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HomeMy WebLinkAboutSDP201100068 Legacy Document 2011-11-29 (4)VERIZON WIRELESS: MECHUMS RIVER (BARRELL PROPERTY) EXTENSION OF FORMER ALLTEL MONOPOLE TIER II PERSONAL WIRELESS SERVICE FACILITY Proiect Description: Alltel Communications LLC, trading as Verizon Wireless, respectfully requests approval to allow the extension of an existing metal monopole tower for the attachment of a new set of antennas mounted on a second array. The proposed monopole extension and facility upgrades are part of a larger project to improve Verizon Wireless' existing network of facilities by adding fourth generation ( "4G ") services to the existing Cellular services that were once operated by Alltel, as well the Personal Communications Services ( "PCS ") that are already available to residents in most parts of Albemarle County. Verizon Wireless currently owns and operates one of two existing Personal Wireless Service Facilities ( "PWSF" or "Facility ") on property identified in Albemarle County records as Tax Map 72 / Parcel 43B (the "Property "). The site is located in the Whitehall Magisterial District of Albemarle County, to the north of I -64 and is addressed as 1010 Mechum View Drive. Verizon Wireless' mounting structure, which was originally owned by Alltel, consists of an 87 -foot tall steel monopole tower, fitted with existing antennas which do not fully clear the tree canopy in most directions. The existing antenna array is located at a centerline mounting height of approximately 82.75 feet above ground level (AGL) and uses three flush -mount brackets and pipes top height of approximately 85 feet. The 8.5- foot extension that is proposed will use a "cluster- mount" system to bring the top of the tower to an approximate height of 95 feet AGL, so the new antennas can clear the surrounding tree tops. Both the existing and proposed arrays are necessary for Verizon Wireless to deploy the three different technologies that the company is licensed for in Albemarle County. All antennas will be painted Sherwin Williams ( #6090) Java Brown to match the dark - brown color and finish of the proposed monopole. Verizon Wireless' proposed new ground equipment, consisting of a LTE transmitting equipment rack and back -up battery cabinet will be painted the same color and screened within the existing wooden fence. Combined, these upgrades will provide expanded wireless services to nearby residences as well those travelling along I -64 to the east of the Crozet Exit 110, and other nearby state and local roads. Network Objectives: Verizon Wireless is licensed by the Federal Communications Commission (FCC) to provide state -of -the -art wireless communications services within Albemarle County, including 4G services which will be delivered through Long Term Evolution (LTE) wireless technology (which utilizes the 700 MHz frequency band). Verizon Wireless plans to launch new 4G service in Albemarle County, the City of Charlottesville and surrounding counties during the first quarter of 2012 if zoning approvals can be timely obtained. 4G will offer data upload, download and transmission speeds up to ten times faster than current technologies. Verizon Wireless Page 1 Mechums River (Tier II Extension) It is important to note that, though the antennas for PCS (which utilizes the 1900 MHz frequency band) and Cellular (utilizing the 850 MHz frequency band) can be combined within one set of flush - mounted antennas, LTE utilizes a frequency band which is too close to the Cellular band's frequency in the federally government's licensed radio spectrum. This makes it impossible to combine the LTE - and Cellular signal transmissions within a single set of flush - mounted antennas without interference between the signals. Therefore, the LTE and Cellular antennas must be physically separated on the monopole, requiring either additional height to achieve vertical separation, or a much wider horizontal distance between the two antennas. In this case, Verizon Wireless is proposing that the antennas be split between two vertically spaced arrays in order to meet the County's preference for flush - mounting. In order to integrate all three of these technologies into the network's existing PWSFs, all of Verizon Wireless' existing sites, including former Alltel sites, must be upgraded and modified to accommodate the new antennas and equipment required for these services. After Verizon Wireless merged with Alltel Communications in 2009, the company evaluated former Alltel 850 MHz Cellular Service resources and facilities in this market. For this particular Facility, the proposed tower extension and new antennas will provide for expanded services that include all three of the combined technologies (Cellular, PCS and LTE). It is also Verizon Wireless' goal to provide seamless in- building, in -car and on- street coverage and the full range of voice and data services to existing and future customers. In doing so, Verizon Wireless has identified this particular area as one that already has some coverage issues, due to the fact that many of the trees surrounding the site are as tall as this existing monopole. Therefore, an extension of this monopole will be necessary, instead of mounting below the existing antennas, so the new antennas can provide the best coverage possible tot the residents of this area. Without the additional height, the new antennas and service they provide will have less of an opportunity to connect with any existing sites and possible future sites in planned for the area. Even