tenant will be allowed to make such alterations to the Property in order to ensure that the Communication Facility complies with all applicable federal, state or local laws, rules or regulations. 3. TERM. 00150187-3) 2opom xd tan 359 sum, awl l tow, It., n opt. uA tud Gunn Agrean h(0[i 50111-i) EXE a) The initial license term will be five (5) years (the "Initial Term"), commencing on the effective date of written notification by Tenant to Landlord of Tenant's exercise of the Option (the "Term Commencement Date"). The Initial Term will terminate on the fifth (5th) anniversary of the Term Commencement Date. b) This Agreement will automatically renew for four (4) additional five (5) year term(s) (each additional five (5) year term shall be defined as an "Extension Term"), upon the same terms and conditions set forth herein unless Tenant notifies Landlord in writing ofTenant's intention not to renew this Agreement at least sixty (60) days prior to the expiration of the Initial Term or the then -existing Extension Term. c) Unless (i) Landlord or Tenant notifies the other in writing of its intention to terminate this Agreement at least six (6) months prior to the expiration of the final Extension Term, or (ii) the Agreement is terminated as otherwise permitted by this Agreement prior to the end ofthe final Extension Term, this Agreement shall continue in force upon the same covenants, terms and conditions for a further term of one (1) year, and for annual terms thereafter (`Annual Terni') until terminated by either party hereto by giving to the other party hereto written notice of its intention to so terminate at least six (6) months prior to the end of any such Annual Term. Monthly rent during such Annual Terms shall be equal to the License Fee paid for the last month of the final Extension Term. If Tenant remains in possession of the Licensed Area after the termination of this Agreement, then Tenant will be deemed to be occupying the Licensed Area on a month-to-month basis (the Holdover Term"), subject to the terms and conditions of this Agreement. d) The Initial Term, any Extension Terms, any Annual Terms and any Holdover Term are collectively referred to as the "Term." 4. LICENSE FEE a) Commencing on the first day of the month following the date that Tenant commences construction (the "License Fee Commencement Date" Tenant will a Landlord on or before the fifth (5'^) day of each calendar month in advance, (the License Fee"), at the address set fo a ove. n any parte mon occumng a er t to icense Fee Commencement Date, the License Fee will be prorated. The initial License Fee payment will be forwarded by Tenant to Landlord within ninety (90) days after the License Fee Commencement Date. b) Upon the commencement of each Extension Term, the monthly License Fee will jver the License Fee paid during the previous five (5) year term. c) All charges payable under this Agreement such as utilities and taxes shall be billed by Landlord within one (I) year from the end of the calendar year in which the charges were incurred; any charges beyond such period shall not be billed by Landlord, and shall not be payable by Tenant. The foregoing shall not apply to the monthly License Fee which is due and payable without a requirement that it be billed by Landlord. The provisions of this subsection shall survive the termination or expiration of this Agreement. 5. APPROVALS. a) Landlord agrees that Tenant's ability to use the Licensed Area is contingent upon the suitability of the Licensed Area and Property for the Permitted Use and Tenant's ability to obtain and maintain all Government Approvals. Landlord authorizes Tenant to prepare, execute and file all required applications to obtain Government Approvals for the Permitted Use and agrees to reasonably assist Tenant with such applications and with obtaining and maintaining the Government Approvals. b) Tenant has the right to obtain a title report or commitment for a leasehold title policy from a title insurance company of its choice and to have the Property surveyed by a surveyor of its choice. c) Tenant may also perform and obtain, at Tenant's sole cost and expense, soil borings, percolation tests, engineering procedures, environmental investigation or other tests or reports on, over, and under the Property, necessary to determine if Tenant's use of the Licensed Area will be compatible with Tenant's engineering specifications, system, design, operations or Government Approvals. 6. TERMINATION. This Agreement may be terminated, without penalty or further liability, as follows: a) by either party on thirty (30) days prior written notice, if the other party remains in default under Section 05 of this Agreement after the applicable cure periods; 00150187-31 3ooeonand HIL6159 sam<Read 3 s,mie Road nOPE" ,.d lxxd o<.m.< neacmeI m0150EnEEExt b) by Tenant upon written notice to Landlord, if Tenant is unable to obtain, or maintain, any required approval(s) or the issuance of a license or permit by any agency, board, court or other governmental authority necessary for the construction or operation of the Communication Facility as now or hereafter intended by Tenant; or if Tenant determines, in its sole discretion that the cost of or delay in obtaining or retaining the same is commercially unreasonable; c) by Tenant, upon written notice to Landlord, if Tenant determines, in its sole discretion, due to the title report results or survey results, that the condition of the Licensed Area is unsatisfactory for its intended uses; d) by Tenant upon written notice to Landlord for any reason or no reason, at any time prior to commencement of construction by Tenant; or e) by Tenant upon sixty (60) days' prior written notice to Landlord for any reason or no reason, so long as Tenant pays Landlord a termination fee equal to three (3) months' License Fee, at the then -current rate, provided, however, that no such tennination fee will be payable on account of the termination ofthis Agreement by Tenant under any termination provision contained in any other Section of this Agreement, including the following: Section 5 Approvals, Section 6(a) Termination, Section 6(b) Termination, Section 6(c) Termination, Section 6(d) Termination, Section 11(d) Environmental, Section 08 Condemnation or Section 19 Casualty. 7. INSURANCE. During the Option Term and throughout the Term, Tenant will purchase and maintain infull force and effect such general liability policy as Tenant may deem necessary. Said policy of general liability insurance will at a minimum provide a combined single limit of One Million and No/100 Dollars 1,000,000.00). Notwithstanding the foregoing, Tenant shall have the right to self -insure such general liability coverage. 8. INTERFERENCE. a) Prior to or concurrent with the execution of this Agreement, Landlord has provided or will provide Tenant with a list of radio frequency user(s) and frequencies used on the Property as of the Effective Date. Tenant warrants that its use of the Licensed Area will not interfere with those existing radio frequency uses on the Property, as long as the existing radio frequency user(s) operate and continue to operate within their respective frequencies and in accordance with all applicable laws and regulations. b) Landlord will not grant, after the Effective Date, a lease, license or any other right to any third party, if the exercise ofsuch grant may in any way adversely affect or interfere with the Communication Facility, the operations of Tenant or the rights of Tenant under this Agreement. Landlord will notify Tenant in writing prior to granting any third party the right to install and operate communications equipment on the Property. c) Landlord will not, nor will Landlord permit its employees, tenants, licensees, invitees, agents or independent contractors to interfere in any way with the Communication Facility, the operations of Tenant or the rights of Tenant under this Agreement. Landlord will cause such interference to cease within twenty-four (24) hours after receipt ofnotice of interference from Tenant. In the event any such interference does not cease within the aforementioned cure period, Landlord shall cease all operations which are suspected of causing interference except for intermittent testing to determine the cause of such interference) until the interference has been corrected. d) For the purposes of this Agreement, "interference" may include, but is not limited to, any use on the Property or Surrounding Property that causes electronic or physical obstruction with, or degradation of, the communications signals from the Communication Facility. 