CC SR 20161220 E - Draft MSR for Dissolution of Ridgecrest Ranchos R&P DistRANCHO PALOS VERDES CITY COUNCIL
AGENDA REPORT
AGENDA DESCRIPTION:
MEETING DATE: 12/20/2016
AGENDA HEADING: Consent Calendar
Consideration and possible action to comment on the draft Municipal Service Reviews
for the two Recreation and Parks Districts in the City, and to take a position regarding
the possible dissolution of the Ridgecrest Ranchos Recreation and Parks District
RECOMMENDED COUNCIL ACTION:
(1) Receive and file the Staff report;
(2) Approve the City's comments on the draft Municipal Service Reviews; and,
(3) Provide further direction to Staff, as deemed appropriate.
FISCAL IMPACT: None at this time
Amount Budgeted: N/A
Additional Appropriation: N/A
Account Number(s): N/A
ORIGINATED BY: Kit Fox, AICP, Senior Administrative Analyst
REVIEWED BY: Gabriella Yap, Deputy City Manager:'
APPROVED BY: Doug Willmore, City Manager'
ATTACHED SUPPORTING DOCUMENTS:
A. Draft Municipal Service Reviews for Recreation and Parks Districts (page
A-1)
1. Miraleste (page A-12)
2. Ridgecrest Ranchos (page A-20)
B. Aerial photo of Ridgecrest neighborhood (page B-1)
C. Draft comments on Recreation and Parks Districts MSRs (page C-1)
BACKGROUND AND DISCUSSION:
The Los Angeles County Local Agency Formation Commission (LAFCO) performs
municipal service reviews (MSRs) of cities and special districts in the County. The MSR
is a periodic process undertaken by LAFCO to assess the efficiency and efficacy of the
delivery of services by cities and special districts. There are two (2) Recreation and
Parks Districts in the City: Miraleste and Ridgecrest Ranchos. On November 16, 2016,
LAFCO released its draft MSRs for these districts (Attachment A).' LAFCO requests
comments on the draft MSRs by January 9, 2017.
The last MSR for these districts was prepared by LAFCO in 2004.
1
The Miraleste Recreation and Parks District (Miraleste District) was formed in 1940, anc
is the older of the two (2) Recreation and Park Districts in the City. The Miraleste
District owns and maintains 42.86 acres of canyon areas, parks, trails and street
medians in the Miraleste neighborhood, as well as a community building located at 19
Miraleste Plaza. The Miraleste District is governed by a 5 -member board of residents
for whom the Los Angeles County Board of Supervisors is the supervising authority.
The Miraleste District is legally distinct and separate from the Palos Verdes Homes
Association (AKA, the Art Jury), which regulates the aesthetics of private development in
the Miraleste area through enforceable codes, covenants and regulations (CC&Rs).
The properties owned by the Miraleste District, which are non-taxable, consist of twenty
(20) Assessor's parcels with a total assessed value of $664,884.
As reflected in the draft MSR for the Miraleste District (Attachment A, p. A-12), LAFCO
recommends retaining the existing coterminous sphere of influence (SOI) of the District.
However, it does recommend that the Miraleste District overhaul its website to improve
transparency and accountability. Staff believes that these are reasonable and
appropriate recommendations.
The Ridgecrest Ranchos Recreation and Parks District (Ridgecrest District) was formed
in 1961. The Ridgecrest District owns and maintains 1.20 acres of vacated former right-
of-way along the Crenshaw Boulevard frontage of the Crestridge neighborhood, near
Crenshaw Boulevard and Crestridge Road.2 The Ridgecrest District is also governed
by a 5 -member board of residents for whom the Los Angeles County Board of
Supervisors is the supervising authority. The Ridgecrest District is legally distinct and
separate from the Crestridge homeowners' association (HOA). The properties owned
by the District, which are non-taxable, consist of three (3) Assessor's parcels with a total
assessed value of $9,844 (Attachment B).
As reflected in the draft MSR for the Ridgecrest District (Attachment A, p. A-20), LAFCO
has preliminarily determined that, due to the limited size, real property holdings and
maintenance responsibilities of the Ridgecrest District, it may now be more efficient and
effective for these responsibilities to be assumed by the City. However, Staff believes
that it is important to respect the authority of the Ridgecrest District as an independent
agency that has provided services to its residents since before the City incorporated in
1973. Therefore, Staff believes that the City should be open to considering LAFCO's
recommendation to adopt a Zero SOI for the Ridgecrest District and to assume the
District's responsibilities, providing that the Ridgecrest District does not object to such
action.