with the additional height proposed in this particular application, coverage from this Facility may not be optimal compared with coverage that could be obtained by adding even more height to this monopole to allow the existing antennas to clear the surrounding trees. Character of the Area: The Property is zoned Rural Areas (RA) and located in the Entrance Corridor (EC) overlay district, and all of the surrounding properties are zoned Rural Areas. The proposed modifications to this PWSF will not substantially impact the rural character of the surrounding area because: (1) the proposed new set of antennas will only extend 10 feet above the reference tree, (2) no trees will need to be removed and (3) there will not be any disturbance beyond the bounds of the Facility's fenced compound or lease area. The PWSF is located approximately 875 feet north of the right -of -way for I -64, on a hill that is roughly 100 feet above the westbound lane, in a wooded area just beyond the residence on this property. Access is provided to the existing facility from a gravel road that begins at the end of state maintenance for Shelton Mill Road (State Route 683), and then heads toward the northeast on Mechums View Lane and south to the site. Another Verizon Wireless Page 2 Mechums River (Tier II Extension) facility owned by T- Mobile is located on the subject parcel within close proximity, just to the east of Verizon Wireless' facility. The area where the proposed PWSF will be located is surrounded by several trees that screen the ground based equipment on all sides, with tallest trees being located to the south and east of the two monopoles. Compliance with Tier II Criteria (Section 5.1.40 of the Zoning Ordinance): This facility was originally approved for Alltel as a special use permit (SP- 2000 -029), prior to the adoption of Section 5.1.40. However, under these current regulations, both the existing PWSF and the extension proposed qualify for approval as a Tier II by -right facility. The County's specific design criteria for Tier II Facilities, as set forth in Section 5.1.40(d), are addressed as follows: • 5.1.40(d)(1) - The facility shall comply with subsection 5.1.40(b) and subsections 5.1.40(c)(2) through (9). ♦ Subsection 5.1.40(b) (1 -5): After the proposed extension, this PWSF will still be in compliance with the setback regulations and all other area and bulk regulations and minimum yard requirements. This location exceeds the required setbacks (equal to 100% of the structure's height) for towers and similar structures for a minimum distance of 95 feet from all parcel lines shared with adjoining lots. Further, there are no public road rights -of -way within a radius equal to the monopole's height. The attached site drawings, antenna and equipment specifications are being provided to demonstrate that the relevant PWSF regulations and site plan requirements, set forth in Section 32 of the zoning ordinance, are being met with this proposal. ♦ Subsection 5.1.40(c)(2): The extension of the monopole will not require the installation of guy wires, nor will it be fitted with any whip antennas without any further County approvals. In order to effectively extend above and protect the new antennas, Verizon Wireless must replace the existing grounding system with a new rod that will extend above the newly proposed height, while also complying with the County's size requirements. ♦ The facility currently has a powered motion detecting light fixture attached near the door of the existing shelter. If additional lighting is required for the outdoor LTE equipment to be added it will consist of a low- powered fixture attached to a short pole and it will only be turned on when service is being performed at the site at night. The light will be adjustable, as required by Verizon Wireless' safety standards, and will satisfy Occupational Safety and Health Administration (OSHA) regulations requiring that "each work area and walkway is adequately lighted whenever an employee is present ". Maintenance and repairs are most often during events such as extremely bad weather or after tree limbs, ice or other materials have fallen onto equipment. This will help to ensure that technical operations staff can safely move about the facility during the times when maintenance of the site is necessary. Please note that these times are most often Verizon Wireless Page 3 Mechums River (Tier II Extension) during events of extremely bad weather or after tree limbs, ice or other materials have fallen onto equipment. ♦ Subsection 5.1.40(c)(3): The proposed antenna configuration must be vertically spaced in two separate arrays one above the other. The proposed extension will hold the second array of panel antennas for the LTE service (identified as Amphenol Antel Model # BXA- 70063/8CF (94.6" x 11.2" x 4.5" - approximately 1,060 square inches) to be mounted above the existing antennas. These antennas will be installed using a "cluster- mount" extension that will allow a certain amount of down - tilting while meeting the County's requirements for flush - mounts (twelve inches maximum between the face of the monopole and the face of the antenna). All antennas will be painted to match the color of the monopole. ♦ Subsection 5.1.40(c)(4 and 5): Installation of the proposed extension and all supporting ground equipment will be kept within the cleared and fenced area of the existing facility compound. Therefore, the redevelopment of this particular facility will not involve the removal of any trees, or necessitate completion of a conservation