9. INDEMNIFICATION. a) Tenant agrees to indemnify, defend and hold Landlord harmless from and against any and all injury, loss, damage or liability , costs or expenses in connection with a third party claim (including reasonable attorneys' fees and court costs) arising directly from the installation, use, maintenance, repair or removal ofthe Communication Facility or Tenant's breach of any provision of this Agreement, except to the extent attributable to the negligent or intentional act or omission of Landlord, its employees, invitees, agents or independent contractors. b) Landlord agrees to indemnify, defend and hold Tenant harmless from and against any and all 00150187-3i 4Option and I111033595tl]I, ROW 3 (SadNo Road 3) Oyli on and Lad Liwc Apmmau(00150197-3) EXE injury, loss, damage or liability , costs or expenses in connection with a third party claim (including reasonable attorneys' fees and court costs) arising directly from the actions or failure to act of Landlord, its employees, invitees, agents or independent contractors, or Landlord's breach of any provision of this Agreement. except to the extent attributable to the negligent or intentional act or omission of Tenant, its employees, agents or independent contractors. c) The indemnified party: (i) shall promptly provide the indemnifying party with written notice of any claim, demand, lawsuit, or the like for which it seeks indemnification pursuant to this Section 9 and provide the indemnifying party with copies of any demands, notices, summonses. or legal papers received in connection with such claim, demand, lawsuit, or the like; (ii) shall not settle any such claim, demand, lawsuit, or the like without the prior written consent ofthe indemnifying party; and (iii) shall fully cooperate with the indemnifying party in the defense ofthe claim, demand, lawsuit, or the like. A delay in notice shall not relieve the indemnifying party of its indemnity obligation, except (1) to the extent the indemnifying party can show it was prejudiced by the delay; and (2) the indemnifying party shall not be liable for any settlement or litigation expenses incurred before the time when notice is given. 10. WARRANTIES. a) Each of Tenant and Landlord (to the extent not a natural person) each acknowledge and represent that it is duly organized, validly existing and in good standing and has the right, power, and authority or capacity, as applicable, to enter into this Agreement and bind itself hereto through the party or individual set forth as signatory for the party below. b) Landlord represents, warrants and agrees that: (i) Landlord solely owns the Property as a legal lot in fee simple, or controls the Property by lease or license; (ii) the Property is not and will not be encumbered by any liens, restrictions, mortgages, covenants, conditions, easements, leases, licenses or any other agreements of record or not of record, which would adversely affect Tenant's Permitted Use and enjoyment of the Licensed Area under this Agreement; (iii) then Landlord grants to Tenant sole, actual, quiet and peaceful use, enjoyment and possession of the Licensed Area in accordance with the terms of this Agreement without hindrance or ejection by any persons lawfully claiming under Landlord ; (iv) Landlord's execution and performance of this Agreement will not violate any laws. ordinances, covenants or the provisions of any mortgage, lease, license or other agreement binding on Landlord; and (v) if the Property is or becomes encumbered by a deed to secure a debt, mortgage or other security interest, then Landlord will provide promptly to Tenant a mutually agreeable subordination, non -disturbance and attomment agreement executed by Landlord and the holder of such security interest in the form attached hereto as Exhibit 10(b). 11. ENVIRONMENTAL. a) Landlord represents and warrants, except as may be identified in Exhibit 11 attached to this Agreement, (i) the Property, as of the Effective Date, is free of hazardous substances, including asbestos - containing materials and lead paint, and (ii) the Property has never been subject to any contamination or hazardous conditions resulting in any environmental investigation, inquiry or remediation. Landlord and Tenant agree that each will be responsible for compliance with any and all applicable governmental laws, rules, statutes, regulations, codes, ordinances, or principles of common law regulating or imposing standards of liability or standards of conduct with regard to protection ofthe environment or worker health and safety, as may now or at any time hereafter be in effect, to the extent such apply to that party's activity conducted in or on the Property. b) Landlord and Tenant agree to hold harmless and indemnify the other from, and to assume all duties, responsibilities and liabilities at the sole cost and expense of the indemnifying party for, payment of penalties, sanctions, forfeitures, losses, costs or damages, and for responding to any action, notice, claim, order, summons, citation, directive, litigation, investigation or proceeding ("Claims"), to the extent arising from that party's breach of its obligations or representations under Section 11(a). Landlord agrees to hold harmless and indemnify Tenant from, and to assume all duties, responsibilities and liabilities at the sole cost and expense of Landlord for, payment of penalties, sanctions, forfeitures, losses, costs or damages, and for responding to any Claims, to the extent arising from subsurface or other contamination ofthe Property with hazardous substances prior to the Effective Date or from such contamination caused by the acts or omissions of Landlord during the Tenn. Tenant agrees to hold harmless and indemnify Landlord from, and to assume all duties, responsibilities 001501 87-3{ 50pdooeod naa359 Saddle Rod 3(sum< Road 3) opu® BEd LM u<ene eercemeIEEE 'OIWE) E4 and liabilities at the sole cost and expense of Tenant for, payment of penalties, sanctions, forfeitures, losses, costs or damages, and for responding to any Claims, to the extent arising from hazardous substances brought onto the Property by Tenant. c) The indemnification provisions contained in this Section 11 specifically include reasonable costs, expenses and fees incurred in connection with any investigation of Property conditions or any clean-up, remediation, removal or restoration work required by any governmental authority. The provisions ofthis Section 01 will survive the expiration or termination of this Agreement. d) In the event Tenant becomes aware of any hazardous materials on the Property, or any environmental, health or safety condition or matter relating t the Property, that, in Tenant's sole determination, renders the condition of the Licensed Area or Property unsuitable for Tenant's use, or if Tenant believes that the leasing or continued leasing of the Licensed Area would expose Tenant to undue risks of liability to a government agency or other third party, then Tenant will have the right, in addition to any other rights it may have at law or in equity, to terminate this Agreement upon written notice to Landlord. 12. ACCESS. At all times throughout the Term of this Agreement, Tenant, Tenant and its employees, agents, and subcontractors, will have twenty-four (24) hour per day, seven (7) day per week pedestrian and vehicular access ("Access") to and over the Property, from an open and improved public road to the Licensed Area, for the installation, maintenance and operation ofthe Communication Facility and any utilities serving the Licensed Area. As may be described more fully in Exhibit 1, Landlord grants to Tenant an easement for such Access and Landlord agrees to provide to Tenant such codes, keys and other instruments necessary for such Access to Tenant. Upon Tenant's request, Landlord will execute a separate recordable easement evidencing this right. Landlord shall execute a letter granting Tenant Access to the Property substantially in the form attached as Exhibit 12; upon Tenant's request, Landlord shall execute additional letters during the Term. If Tenant elects to utilize an Unmanned Aircraft System ("UAS") in connection with its installation, construction, monitoring, site audits, inspections, maintenance, repair, modification, or alteration activities at a Property, Landlord hereby grants Tenant, or any UAS operator acting on Tenant's behalf, express permission to fly over the applicable Property and Licensed Area, and consents to the use of audio and video navigation and recording in connection with the use of the UAS. Landlord acknowledges that in the event Tenant cannot obtain Access to the Licensed Area, Tenant shall incur significant damage. If Landlord fails to provide the Ac r -ss granted by this Section 12, such failure shall be a default under this Agreement. In connection with such default, in addition to any other rights or remedies available to Tenant under this Agreement or at law or equity, Landlord shall pay Tenant, as liquidated damages and not as a penalty, $500 per day in consideration of Tenant's damages until Landlord cures such default. Landlord and Tenant agree that Tenant's damages in the event of a denial of Access are difficult, if not impossible, to ascertain, and the liquidated damages set forth above are a reasonable approximation of such damages. 