In response to LAFCO's request, Staff has prepared comments on the draft MSRs for
the City Council's review and approval at tonight's meeting (Attachment C). It should be
2 The City Council may recall the recent Reorganization of Territory involving the cities of Rolling
Hills and Rolling Hills Estates (Rolling Hills Reorganization No. 2013-04), whereby Rancho Palos Verdes
received a 0.18 -acre portion of unimproved Crenshaw Blvd. right-of-way from Rolling Hills. This same
right-of-way is also now included within the Ridgecrest District boundaries.
2
noted that Staff provided courtesy notification of tonight's discussion to the Miraleste
District and the Ridgecrest District via mail on December 7, 2016.
The Public Works Department has also reviewed this proposal, and has determined that
assuming the property and maintenance responsibilities of the Ridgecrest District would
not be infeasible or unduly burdensome for the City. Based upon the City's current
landscape maintenance contracts, the annual cost of maintaining the 1.20 -acre
Ridgecrest District parcels is expected to range between $0.03 and $0.05 per square
foot, which translates to between $1,500 and $2,600 per year.
ALTERNATIVES:
In addition to the Staff recommendations, the following alternative actions are available
for the City Council's consideration:
1. Direct Staff to revise the City's comments on the draft MSRs for submittal
to LAFCO on or before January 9, 2017.
2. Direct Staff to take no action or position in this matter.
3
LAFCO
Local Agency Formation Commission
for the County of Los Angeles
RECEIVED
NOV 17 2016
Commission
November 16, 2016
Jerry Gladbach
Chair
Via Fed -Ex Overnight Delivery
Richard H. Close
Donald L. Dear
Honorable Board of Directors, Miraleste Recreation and Park District
Margaret Finlay
Honorable Board of Directors, Ridgecrest Ranchos Recreation and Park District
Don Knabe
Sheila Kuehl
Honorable Board of Directors, Westfield Recreation and Park District
Gerard McCallum
David Spence
Honorable Directors:
Alternates
I am writing concerning LAFCO's Draft MSR for the Recreation and Parks
Michael D. Antonovich
Districts (RPDs) in the County, a copy of which is enclosed. Please note that the
Lori Brogin
first few pages of the Draft MSR provide background on the statutory authority
Paul Krekorian
Judith Mitchell
for LAFCO's preparation of MSRs, as well as additional information about the
Joseph Ruzicka
MSR process.
Greig Smith
As a courtesy, I provide a copy of the Draft MSR to the involved local agency in
Staff
advance of public release of the document. For this MSR, I am also copying the
Paul A. Novak, AICP
appropriate representatives for the jurisdictions in which your respective districts
Executive Officer
are located (the City of Rancho Palos Verdes for the Miraleste RPD and the
June D. Savala
Ridgecrest Ranchos RPD, and the County of Los Angeles for the Westfield RPD).
Deputy
Executive Officer
I would be most grateful if you would review the Draft MSR and send me
Amber De LaTorre
comments no later than Monday, January 9th, 2017. 1 tentatively plan to agendize
Doug Dorado
the Draft MSR for the Commission (LAFCO) meeting on Wednesday, March Stn,
Michael Henderson
Alisha O'Brien
2017. Receiving your comments in advance of that meeting will enable me to
Patricia Wood
revise the Draft MSR to reflect your input.
Should you or your staff wish to discuss the Draft MSR, I can be reached via e-
mail (pnovak@lalafco.org) or by telephone (626/204-6500).
Thank you in advance for your assistance. I look forward to hearing from you.