plan. ♦ Subsection 5.1.40(c)(6): Should the use of the facility be discontinued at anytime in the future, then Verizon and/or its assignee(s) shall be required to remove the facility within 90 days. ♦ Subsection 5.1.40(c)(7): Owing to the limited heights allowed for monopoles serving Tier II "Treetop" PWSFs, it is unlikely that any additional carriers could be added to this specific facility. However, if deemed necessary, then Verizon Wireless will submit an annual report updating the user status and equipment inventory of the facility in the required time period. ♦ Subsection 5.1.40(c)(8): All work will take place on the existing tower and in an area that is already fenced, with level ground that provides adequate space for the proposed ground equipment. Therefore, no new slopes greater than 2:1 will be created. ♦ Subsection 5.1.40(c)(9): All though all of the existing ground equipment is housed within a pre- fabricated shelter, this facility is already surrounded by a wooden screening fence and many evergreen trees that will screen the proposed outdoor equipment so that it is not visible from any points off of the property as well. • Section 5.1.40(d)(2) - Extending the existing monopole and installing Verizon Wireless' supporting equipment at this site will not require the removal of any trees. Therefore, the existing wooded area around the site will continue to screen Verizon Wireless' ground equipment and the lower portions of the monopole from points off of the property. • Section 5.1.40(d)(3) - Verizon Wireless is currently proposing the modification of an existing facility that has an extensive amount of screening from adjacent properties and points nearby. Because of this extensive existing screening, the , the proposed Verizon Wireless Page 4 Mechums River (Tier II Extension) 8.5 -foot extension will not impose any additional or significant impacts upon the resources identified in the County's open space plan. • Section 5.1.40(d)(4) - There is only one other PWSF located on the property and it is directly adjacent to Verizon Wireless'. In 2007, prior to the merger with Alltel, Verizon Wireless received approval to build a new PWSF with a steel monopole and prefabricated shelter on the same parcel. However, because this existing site was acquired in that merger, the proposed new facility that was approved is no longer necessary and the total number of PWSFs on this property will remain at two. • Section 5.1.40(d)(5) - Neither the base diameter or the top of the existing monopole will be increased in any way, so this section is not applicable to this request. • Section 5.1.40(d)(6) - At 8 -1/2 feet tall (and 720 feet Above Mean Sea Level - AMSL), the proposed cluster -mount extension will place the antennas approximately 10 feet above the top elevation of the reference tree. The drip line of that tree, which is identified as an 87 -foot tall (AGL), 28" diameter Oak, has a drip line that is situated approximately 4 feet away from the monopole. • Section 5.1.40(d)(7) - The monopole's cluster -mount extension and all antennas will be painted Sherwin Williams Java Brown #6090. This is a color that has been applied to previously approved PWSF monopoles. The proposed equipment that will be installed to support the new LTE antennas will also be painted this same color. • Section 5.1.40(d)(8) - The existing monopole was constructed so that cables and wiring could be contained within the monopole. Given the strict limitations in Section 5.1.40(d)(5) on the diameter of the monopole, there may not be room within the monopole to add additional cables. Verizon Wireless will attempt to run all new coaxial cables and service lines required for the new set of antennas inside the monopole. However, if the new cables do not fit within the pole, then they will be run vertically along the pole from the ground equipment to the antennas, facing the interior of the property as is required for wooden monopoles. • Section 5.1.40(d)(9 -13) - Verizon Wireless has reviewed and understands all of the remaining criteria for Tier II and Treetop Personal Wireless Service Facilities and will provide any additional information or assistance to ensure that these standards are met with this request. Conclusion: Verizon Wireless is confident that proposed modifications to this existing wireless communications facility as proposed complies with the criteria for approval of a Tier II PWSF - criteria which are geared toward mitigating visual impacts. Approval of this application will allow the extension of a steel monopole that is shorter than the top of several of the trees immediately near the site. Furthermore, the proposed tower will meet the County's design preference for flush - mounted antennas on a natural dark brown m, while allowing the installation of new antennas needed for Verizon Wireless' new LTE 4G service, without extending more than 10 feet above the treetops. Verizon Wireless Page 5 Mechums River (Tier II Extension) Approval of this request will enable Verizon Wireless to provide County residents in the vicinity of this Facility, as well as those traveling on nearby roads in this area access to high quality, high speed 4G services that are more advanced than those currently available in this market. Approval will also facilitate Verizon Wireless' development of an improved wireless network offering such advanced services throughout Albemarle County. Sincerely, Stephen Waller, AICP GDNsites Site Development Consultants to Verizon Wireless Verizon Wireless Page 6 Mechums River (Tier II Extension)