13. REMOVAL/RESTORATION. All portions ofthe Communication Facility brought onto the Property by Tenant will be and remain Tenant's personal property and, at Tenant's option, may be removed by Tenant at any time during or after the Term. Landlord covenants and agrees that no part of the Communication Facility constructed, erected or placed on the Licensed Area by Tenant will become, or be considered as being affixed to or a part of, the Property, it being the specific intention of Landlord that all improvements of every kind and nature constructed, erected or placed by Tenant on the Licensed Area will be and remain the property of Tenant and may be removed by Tenant at any time during or after the Term. Tenant will repair any damage to the Property resulting from Tenant's removal activities. Any portions of the Communication Facility that Tenant does not remove within one hundred twenty (120) days after the later of the end of the Term and cessation of Tenant's operations at the Licensed Area shall be deemed abandoned and owned by Landlord. Notwithstanding the foregoing, Tenant will not be responsible for the replacement of any trees, shrubs or other vegetation. 14. MAINTENANCE/UTILITIES. a) Tenant will keep and maintain the Licensed Area in good condition, reasonable wear and tear and damage from the elements excepted. Landlord will maintain and repair the Property and access thereto and all areas of the Licensed Area where Tenant does not have exclusive control, in good and tenantable condition, 00150187-3} 6ora", and aa03359 s.dm.xoad 3 (Saddle Road aropeon and Land Uanu Ayran.n,(00150187o( EXE subject to reasonable wear and tear and damage from the elements. Landlord will be responsible for maintenance of landscaping on the Property. including any landscaping installed by Tenant as a condition of this Agreement or any required permit. b) Tenant will be responsible for paying on a monthly or quarterly basis all utilities charges for electricity, telephone seryice or any other utility used or consumed by Tenant on the Licensed Area. In the event Tenant cannot secure its own metered electrical supply, Tenant will have the right, at its own cost and expense, to sub -meter from Landlord. When sub -metering is required under this Agreement, Landlord will read the meter and provide Tenant with an invoice and usage data on a monthly basis. Tenant shall reimburse Landlord for such utility usage at the same rate charged to Landlord by the utility service provider. Landlord further agrees to provide the usage data and invoice on forms provided by Tenant and to send such forms to such address and/or agent designated by Tenant. Tenant will remit payment within sixty (60) days of receipt of the usage data and required forms. Landlord shall maintain accurate and detailed records of all utility expenses, invoices and payments applicable to Tenant's reimbursement obligations hereunder. Within fifteen (15) days after a request from Tenant, Landlord shall provide copies of such utility billing records to the Tenant in the form of copies of invoices, contracts and cancelled checks. If the utility billing records reflect an overpayment by Tenant, Tenant shall have the right to deduct the amount of such overpayment from any monies due to Landlord from Tenant. c) As noted in Section 0(c) above, any utility fee recovery by Landlord is limited to a twelve (12) month period. IfTenant submeters electricity from Landlord, Landlord agrees to give Tenant at least twenty-four 24) hours advance notice of any planned interruptions of said electricity. Landlord acknowledges that Tenant provides a communication service which requires electrical power to operate and must operate twenty-four (24) hours per day, seven (7) days per week. If the interruption is for an extended period of time, in Tenant's reasonable determination, Landlord agrees to allow Tenant the right to bring in a temporary source of power for the duration of the interruption. Landlord will not be responsible for interference with, interruption of or failure, beyond the reasonable control of Landlord, of such services to be furnished or supplied by Landlord. d) Tenant will have the right to install overhead and underground utilities, at Tenant's expense, and F to improve present utilities on the Property and the Licensed Area. Landlord hereby grants to any service company providing utility or similar services, including electric power and telecommunications, to Tenant an easement over the Property, from an open and improved public road to the Licensed Area, and upon the Licensed Area, for the purpose of constructing, operating and maintaining such lines, wires, circuits, and conduits, associated equipment cabinets and such appurtenances thereto, as such service companies may from time to time require in order to provide such services to the Licensed Area. Upon Tenant's or service company's request, Landlord will execute a separate recordable easement evidencing this grant, at no cost to Tenant or the service company. 15. DEFAULT AND RIGHT TO CURE. a) The following will be deemed a default by Tenant and a breach of this Agreement: (i) non- payment of License Fee if such License Fee remains unpaid for more than thirty (30) days after written notice from Landlord of such failure to pay; or (ii) Tenant's failure to perform any other term or condition under this Agreement within forty-five (45) days after written notice from Landlord specifying the failure. No such failure, however, will be deemed to exist if Tenant has commenced to cure such default within such period and provided that such efforts are prosecuted to completion with reasonable diligence. Delay in curing a default will be excused if due to causes beyond the reasonable control of Tenant. If Tenant remains in default beyond any applicable cure period, then Landlord will have the right to exercise any and all rights and remedies available to it under law and equity. b) The following will be deemed a default by Landlord and a breach of this Agreement: (i) Landlord's failure to provide Access to the Licensed Area as required by Section 12 within twenty-four (24) hours after written notice of such failure; (ii) Landlord's failure to cure an interference problem as required by Section 8 within twenty-four (24) hours after written notice of such failure; or (iii) Landlord's failure to perform any term, condition or breach of any warranty or covenant under this Agreement within forty-five (45) days after written notice from Tenant specifying the failure. No such failure, however, will be deemed to exist if Landlord has commenced to cure the default within such period and provided such efforts are prosecuted to completion with reasonable diligence. Delay in curing a default will be excused if due to causes beyond the reasonable IOOI50187$I 70prwand 111101159 sum, Road( (Sable Rata 3) Opllm and Land Incense AgmmrngW ISplg)dlEXE control of Landlord. If Landlord remains in default beyond any applicable cure period, Tenant will have: (i) the right to cure Landlord's default and to deduct the costs of such cure from any monies due to Landlord from Tenant, and (ii) any and all other rights available to it under law and equity. 16. ASSIGNMENT/SUBLICENSE. Tenant will have the right to assign this Agreement or sublicense the Licensed Area and its rights herein, in whole or in part, without Landlord's consent. Upon notification to Landlord of such assignment, Tenant will be relieved of all future performance, liabilities and obligations under this Agreement to the extent of such assignment. 17. NOTICES. All notices, requests and demands hereunder will be given by fust class certified or registered mail, return receipt requested, or by a nationally recognized overnight courier, postage prepaid, to be effective when properly sent and received, refused or returned undelivered. Notices will be addressed to the parties hereto as follows: If to Tenant: With a copy to: New Cingular Wireless PCS, LLC Attn: Network Real Estate Administration Re: Cell Site it: H1L03359: Cell Site Name: HI - Saddle Road 3 Fixed Asset #: 12716303 1025 Lenox Park Blvd NE, 3`d Floor Atlanta, Georgia 30319 New Cingular Wireless PCS, LLC Attn.: Legal Dept — Network Operations Re: Cell Site #: 111.03359; Cell Site Name: HI — Saddle Road 3 Fixed Asset #: 12716303 208 S. Akard Street Dallas, TX 75202-4206 The copy sent to the Legal Department is an administrative step which alone does not constitute legal notice. If to Landlord: Girl Scouts of Hawaii 410 Atkinson Drive, Suite 2E1, Box 3 Honolulu, HI 96814 Either party hereto may change the place for the giving of notice to it by thirty (30) days' prior written notice to the other party hereto as provided herein. 