80 South Lake Avenue
Suite 870
Sincerely,
Pasadena, CA 91 101
Phone: 626-204-6500
Fax: 626-204-6507
www.lalafco.org
Paul A. Novak, AICP
Executive Officer
Enclosure
A-1
Copy W/ Enclosure to:
The Honorable Don Knabe, Supervisor, 4th District, (ATTN: Ms. Rebekah
Kim Field Deputy, San Pedro Field Office)
Mr. Kit Fox, Senior Administrative Analyst, City of Rancho Palos Verdes
Mr. Douglas Willmore, City Manager, City of Rancho Palos Verdes
Ms. Alisha O'Brien, Government Analyst, LAFCO
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Via FedEx Overnight Delivery
Ridgecrest Ranchos Recreation and Park District
ATTN: Ms. Kathy Hesse
5201 Middlecrest Road
Rancho Palos Verdes, CA 90275
Ridgecrest Ranchos Recreation and Park District
ATTN: Mr. John Polen
5365 Middlecrest Road
Rancho Palos Verdes, CA 90275
\Westfield Recreation and Park District
ATTN: Mr. Glenn Smith
26610 Eastvale Road
Palos Verdes Peninsula, CA 90274
Westfield Recreation and Park District
ATTN: Mr. Fred Tramm
26610 Eastvale Road
Palos Verdes Peninsula, CA 90274
Westfield Recreation and Park District
ATTN: Mr. Fred Tramm
27024 Sunny Ridge Road
Palos Verdes Peninsula, CA 90274
Westfield Recreation and Park District
ATTN: Ms. Gloria Gammell
26963 Eastvale Road
Palos Verdes Peninsula, CA 90274
Westfield Recreation and Park District
ATTN: Ms. Leslie Criswell
27039 Sunny Ridge Road
Palos Verdes Peninsula, CA 90274
Miraleste Recreation & Park District
ATTN: Mr. Keith Harter
19 Miraleste Plaza
Rancho Palos Verdes, CA 90275
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Miraleste Recreation & Park District
ATTN: Mr. Carol Swets
19 Miraleste Plaza
Rancho Palos Verdes, CA 90275
Miraleste Recreation & Park District
ATTN: Mr. John Letcher
19 Miraleste Plaza
Rancho Palos Verdes, CA 90275
Miraleste Recreation & Park District
ATTN: Mr. Pete Glusac
19 Miraleste Plaza
Rancho Palos Verdes, CA 90275
Miraleste Recreation & Park District
ATTN: Mr. Nancy Otto
19 Miraleste Plaza
Rancho Palos Verdes, CA 90275
DRAFT Municipal Service Review
Recreation and Parks Districts
November 15, 2017
Chapter One: LAFCO Background
Municipal Boundaries
The State of California possesses the exclusive power to regulate boundary changes. Cities and
special districts do not have the right to change their own boundaries without State approval.
The California Constitution (Article XI, Section 2.a) requires the Legislature to "prescribe [a] uniform
procedure for city formation and provide for city powers." The Legislature also has the authority to
create, dissolve, or change the governing jurisdiction of special districts because they receive their
powers only through State statutes.
The Legislature has created a "uniform process" for boundary changes for cities and special districts
in the Cortese Knox -Hertzberg Local Government Reorganization Act of 2000 (California Government
Code Section 56000 et seq, or "Act"). The Act delegates the Legislature's boundary powers over
cities and special districts to Local Agency Formation Commissions (LAFCOs) established in each
county in the State. The Act is the primary law that governs LAFCOs and sets forth the powers and
duties of LAFCOs.
In addition to the Act, LAFCOs must comply with the following State laws:
• California Revenue and Taxation Code Sections 93 and 99. LAFCO considers the revenue
and taxation implications of proposals and initiates the property tax negotiation process
amongst agencies affected by the proposal.
• California Environmental Quality Act (CEQA) (California Public Resources Code Section
21000 et seq) and the related CEQA Guidelines (Title 14, California Code or Regulations
Section 15000 et seq). Applications before LAFCO are considered to be "projects" under
CEQA, which requires that potential environmental impacts be analyzed prior to Commission
action.
• Ralph M. Brown Act (California Government Code Section 54950 et seq). Commonly known
as the State's "open meeting law," the Brown Act insures that the public has adequate
opportunity to participate in the LAFCO process.
• Political Reform Act (California Government Code Section 81000 et seq). Commissioners, some
LAFCO staff, and legal counsel are subject to the Political Reform Act, which requires the filing of
annual reports of economic interests.
What are LAFCO's?
LAFCOs are public agencies with county -wide jurisdiction for the county in which they are located.
LAFCOs oversee changes to local government boundaries involving the formation and expansion of
cities and special districts.
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In creating LAFCOs, the Legislature established four priorities: encourage orderly growth and
development, promote the logical formation and determination of local agency boundaries, discourage
urban sprawl, and preserve open space and prime agricultural lands.
Created by the State but with local (not State) appointees, each of the 58 counties in the State of
California has a LAFCO. Each LAFCO operates independently of other LAFCOs, and each LAFCO
has authority only within its corresponding county.
While a LAFCO may purchase services from a county (i.e., legal counsel, employee benefits, payroll
processing), LAFCO's are not County agencies.
Local Aqency Formation Commission for the County of Los Angeles ("LA LAFCO')
LA LAFCO regulates the boundaries of all 88 incorporated cities within the County of Los Angeles.