18. CONDEMNATION. In the event Landlord receives notification of any condemnation proceedings affecting the Property, Landlord will provide notice of the proceeding to Tenant within twenty-four (24) hours. If a condemning authority takes all of the Property, or a portion sufficient, in Tenant's sole determination, to render the Licensed Area unsuitable for Tenant, this Agreement will terminate as of the date the title vests in the condemning authority. The parties will each be entitled to pursue their own separate awards in the condemnation proceeds, which for Tumult will include, where applicable, the value of its Communication Facility, moving expenses, prepaid License Fese, and business dislocation expenses. Tenant will be entitled to reimbursement for any prepaid License Fees on a pro raw basis. 19. CASUALTY. Landlord will provide notice to Tenant of any casualty or other harm affecting the Propertywithin twenty-four (24) hours ofthe casualty or other harm. If any part of the Communication Facility or the Property is damaged by casualty or other harm as to render the Licensed Area unsuitable, in Tenant's sole determination, then Tenant may terminate this Agreement by providing written notice to Landlord, which termination will be effective as of the date of such casualty or other harm. Upon such termination, Tenant will be entitled to collect all insurance proceeds payable to Tenant on account thereof and to be reimbursed for any 100150187-3} 80piimHa2103359 side. cow I is.eue amd sl Pohnn.na Land u.a:n ..o tmumnal prepaid License Fee on a pro rata basis. Landlord agrees to permit Tenant to place temporary transmission and reception facilities on the Property, but only until such time as Tenant is able to activate a replacement transmission facility at another location; notwithstanding the termination of this Agreement, such temporary facilities will be governed by all of the terms and conditions of this Agreement, including License Fee. If Landlord or Tenant undertakes to rebuild or restore the Licensed Area and/or the Communication Facility, as applicable, Landlord agrees to permit Tenant to place temporary transmission and reception facilities on the Property until the reconstruction of the Licensed Area and/or the Communication Facility is completed. If Landlord determines not to rebuild or restore the Property, Landlord will notify Tenant of such determination within thirty (30) days after the casualty or other harm. If Landlord does not so notify Tenant and Tenant decides not to terminate under this Section 19, then Landlord will promptly rebuild or restore any portion of the Property interfering with or required for Tenant's Permitted Use of the Licensed Area to substantially the same condition as existed before the casualty or other harm. Landlord agrees that the License Fee shall be abated until the Property and/or the Licensed Area are rebuilt or restored, unless Tenant places temporary transmission and reception facilities on the Property. 20. WAIVER OF LANDLORD'S LIENS. Landlord waives any and all lien rights it may have, statutory or otherwise, concerning the Communication Facility or any portion thereof. The Communication Facility shall be deemed personal property for purposes of this Agreement, regardless of whether any portion is deemed real or personal property under applicable law; Landlord consents to Tenant's right to remove all or any portion of the Communication Facility from time to time in Tenant's sole discretion and without Landlord's consent. 21. TAXES. a) Landlord shall be responsible for (i) all taxes and assessments levied upon the lands, improvements and other property of Landlord including any such taxes that may be calculated by a taxing authority using any method, including the income method, (ii) all sales, use, license, value added, documentary, stamp, gross receipts, registration, real estate transfer, conveyance, excise, recording, and other similar taxes and fees imposed in connection with this Agreement, and (iii) all sales, use, license, value added, documentary, stamp, gross receipts, registration, real estate transfer, conveyance, excise, recording, and other similar taxes and fees imposed in connection with a sale of the Property or assignment of the License Fee payments by Landlord. Tenant shall be responsible for (y) any taxes and assessments attributable to and levied upon Tenant's leasehold improvements on the Licensed Area if and as set forth in this Section 21 and (z) all sales, use, license, value added, documentary, stamp, gross receipts, registration, real estate transfer, conveyance, excise, recording, and other similar taxes and fees imposed in connection with an assignment of this Agreement or sublicense by Tenant. Nothing herein shall require Tenant to pay any inheritance, franchise, income, payroll, excise, privilege, license fee, capital stock, stamp, documentary, estate or profit tax, or any tax of similar nature, that is or may be imposed upon Landlord. b) In the event Landlord receives a notice of assessment with respect to which taxes or assessments are imposed on Tenant's leasehold improvements on the Licensed Area, Landlord shall provide Tenant with copies of each such notice immediately upon receipt, but in no event later than thirty (30) days after the date of such notice of assessment. If Landlord does not provide such notice or notices to Tenant in a timely manner and Tenant's rights with respect to such taxes are prejudiced by the delay, Landlord shall reimburse Tenant for any increased costs directly resulting from the delay and Landlord shall be responsible for payment of the tax or assessment set forth in the notice, and Landlord shall not have the right to reimbursement of such amount from Tenant. If Landlord provides a notice of assessment to Tenant within such time period and 1 uqucst3 reimbursement from Tenant as set forth below, then Tenant shall reimburse Landlord for the tax or assessments identified on the notice of assessment on Tenant's leasehold improvements, which has been paid by Landlord. If Landlord seeks reimbursement from Tenant, Landlord shall, no later than thirty (30) days after Landlord's payment of the taxes or assessments for the assessed tax year, provide Tenant with written notice including evidence that Landlord has timely paid same, and Landlord shall provide to Tenant any other documentation reasonably requested by Tenant to allow Tenant to evaluate the payment and to reimburse Landlord. c) For any tax amount for which Tenant is responsible under this Agreement, Tenant shall have the right to contest, in good faith, the validity or the amount thereof using such administrative, appellate or other proceedings as may be appropriate in the jurisdiction, and may defer payment of such obligations, pay same EW 150159-31 9optLon idlm.mo m33sadaeRoad (Saddle Read )) option .nd 33d cans Apeenonl (W 13015 -3) under protest, or take such other steps as permitted by law. This right shall include the ability to institute any legal. regulatory or informal action in the name of Landlord, Tenant, or both, with respect to the valuation of the Licensed Area. Landlord shall cooperate with respect to the commencement and prosecution of any such proceedings and will execute any documents required therefor. The expense of any such proceedings shall be borne by Tenant and any refunds or rebates secured as a result of Tenant's action shall belong to Tenant, to the extent the amounts were originally paid by Tenant. In the event Tenant notifies Landlord by the due date for assessment of Tenant's intent to contest the assessment, Landlord shall not pay the assessment pending conclusion ofthe contest, unless required by applicable law. d) Landlord shall not split or cause the tax parcel on which the Licensed Area are located to be split, bifurcated, separated or divided without the prior written consent of Tenant. e) Tenant shall have the right but not the obligation to pay any taxes due by Landlord hereunder if Landlord fails to timely do so, in addition to any other rights or remedies of Tenant. In the event that Tenant exercises its rights under this Section 21(e) due to such Landlord default, Tenant shall have the right to deduct such tax amounts paid from any monies due to Landlord from Tenant as provided in Section 15(b), provided that Tenant may exercise such right without having provided to Landlord notice and the opportunity to cure per Section 15(b). f) Any tax -related notices shall be sent to Tenant in the manner set forth in Section 17. Promptly after the Effective Date, Landlord shall provide the following address to the taxing authority for the authority's use in the event the authority needs to communicate with Tenant. In the event that Tenant's tax address changes by notice to Landlord, Landlord shall be required to provide Tenant's new tax address to the taxing authority or authorities. g) Notwithstanding anything to the contrary contained in this Section 21, Tenant shall have no obligation to reimburse any tax or assessment for which the Landlord is reimbursed or rebated by a third party. 22. SALE OF PROPERTY. a) Landlord may sell the Property or a portion thereofto a third party, provided: (i) the sale is made subject to the tenns of this Agreement; and (ii) if the sale does not include the assignment of Landlord's full interest in this Agreement, the purchaser must agree to perform, without requiring compensation from Tenant or any subtenant, any obligation of Landlord under this Agreement, including Landlord's obligation to cooperate with Tenant as provided hereunder. b) If Landlord, at any time during the Term of this Agreement, decides to rezone or sell, subdivide or otherwise transfer all or any part of the Licensed Area, or all or any part of the Property or the Surrounding Property, to a purchaser other than Tenant, Landlord shall promptly notify Tenant in writing, and such rezoning, sale, subdivision or transfer shall be subject to this Agreement and Tenant's rights hereunder. In the event ofa change in ownership, transfer or sale of the Property, within ten (10) days of such transfer, Landlord or its successor shall send the documents listed below in this Section 2222(b) to Tenant. Until Tenant receives all such documents, Tenant's failure to make payments under this Agreement shall not be an event of default and Tenant reserves the right to hold payments due under this Agreement. Old deed to Property ii. New deed to Property iii. Bill of Sale or Transfer iv. Copy of curront Tax Bill v. New IRS Form W-9 vi. Completed and Signed Tenant Payment Direction Form vii. Full contact information for new Landlord including phone number(s) c) Landlord agrees not to sell, lease, license or use any areas of the Property or the Surrounding Property for the installation, operation or maintenance of other wireless communication facilities if such installation, operation or maintenance would interfere with Tenant's Permitted Use or communications equipment as determined by radio propagation tests performed by Tenant in its sole discretion. Landlord or Landlord's prospective purchaser shall reimburse Tenant for any costs and expenses of such testing. Ifthe radio 100150189-3} IOod®amau.03r59 saddle Roadl(sddp Road 3) opax and Land Leena aroma. aa 5Oig73) EXE frequency propagation tests demonstrate levels of interference unacceptable to Tenant, Landlord shall be prohibited from selling, leasing or using any areas of the Property or the Surrounding Property for purposes of any installation, operation or maintenance of any other wireless communication facility or equipment. d) The provisions of this Section 22 shall in no way limit or impair the obligations of Landlord under this Agreement, including interference and access obligations. 23. RIGHT OF FIRST REFUSAL. Notwithstanding the provisions contained in Section 22, if at any time after the Effective Date, Landlord receives a bona fide written offer from a third party seeking any sale, conveyance, assignment or transfer, whether in whole or in part, of any property interest in or related to the Licensed Area, including without limitation any offer seeking an assignment or transfer of the License Fee payments associated with this Agreement or an offer to purchase an easement with respect to the Licensed Area Offer"), Landlord shall immediately furnish Tenant with a copy of the Offer. Tenant shall have the right within ninety (90) days after it receives such copy to match the financial terms ofthe Offer and agree in writing to match such terms of the Offer. Such writing shall be in the form of a contract substantially similar to the Offer but Tenant may assign its rights to a third party. If Tenant chooses not to exercise this right or fails to provide written notice to Landlord within the ninety (90) day period, Landlord may sell, convey, assign or transfer such property interest in or related to the Licensed Area pursuant to the Offer, subject to the terms of this Agreement. If Landlord attempts to sell, convey, assign or transfer such property interest in or related to the Licensed Area without complying with this Section 23, the sale, conveyance, assignment or transfer shall be void. Tenant shall not be responsible for any failure to make payments under this Agreement and reserves the right to hold payments due under this Agreement until Landlord complies with this Section 23. Tenant's failure to exercise the right of first refusal shall not be deemed a waiver of the rights contained in this Section 23 with respect to any future proposed conveyances as described herein. 24. MISCELLANEOUS. a) AmendmenUWaiver. This Agreement cannot be amended, modified or revised unless done in writing and signed by Landlord and Tenant. No provision may be waived except in a writing signed by both parties. The failure by a party to enforce any provision ofthis Agreement or to require performance by the other party will not be construed to be a waiver, or in any way affect the right of either party to enforce such provision thereafter. b) Memorandum of License. Contemporaneously with the execution of this Agreement, the parties will execute a recordable Memorandum of License substantially in the form attached as Exhibit 24(b). Either party may record this Memorandum of License at any time during the Term, in its absolute discretion. Thereafter during the Term, either party will, at any time upon fifteen (15) business days' prior written notice from the other, execute, acknowledge and deliver to the other a recordable Memorandum of License. c) Limitation of Liability. Except for the indemnity obligations set forth in this Agreement, and otherwise notwithstanding anything to the contrary in this Agreement, Tenant and Landlord each waives any claims that each may have against the other with respect to consequential, incidental or special damages, however caused, based on any theory of liability. d) Compliance with Law. Tenant agrees to comply with all federal, state and local laws, orders, rules and regulations ("Laws") applicable to Tenant's use of the Communication Facility on the Property. Landlord agrees to comply with all Laws relating to Landlord's ownership and use of the Property and anyimprovementsontheProperty. e) Bind and Benefit. The terms and conditions contained in this Agreement will run with the Property and bind and inure to the benefit of the parties, their respective heirs, executors, administrators, successors and assigns. f) Entire Agreement. This Agreement and the exhibits attached hereto, all being a part hereof, constitute the entire agreement of the parties hereto and will supersede all prior offers, negotiations and agreements with respect to the subject matter of this Agreement. Exhibits are numbered to correspond to the Section wherein they are first referenced. Except as otherwise stated in this Agreement, each party shall bear its own fats and expenses (including the fees and expenses of its agents, brokers, representatives, attorneys, and 00150189-3) 11 Option w arae3359 Saem,m,a 3 (Saddle Rodo Option and rand nano Agreernm„w1soma) accountants) incurred in connection with the negotiation, drafting, execution and performance ofthis Agreement and the transactions it contemplates. g) Governing Law. This Agreement will be governed by the laws of the state in which the Licensed Area are located, without regard to conflicts of law. h) Interpretation. Unless otherwise specified, the following rules of construction and interpretation apply: (i) captions are for convenience and reference only and in no way define or limit the construction of the terms and conditions hereof: (ii) use of the term "including" will be interpreted to mean including but not limited to"; (iii) whenever a party's consent is required under this Agreement, except as otherwise stated in the Agreement or as same may be duplicative, such consent will not be unreasonably withheld, conditioned or delayed; (iv) exhibits are an integral part ofthis Agreement and are incorporated by reference into this Agreement; (v) use of the terms `termination" or "expiration" are interchangeable; (vi) reference to a default will take into consideration any applicable notice, grace and cure periods; (vii) to the extent there is any issue with respect to any alleged, perceived or actual ambiguity in this Agreement, the ambiguity shall not be resolved on the basis of who drafted the Agreement; (viii) the singular use of words includes the plural where appropriate; and (ix) if any provision of this Agreement is held invalid, illegal or unenforceable, the remaining provisions of this Agreement shall remain in full force if the overall purpose of the Agreement is not rendered impossible and the original purpose. intent or consideration is not materially impaired. i) Affiliates. All references to "Tenant" shall be deemed to include any Affiliate of New Cingular Wireless PCS, LLC using the Licensed Area for any Permitted Use or otherwise exercising the rights of Tenant pursuant to this Agreement. "Affiliate" means with respect to a party to this Agreement, any person or entity that (directly or indirectly) controls, is controlled by, or under common control with, that party. Control" of a person or entity means the power (directly or indirectly) to direct the management or policies of that person or entity, whether through the ownership of voting securities, by contract, by agency or otherwise. j) Survival. Any