LAFCO regulates most special district boundaries, including, but not limited to:
• California water districts
• Cemetery districts
• Community service districts ("CSDs")
• County service areas ("CSAs")
• County waterworks districts
• Fire protection districts
• Hospital and health care districts
• Irrigation districts
• Library districts
• Municipal utility districts
• Municipal water districts
• Reclamation districts
• Recreation and parks districts
• Resource conservation districts
• Sanitation districts
• Water replenishment districts
LAFCO does not regulate boundaries for the following public agencies:
• Air pollution control districts
• Bridge, highway, and thoroughfare districts
• Community college districts
• Community facility districts (aka "Mello -Roos" districts)
• Improvement districts
• Mutual water companies
• Private water companies
• Redevelopment agencies
• School districts
• Special assessment districts
• Transit and transportation districts
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LAFCO does not regulate the boundaries of counties. County boundary adjustments are within the
purview of the boards of supervisors for the involved counties.
State law specifically prohibits LAFCOs from imposing terms and conditions which "directly regulate
land use, property development, or subdivision requirements." In considering applications, however,
State law requires that LAFCO take into account existing and proposed land uses, as well as General
Plan and zoning designations, when rendering its decisions.
The Local Agency Formation Commission for the County of Los Angeles (LA LAFCO, the
Commission, or LAFCO) is composed of nine voting members:
• Two members of the Los Angeles County Board of Supervisors (appointed by the Los Angeles
County Board of Supervisors);
• One member of the Los Angeles City Council (appointed by the Los Angeles City Council
President);
• Two members of city councils who represent the other 87 cities in the county other than the
City of Los Angeles (elected by the City Selection Committee);
• Two members who represent independent special districts (elected by the Independent
Special Districts Selection Committee);
• One member who represents the San Fernando Valley (appointed by the Los Angeles County
Board of Supervisors); and
* One member who represents the general public (elected by the other 8 members).
LAFCO also has six alternate members, one for each of the six categories above.
The Commission holds its "regular meetings" at 9:00 a.m. on the second Wednesday of each month.
The Commission periodically schedules "special meetings" on a date other than the second
Wednesday of the month. Commission meetings are held in Room 381 B of the Kenneth Hahn Hall of
Administration, located at 500 West Temple Street in downtown Los Angeles. Public notice, including
the Commission agenda, is posted at the Commission meeting room and on LAFCO's web -site
(www.lalafco.org).
The Commission appoints an Executive Officer and Deputy Executive Officer. A small staff reports to
the Executive Officer and Deputy Executive Officer.
LAFCO's office is located at 80 South Lake (Suite 870) in the City of Pasadena. The office is open
Monday through Thursday from 7:00 a.m. to 5:00 p.m. The office is closed on Fridays.
What are LAFCO's resaonsibilities?
LAFCO oversees changes to local government boundaries involving the formation and expansion of
cities and special districts. This includes annexations and detachments of territory to and/or from
cities and special districts; incorporations of new cities; formations of new special districts;
consolidations of cities or special districts; mergers of special districts with cities; and dissolutions of
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existing special districts. LAFCO also approves or disapproves proposals from cities and special
districts to provide municipal services outside their jurisdictional boundaries (these public agencies
can provide services outside of their boundaries under very limited circumstances).
An important tool used in implementing the Act is the adoption of a Sphere of Influence (SOI) for a
jurisdiction. An SOI is defined by Government Code Section 56425 as "...a plan for the probable
physical boundary and service area of a local agency." An SOI represents an area adjacent to a city
or special district where a jurisdiction might be reasonably expected to provide services over the next
twenty (20) years. The SOI is generally the territory within which a city or special district is expected
to annex.
LAFCO determines an initial SOI for each city and special district in the County. The Commission is
also empowered to amend and update SOls.
All jurisdictional changes, such as incorporations, annexations, and detachments, must be consistent
with the affected agency's Sphere of Influence, with limited exceptions.
Municipal Service Reviews
State law also mandates that LAFCO prepares Municipal Service Reviews (MSRs). An MSR is a
comprehensive analysis of the municipal services, including an evaluation of existing and future
service conditions, provided in a particular region, city, or special district. Related to the preparation
of MSRs, and pursuant to State Law, LAFCOs must review and update SOls "every five years, as
necessary." The Commission adopted MSRs for all cities and special districts in the County prior to
the January 1, 2008 deadline (Round One).
Some LAFCOs prepare MSRs for each city and special district in their region every five years. Other
LAFCOs do not prepare MSRs proactively; rather, when a city, special district, or petitioner wants to
expand the boundaries of an SOI, the LAFCO requires that the applicant pay for the preparation of an
MSR in advance of the SOI determination. Most LAFCOs take an intermediate approach, above,
preparing MSRs for a select group of cities and special districts every five years. This is the approach
taken by the Commission (LA LAFCO) at its meeting of March 9, 2011. Staff is currently preparing
MSR's for 9 cities and 14 special districts (Round Two). Staff has completed MSRs for four cities
(Compton, Cudahy, Gardena, and Santa Clarita) and three special districts (Huntington Municipal
Water District, Palmdale Water District, and Sativa County Water District), all of which have been
adopted by the Commission.