provisions of this Agreement relating to indemnification shall survive the termination or expiration hereof. In addition, any terms and conditions contained in this Agreement that by their sense and context are intended to survive the termination or expiration of this Agreement shall so survive. k) W-9. As a condition precedent to payment, Landlord agrees to provide Tenant with a completed IRS Form W-9, or its equivalent, upon execution of this Agreement and at such other times as may be reasonably requested by Tenant, including any change in Landlord's name or address. I) Execution/No Option. The submission of this Agreement to any party for examination or consideration does not constitute an offer, reservation of or option for the Licensed Area based on the terms set forth herein. This Agreement will become effective as a binding Agreement only upon the handwritten legal execution, acknowledgment and delivery hereof by Landlord and Tenant. This Agreement may be executed in two (2) or more counterparts, all of which shall be considered one and the same agreement and shall become effective when one or more counterparts have been signed by each of the parties. All parties need not sign the same counterpart. m) Attorneys' Fees. In the event that any dispute between the parties related to this Agreement should result in litigation, the prevailing party in such litigation shall be entitled to recover from the other party all reasonable fees and expenses of enforcing any right of the prevailing party, including reasonable attorneys' fees and expenses. Prevailing party means the party determined by the court to have most nearly prevailed even if such party did not prevail in all matters. This provision will not be construed to entitle any party other than Landlord, Tenant and their respective Affiliates to recover their fees and expenses. n) WAIVER OF JURY TRIAL. EACH PARTY, TO THE EXTENT PERMITTED BY LAW, KNOWINGLY, VOLUNTARILY AND INTENTIONALLY WAIVES ITS RIGHT TO A TRIAL BY JURY IN ANY ACTION OR PROCEEDING UNDER ANY THEORY OF LIABILITY ARISING OUT OF OR IN ANY WAY CONNECTED WITH THIS AGREEMENT OR THE TRANSACTIONS IT CONTEMPLATES. o) No Additional Fees/Incidental Fees. Unless otherwise specified in this Agreement, all rights and obligations set forth in the Agreement shall be provided by Landlord and/or Tenant, as the case may be, at no additional cost. No unilateral fees or additional costs or expenses are to be applied by either party to the other party, for any task or service including, but not limited to, review of plans, structural analyses, consents, provision of documents or other communications between the parties. 00150187-31 12op:on88u7359 Saddle Road)(SaddleRoth]) Opeunape(and Land e)oax Awemm, (001)0157-3) p) Further Acts. Upon request, Landlord will cause to be promptly and duly taken, executed. acknowledged and delivered all such further acts, documents, and assurances as Tenant may request from time to time in order to effectuate, carry out and perform all of the terms, provisions and conditions of this Agreement and all transactions and permitted use contemplated by this Agreement. IN WITNESS WHEREOF, the parties have caused this Agreement to be effective as ofthe Effective Date. LANDLORD" GIRL SCOUTS OF HAWAII a Hawaii non-profit corporation By: ...—G.-., PriutName- fskEp.,aa ( G f its: (pr, [Insert Title] Date: [Insert Date] I O oat 00150187-3EXEJ TENANT" New Cingular Wireless PCS, LLC, a Delaware limited liability company By: AT&T Mobility Corporation Its: Manager By: Print Name: f ,94"I n-0 Its: [Insert Title] AiErt, -- Di-€i7"c.. Date: [Insert Date] to/g/2,2 ACKNOWI FDGMENTS APPEAR ON NEXT PAGE] 130po'man ILL03359 Saddle Road 3(Saddle Road3) OVdnn dad Land License A®mnrni (00I ruubn STATE OF HAWAII LANDLORD'S ACKNOWLEDGMENT 1 SS: CITY & COUNTY OF HONOLULU O ais`t3t yof C(471. ti p CG corporation, hat said person executed the foregoing instrument identified or described as OPTION AND LAND LICENSE on behalf of he corporation by authority ofits board of directors and such person acknowledged the instrument to be the free act and deed of said corporation. A/C( The foregoing instrument is dated Ur/Cl0.Y'/ and contained ZZ" pages at acknowledgment/certification. appearedTM]P i Ch 4 _ did say that such person is Eh' O 20 in the First Circuit, State of Hawaii, before me personalty to me personally known who, being by me duly sworn or affirmed, of GIRL SCOUTS OF HAWAII, a Hawaii non-profit U/HXm(J, aLL'K- Print Name: "Ij imna Char- Notary Public, State of ' My commission expires: i1T.) ttttantltl,,', PUBIJC the time of this rt&231 . oal toF N `. 00150187-3)21 14o den and morns. Saddle Road 3 (Saddle Road 3) Potion and Lind butte Agreement ooi mi Rzp TENANT ACKNOWLEDGMENT STATE OF I IAWAFI ss: CITY & COUNTY OF HONOLULU ) On the (f day of 1:00tOetk- , 20s in the First Circuit, State of Hawaii, before me personally appearedS'!t"/kRl (Iv . and acknowledged under oath that he/she is the ibit.J''-(L lDO'LEC1I$ of AT&T Mobility Corporation, the Manager of New Cingular Wireless PCS, LLC, that said person executed the foregoing instrument identified or described as OPTION AND LAND LICENSE on behalf of the limited liability company by authority of its members and such person acknowledged the instrument to be the free act and deed of said limited liability company.,, / I '' -- The foregoing instrument is dated 114,10...1» and contained IS pages at the time of this acknowledgment/certification. 011 pN BRI04,2Jay -0.. S NOTARY` PUBLIC — rComm No. 16 OF HP Ills! in' Print llamev UV1WIA! giO-sitler NotarysState My commission expires: Yi ICELLAN BRIONES COMMISSION NO. 18-230 NOTARY PUBLIC. STATE OF HAWAII MYCOMMISSION EXPIRES MAY 20, 2023 Doc. Date: Ict 121-19 # Pages: 21— Name: Rena 13 nes . First Circuit InWl ;CI i Tawleer:fs=/ O'i RV CERTIFICATION le J`t.. BRIOryFS NOTARYPUBLIC Comm, No. T9r... . OFN14. ‘.` Pp seri n)" 100150189-35opeon and HIO3359 Sadmr Roan 3 (Saddle Road a) ()paw and cum bank Apcnn..n (00150187-3) EKE EXHIBIT 1 DESCRIPTION OF PROPERTY AND LICENSED AREA Page of to the Option and Land License Agreement dated [Insert Date] , 20 , by and between Girl Scouts of Hawaii, a Hawaii non-profit corporation, as Landlord, and New Cingular Wireless PCS, LLC, a Delaware limited liability company, as Tenant. The Property is legally described as follows: All of that certain parcel of Land (being all of the land(s) described in and covered by Land Patent Grant No. 13,014 issued to the Hawaii Island Girl Scout Council, Inc., a Hawaiian eleemosynary corporation) situate, lying and being at Old Army Radio Station, Kaohe 3, Section 8, in the District of Hamakua, Island and County of Hawai State of Hawaii, and thus bounded and described: Beginning at the northeast corner of this parcel of land on the west side of the Saddle Road, the coordinates of said point of beginning referred to Government Survey Triangulation Station "AHUMOA" being 1712.34 feet north and 7553.03 feet west and running by azimuth measured clockwise from true South: 1. 348° 26' 50" 471.81 feet along fence along the west side of the Saddle Road; 2. 50° 52' 30" 739.63 feet along fence along portion of the Government Land of Kaohe 3, Section 8; 3. 159° 15' 20" 10.24 feet along fence along portion of the Government Land of Kaohe 3, Section B, to the boundary between the lands of Kaohe 3, Section B, and Waikoloa (R.P. 5671, L.C. Aw. 8521-B Apana 1 to G.D. Hueu); 4. 174° 30' 00150(8)-312) Lw150e1--3J Exe 179.63 feet along the 1 Optionand MI03159 Saddle amd 3 (SaddlePad I) Option and Land license A®eemem land of Waikoloa R.P. 5671, L.C. Aw. 8521-B Apana 1 to G.D. Hueu); 173° 30' 309.12 feet along the land of Waikoloa R.P. 5671, L.C. Aw. 8521-E Apana 1 to G.D. Hueu); 6. 230° 59' 30" 688.65 feet along fence along portion of the Government Land of Kaohe 3, Section B, to the point of beginning. AREA 6.875 ACRES, more or less. Said above described parcel of land having been acquired by HAWAII ISLAND GIRL SCOUT COUNCIL, INC., a Hawaiian eleemosynary corporation, by Land Patent Grant No. 13,014 issued by the State of Hawaii, on June 25, 1954. The Licensed Area are described and/or depicted as follows: 00150189-31 00150IR7-3)EXE Option W HIL03359 Saddle Road ] (Saddle Rod 3) Land (.mue.A mau t Notes( I. THIS EXHIBIT MAY BE REPLACED BY A LAND SURVEY AND/OR CONSTRUCTION DRAWINGS OF THE LICENSED AREA ONCE RECEIVED BY TENANT. ANY SETBACK OF THE LICENSED AREA FROM THE PROPERTY'S BOUNDARIES SHALL BE THE DISTANCE REQUIRED BY THE APPLICABLE GOVERNMENTAL AUTHORITIES. 3 WIDTH OF ACCESS ROAD SHALL BE THE WIDTH REQUIRED BY THE APPLICABLE GOVERNMENTAL AUTHORITIES, INCLUDING POLICE AND FIRE DEPARTMENTS. TI LE TYPE, NUMBER AND MOUNTING FOSDIONS AND LOCATIONS OF ANTENNAS AND TRANSMISSION LINES ARE ILLUSTRATIVE ONLY. ACTUAL TYPES, NUMBERS AND MOUNTING POSITIONS MAY VARY FROM WHAT IS SHOWN ABOVE. 00150187-3) NOM 157-3) EKE CNN ERE -ROOM saddle Kepi I (SEMIe Road 3) Option eed One Cow Agammi Ivl 1 d z J NN\ N , t' s. O I} m IF G l tI v Notes( I. THIS EXHIBIT MAY BE REPLACED BY A LAND SURVEY AND/OR CONSTRUCTION DRAWINGS OF THE LICENSED AREA ONCE RECEIVED BY TENANT. ANY SETBACK OF THE LICENSED AREA FROM THE PROPERTY'S BOUNDARIES SHALL BE THE DISTANCE REQUIRED BY THE APPLICABLE GOVERNMENTAL AUTHORITIES. 3 WIDTH OF ACCESS ROAD SHALL BE THE WIDTH REQUIRED BY THE APPLICABLE GOVERNMENTAL AUTHORITIES, INCLUDING POLICE AND FIRE DEPARTMENTS. TI LE TYPE, NUMBER AND MOUNTING FOSDIONS AND LOCATIONS OF ANTENNAS AND TRANSMISSION LINES ARE ILLUSTRATIVE ONLY. ACTUAL TYPES, NUMBERS AND MOUNTING POSITIONS MAY VARY FROM WHAT IS SHOWN ABOVE. 00150187-3) NOM 157-3) EKE CNN ERE -ROOM saddle Kepi I (SEMIe Road 3) Option eed One Cow Agammi EXHIBIT 11 ENVIRONMENTAL DISCLOSURE Landlord represents and warrants that the Property, as of the Effective Date, is free of hazardous substances except as follows: NOTAPPLICABLE] 00150189-3) °pion and mm33e9 sada. Road 3 (SNYtRoad ryuu01nal EXE ) Option and andeamu ngmomt EXHIBIT 12 STANDARD ACCESS LETTER FOLLOWS ON NEXT PAGE] 0050187-3727 IOLO339 Saddle Road 3 tsadmt Road 3) OWm ..d Land ';.oma. AwrenL as 1501E7-3) EE Girl Scouts of Hawaii Insert Date] Building Staff / Security Staff Girls Scouts of Hawaii 410 Atkinson Drive, Suite 2EI Box 3 Honolulu, HI 96814 Re: Authorized Access granted to AT&T Mobility Dear Building and Security Staff, Please be advised that we have signed a license with AT&T permitting AT&T to install, operate and maintain telecommunications equipment at the property. The terms of the license grant AT&T and its representatives, employees, agents and subcontractors ("representatives") 24 hour per day, 7 day per week access to the licensed area. To avoid impact on telephone service during the day, AT&T representatives may be seeking access to the property outside ofnormal business hours. AT&T representatives have been instructed to keep noise levels at a minimum during their visit. Please grant the bearer of a copy of this letter access to the property and to licensed area. Thank you for your assistance. tat lord Signature 100150187-31 Potion and H1L03359 SaddleRoan 3 (Saddle Rout 3) opt en end land Lime A 001501 3)axe 00150187-3) 0150191 -))EXE EXHIBIT 24(b) MEMORANDUM OF LICENSE FOLLOWS ON NEXT PAGE] Optic. and HLLmiss saddle Road 3 (saddle Road a) Opuen and Land License Areemena LAND COURT SYSTEM AFTER RECORDATION, RETURN By: MAIL ( )PICKUP( ) New Cingular Wireless PCS, LLC 1025 Lenox Park Blvd NE, 3rd Floor Atlanta, Georgia 30319 Ann: Network Real Estate Administration REGULAR SYSTEM TYPE OF DOCUMENT: MEMORANDUM OF LICENSE TOTAL PACES: PARTIES TO DOCUMENT: LANDLORD: GIRL SCOUTS OF HAWAII, A HAWAII NON-PROFIT CORPORATION TENANT: NEW CINGULAR WIRELESS PCS,LLC, A DELAWARE LIMITED LIABILITY COMPANY TAX MAP KEY: (3)44-015:005 Re: Cell Site Hl -11L03359; Cell Site Name: Saddle Road 3 Fixed Asset Number: 12716303 State: Hawaii County: Hawaii MEMORANDUM OF LICENSE This Memorandum of License is entered into on this day of , 20 by and between Girl Scouts of Hawaii, a Hawaii non-protit corporation, having a mailing address of 410 Atkinson Drive, Suite 2E1 Box 3, Honolulu, HI 96814 (hereinafter called "Landlord"), and New Cingular 00150187-3 )2) EXE I Option end mL01:59 SWIGRoad (Saddic Road 3) Option and Lend Lions RyrtvnnnLLW15018)3) Wireless PCS, LLC, a Delaware limited liability company, having a mailing address of 1025 Lenox Park Blvd NE, 3`a Floor, Atlanta, GA 30319 ("Tenant"). 1. Landlord and Tenant entered into a certain Option and Land License Agreement ("Agreement") on the day of , 20 , for the purpose of installing, operating and maintaining a communication facility and other improvements. All ofthe foregoing is set forth in the Agreement. 2. The initial license term will be five (5) years commencing on the effective date of written notification by Tenant to Landlord of Tenant's exercise of the Option, with four (4)] successive automatic five (5) year options to renew. 3. The portion of the land being licensed to Tenant and associated easements are described or depicted in Exhibit 1 annexed hereto. 4. The Agreement gives Tenant a right of first refusal in the event Landlord receives a bona fide written offer from a third party seeking any sale, conveyance, assignment or transfer, whether in whole or in part, of any property interest in or related to the Licensed Area, including without limitation any offer seeking an assignment or transfer of the License Fee payments associated with the Agreement or an offer to purchase an easement with respect to the Licensed Area. 5. This Memorandum of License is not intended to amend or modify, and shall not be deemed or construed as amending or modifying, any ofthe terms, conditions or provisions of the Agreement, all of which are hereby ratified and affirmed. In the event of a conflict between the provisions of this Memorandum of License and the provisions of the Agreement, the provisions of the Agreement shall control. The Agreement shall be binding upon and inure to the benefit of the parties and their respective heirs, successors, and assigns, subject to the provisions of the Agreement. IN WITNESS WHEREOF, the parties have executed this Memorandum of License as of the day and year first above written. LANDLORD: TENANT: GIRL SCOUTS OF HAWAII, a Hawaii non-profit corporation By: — Pri ame: f Slta¢ `A 1G 1 Its: [Insert Titlel C. v Date: [Insert Datel 1 of Isin, New Cingular Wireless PCS, LLC, a Delaware limited liability company By: AT&T Mobility Corporation Its: Manager By: Print Name: f BRYAJ trio Its: [Insert Titlel JE74cN'- DIRa'Tc. Date: [Insert Datel 10/ 5)2.0 ACKNOWLEDGMENTS APPEAR ON NEXT PAGE] 00150187-3) 2opdon and H1L03359 saddle Road 3 (Saddle Road 3) option and 'sense AyIeemonga0150187-3) ve LANDLORD'S ACKNOWLEDGMENT STATE OF HAWAII SS: CITY & COUNTY OF HONOLULU On this ib day of (1 s, 2022 , in the First Circuit, State of Hawaii, before me personally appeared —ilia l ,lane'to me personally Icnpwn w beim iby me duty sworn or a ironed, did say that such person is the J LEO of (71 f- ( "fij( i 9i 4ON a i i — I corporation, that said person executed the foregoing instrument identified or described as MEMORAN M OF LICENSE on behalf of the corporation by authority of its board of directors and such person acknowledged the instrument to be the free act and deed of said corporation. ,, %%,, The foregoing instrument is dated btY1LV11 ) and contained 9 pages at the time of this acknowledgment/certification. Pnnt ame:-Dinm,a r rKlR Notary Public, State of Ha i'i My commission expires: lal 0 ollll Illll. Aott Pu/-I,= 78/ ``• `` te Or111111111 100150187-3) orym uW 111L033$9 Saddle Hold] Idle Road 3)Optoo and LandLomm Agletm,, (00150i87-3) STATE OF HAWAII TENANT ACKNOWLEDGMENT ss: CITY & COUNTY OF HONOLULU ) On the (p day of DCTb6a— , 20%+, in the First Circuit, State of Hawaii, before me persgnally appealed'M1 t't and acknowledged under oath that he/she is the N of AT&T Mobility Corporation, the Manager of New Cingular Wireless PCS, LLC, that said person executed the foregoing instrument identified or described as MEMORANDUM OF LICENSE on behalf of the limited liability company by authority of its members and such person acknowledged the instrument to be die free act and deed of said limited liability company. The foregoing instrument is dated ItlnkL4 and contained 9 pages at the time of this acknowledgment certification. O0r50159-31 EXE NOTARYPUBLIC - E OF HQ nlnl"• Printcny1 Notary Public, State of Hawaii My commission expires: 0.i 24 KELLAN BRIONES COMMISSION NO. 18-230 NOTARYPUB IC. STATE OF HAWAII MY COMMISSION EXPIRES MAY 30, 3023 Doc. Date: (3/07 b1> # Pages: q NOTARY Name: Kea ones FirsCircuit PUBLIC = DOC. Desc.iplio : UM -ie -- a- • -weC< AAA b/n J Ccmm. N0. is -230 dale P P No ry N ARY CERTIFICATION n1115(P Optim W 111103359 Saddle/Read 3 (5 Rnd 3) OpLM L¢nve AOram m1 (00150187-3) EXHIBIT I TO MEMORANDUM OF LICENSE DESCRIPTION OF PROPERTY AND LICENSED AREA Page of to the Memorandum of License dated , 20 , by and between Girl Scouts of Hawaii, a Hawaii corporation, as Landlord, and New Cingular Wireless PCS, LLC, a Delaware limited liability company, as Tenant. The Property is legally described as follows: All of that certain parcel of land (being all of the land(s) described in and covered by Land Patent Grant No. 13,014 issued to the Hawaii Island Girl Scout Council, Inc., a Hawaiian eleemosynary corporation) situate, lying and being at Old Army Radio Station, Kaohe 3, Section B, in the District of Hamakua, Island and County of Hawaii, State of Hawaii, and thus bounded and described: Beginning at the northeast corner of this parcel of land on the west side of the Saddle Road, the coordinates of said point of beginning referred to Government Survey Triangulation Station "AHUMOA" being 1712.34 feet north and 7553.03 feet west and running by azimuth measured clockwise from true South: 1. 348° 26' 50" 471.81 feet along fence along the west side of the Saddle Road; 2. 50° 52' 30" 739.63 feet along fence along portion of the Government Land of Kaohe 3, Section B; 3. 159° 15' 20" 10.24 feet along fence along portion of the Government Land of Kaohe 3, Section B, to the boundary between the lands of Kaohe 3, Section B, and Waikoloa R.P. 5671, L.C. Aw. 6521-B Apana 1 to G.D. Hueu); 4. 174° 30' 179.63 feet along the land of Waikoloa (R.P. 5671, L.C. Aw. 8521-B Apana 1 to G.D. Hueu); 5. 173° 30' 309.12 feet along the land of Waikoloa (R.P. 5671, 00150187-3) opii , and HIwnss SaddleRoad 3 (saddle/Load 3) Opum aun bye Liana Agreement ram L.C. Aw. 8521-B Apana 1 to G.D. Hueu); 6. 230" 59' 30" 688.65 feet along fence along portion of the Government Land of Kaohe 3, Section B, to the point of beginning. AREA 6.875 ACRES, more or less. Said above described parcel of land having been acquired by HAWAII ISLAND GIRL SCOUT COUNCIL, INC., a Hawaiian eleemosynary corporation, by Land Patent Grant No. 13,014 issued by the State of Hawaii, on June 25, 1954. The Licensed Area are described and/or depicted as follows: 100150187-31 EXE openand N1LC3359 Saddle Road R(SaddleRead 5l open one Land beeeee A®.wn,(0°I,°195-3) z' A 7". z• tf'' 1 7-,„ y L.: l t r/ I l‘ IP OA°500-55.5 PROPOSED ATM PROJECT AREA IL a ID . 500poo COS FA /1 o A[ IT 47 • 1I: i3I A 0lS.Il3 oow, mt., FRO„ ci /„ A rsrR ( HA>. Ho > 0503 7 1 / A. V 5/A A A ' 1 V. It 11 A OP: r• biz --r AT& T HIL0335? A HIL03359 A., .... onrr PLANSa i L$ A- 1 E PLAN SIT0 00 PLAN W-9 FORM FOLLOWS ON NEXT PAGE] 00150187-3) Opti ud HILO3359 SaddleRoid 3(SCENctoad!) Option and toolLimo Ayxmml (00130190.1) Fwm W-9 FG:octoberzeta, apartment attn. TreaSurYRvarue:emce Request for Taxpayer Identification Number and Certification a Go to www.irs.gov/FormW9 for instructions and the latest irdormation. Give Form to the requester. Do not send to the IRS. Printortype. SeeSpecificInstructionsonpage 3. 1 Name as shown on Your Income lax learnt Names required on lin line do not leave Sas kr* blank GLrA cat: A-:5 of 1-4at.Jcl' 2 Business realer vegaded enbly name. if afferent from Wine 3 Check apploprlale box forfederal tax classification of the person wase march is enteredon Ile 1. Check INCxnn se enbites. IMrvldual'sde proprietor or 0 G CIXCGaton S Cdoaahon 0 Partnership SihQle-rrembet LLC 0 UMted NOYM company, Etna the tax classification ICcC corporation. S-5 mraretwt PPalneishipl Note. Check the appropriate box in thetie abovetot Ve tat cti1abon ofthe single -member armor. uC aneum is chanter as a slrhglemenm LLC that is O&egsded from the owner uriess the anomer LTCthat s net asreoaNMi from the other to U.S. fedaaltax purposes. OtMWse. a single is awegarded from the owner Mose checkthe appropriate box for (relax dassilicaftco cum dimmer, Other (see Instructions)). only one ofthe TmsVestate e 4 FxernpLOnScertainanuses, instructions Exempt payee ExemptioncoceOfWY) rwCw+m®n¢nwmaveuu iL(KES appy oniylo notlnonrdWls. see oro page 31 code 111 and from FATCA reportingDonotcheck Inc dtbe LLC a member l -C that me uv S Addams (numIXr.street, and at or suite noj See Inductions. 4Io Aires, r',SG,a D&t 1.1/25Sµe{-eE•R6x3 Requester' s name and ddres(oplroral e City. state. and ZIPcode ) I- 0 Ax-,c,\..aktA1 c(e flu if TaccountaccntnwrtelslferemmotionalPart I axpayer Identification Number (TIN) Enter yourTIN in the appropriate box. The TIN providedmust match the name given on line t to avoid backup withholding. For individuals, its is generally your social security camber (SSW)). However, for a resident alien. sole proprietor, or disregarded entity. see the instructions for Pad I, later, For other Mies. it is your employer identifiwrer bonnberfEINF If youdo not have a number, see Now to geta RN, later. Note: If the account is in more than one name, see the instructions for line 1. Also see What Name and Number To Owe the Requester for guidelines on whose number to enter. Social security number Or EmployerIdentification niwzber jJ Certification 9 F C) J 7 4 Under pennies of perjury. I certify that: 1. The number shown on this form is my correct taxpayer identification number (oft am waiting for a number to be rssued to me): and 2. 1 am not added tobackup wNtio di g because: (a) I am exempt from backup withholding, or (t) I have not been notified by the Internal Revenue ServiceQRS} that I am subject to backup withholding as a result of a failure to report et interest or dividends. or c) the IRS has notified methat I am no longer subject to backup withholding: and 3. I am a U.S. citizen or other U.S. person (defined below): and 4. The FATCA compos) entered on this form (if any) indicating that I ani exempt from FATCA reporting is correct. Cerahcaton instructions. You must cross out item 2 above it you have been notified by the IRS that you are currentlysubject to backup withholding because you Nie failed to report al interestand dividends on your taxreturn. For real estate transaction, item 2 does not appy. For mortgage interest pad. acquisition or abandonment of seared property, cancellation of debt contribution to an ndvidel retirement arugenlern PRA). and generally, payments otherthaninterestanddividends. you are not required to syn the certification, but you must provide you opined 11N. See the manuctons for PM il, later. Sign HereWired,eof U.S. person a - General Instr6ctions Section references are to the Internal Revenue Code unless Mhervnse noted. Futuredevelopments. For he latest information about developments related to Form VV -9 and is instructions. such a legislation enacted after they were published, go to www.lrs.gowT149 Purpose of Form M individual or entity (Form W-9 requester) who is required to role on information return with the IRS must obtain your correct taxpayer idenlihcetion number (RM which may be your social security number SSN), individual taxpayer identification number (11IN),adaption taxpayer identification number (ATIN), or enpbyer identification number EIN), to report on an infonetion return the amount paid to you, or other amount reportable on an information return. Examples of iniomntion returns include, but we rot finned to. the following. Form 1099 -INT (interest earned or paid ams tol1 Form 1099 -DN (dividends, inchging those from stocks Of mutualfunds) Form1189-MISC (various types of income, prizes, awards, or gross Proceeds) Form1099-B (stock or mutual fund sales and certain other trenaactiont• by bmte,a) Form 1099-S (proceeds from real estate transactions) Form 1099-K (merchant card and third deity network transactions) Form 1098 (home mortgage interest), 1098.E (student loan interest). 1098- T (tuition) Form 1099-C (caicNed debt) Form 1099-A (acgt isition or abandonmentof seared property) Use Fon W-9 onty if you we a U.S. person Omluding a resident alien). to proud your correct TIN. Ryan do not return FormW-9 to the requester with a EN. you mightbe subject to backup withholding. See What is backup vnlMoldirg, ate, Cat. Ne.10231x 00150187- 3) LFL Form W-91Revno-201a) Optimma 111103959 Saddle Road3 (3101119119551310ptronu,d Lend License 905591.199 100159 /97-1/ Mitchell D. Roth \for,11· Lee E. Lord \f1111,1�i11� J)ii,•,·ror \fav IS, 2(12 l I () SI JIJJl'C I <Couut,, of 1l),1tt1<1i'i HAWAI'I FIRE DEPARTMENT 1' \.,p11ni Stn·d • �lli1r 2'ill I • 111lu. I 1�11 .1i•, %-211 l�IIHI <1_12-11)1111 o I a, (.�ll81 <1.\2-2'!28 KAZUO S.K.L TODD, FIR!' C'lllEF Lsr Permit Application (llSE 21-00087) Applicant: AT&T l\-lohility Kazuo S.K.L. Todd f"irt• CJ,i.j Request: To E'.'ltahlish a 105-foot Tall l\101101rnle TC'lccommunication Tower T�IK: And Related Equipment (.1) 4-4-015:0115 1"11..: I la\\:1i· 1 1-iri.: Dl.'pai1m..:nt has SJK\.:1al cornm..:nts \\ ith n:g:ards Ill th..: Us..: Pi.:rmit Applicatinn as noted ahP\"\.' Sp..:cial Comnh:nt· Th..: 14X gallon fuel tanl-.. will r..:quir..: a ahon: ground storage thank p..:nnit llirm the 11:m �11· 1 hr..: Dep<1rtmcnt. Ir then: ar..: ,my qu1:stion� r..:gardmg tllL'St: ..:i1mm..:nts. pkasi.: conta.:t th..: Firl.: Pn:n:ntion Buri.:au at (X(J8) 9J2-2l)I I hAZliO Sh l. !ODD Fin: ('hid Planning Dept. Exhibit_�i, __ 141857 girl scouts of hawai'i of H.Hvdl F I mkioonn nano unam of oar Voire r.ha:r y 'rvm11,1,0 VK e si..IL veucn Girl Advocates Ny' olf,R,L.nt igmbi Planning DepF. Exhibit 3 May 6, 2021 Windward Planning Commission Aupuni Center 101 Pauahi Street, Suite 3 Hilo, HI 96720 RE:Af&1 Wireless Communications Facility — Girl Scouts of Hawaii Camp Kilohana USE 21-00087 To Whom it may concern; Please accept this letter of support for the above project to be located at the Girl Scouts of Hawaii Camp Kilohana located at State Route 200 Waimea, HI. 96743. We feel this project will be an asset to the community and we look forward to the project completion. We also look forward to the educational learning experience that this project will bring to our Hawaii Island Girl Scouts as we focus on the importance of Science, Technology, Engineering and Math (STEM) in workforce development for young girls and the contribution of STEM to our community's future. If you have any questions, please feel free to contact me. Shari W. Chang CEO uu Ing hu,lds Gods of m rage rotifocrenre and rhumeref who make the world a better place 141634