In preparing MSRs, LAFCOs are required to make seven determinations:
• Growth and population projections for the affected area;
• The location and characteristics of any disadvantaged unincorporated communities (DUCs)
within or contiguous to a city or district's SOI;
• Present and planned capacity of public facilities, adequacy of public services, and
infrastructure needs of deficiencies;
Financial ability of agencies to provide services;
•
Recreation and Parks Districts DRAFT MSR
Page 5 of 32
• Status of, and opportunities for, shared facilities;
• Accountability for community service needs, including governmental structure and operational
efficiencies; and
• Any other matter related to effective or efficient service delivery.
Although State law requires the preparation of MSRs, the State does not provide funding to LAFCOs
to perform this work. Some MSRs are prepared utilized existing LAFCO staff; in other instances,
LAFCO retains a consultant. When consultants are required, LAFCOs utilize a portion of its existing
annual budget; additionally, LAFCO may request voluntary contributions from the involved city or
special district.
(Report continues on Page 6)
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Chapter Two: Recreation & Park District Enabling Act
(Public Resource Code Sections 5780-5791.7)
Recreation and park districts ("Districts" or "RPDs") were first authorized by the California State
Legislature in 1931. The Recreation and Park District Act was modified in 1957 and again in 2002.
Formation
Territory, whether incorporated or unincorporated, contiguous or noncontiguous, may be included in
a recreation and park district. The formation process is initiated by adoption of a resolution of
application by the legislative body of any county or city that contains territory proposed to be included
in the district, or by a petition presented to LAFCO signed by 25% of the registered voters within the
boundaries of the proposed district.
After the formation proceedings have been initiated, LAFCO is required to conduct a noticed public
hearing. After hearing public testimony, the Commission may either approve, modify, or deny the
proposed formation. If the formation of the district is approved, the Commission also will adopt terms
and conditions for the formation and establish a sphere of influence for the new district. The proposed
formation is then scheduled for a protest hearing where no further modifications may be made. At the
protest hearing, the Commission will do one of the following:
1. Terminate the proceedings if LAFCO receives written protests from 50% or more of the
registered voters residing within the district;
2. Order the formation subject to approval by registered voters residing within the district; or
3. Order the formation subject to approval by the registered voters residing within the district of a
special tax or by landowners within the district of a special benefit assessment.
Governing Body
Recreation and park districts are governed by a five -member board of directors. Due to a change in
the law in 2002, the initial board of directors for a district formed after January 1, 2002 may be elected
or appointed (boards in existence in 2002 were to remain elected or appointed, as each was
constituted at that time).
Functions
Specified powers that a district may exercise are to "[o]rganize, promote, conduct, and advertise
programs of community recreation, including, but not limited to, parks and open space, parking,
transportation, and other related services that improve the community's quality of life; establish
systems of recreation and recreation facilities, including, but not limited to, parks and open space; and
acquire, construct, improve, maintain, and operate recreation facilities, including, but not limited to,
parks and open space, both inside and beyond the district's boundaries.'
Annexation
After the district has been formed, the boundaries of the district may be altered and outlying
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incorporated or unincorporated territory in one or more counties may be annexed into the district.
Proposals to annex territory must conform to the requirements of the Cortese Knox -Hertzberg Local
Government Reorganization Act of 2000 (Government Code Section 56000 et seq).
Recreation and Park Districts in the County of Los Angeles
There are three (3) recreation and park districts located in the County of Los Angeles:
• Miraleste Recreation and Park District;
• Ridgecrest Recreation and Park District; and
• Westfield Recreation and Park District.
(Report continues on Page 8)
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Chapter Three: Miraleste Recreation and Park District
The Miraleste Recreation and Park District ("Miraleste RPD" or "District") was formed on June 14,
1940.2 The boundaries of the Miraleste RPD include 390 parcels, 375 homes, covering 350 acres,
with a population of approximately 925 people, all within the City of Ranchos Palos Verdes.3
The District is governed by a 5 -member board of directors which meets at 7:30 p.m. on the first
Monday of every other month (even months). Board -members run for office or are appointed "in -lieu"
(when the number of candidates who filed to run for the board is the same as the number of o en
board positions by the City of Rancho Palos Verdes City Council
The District owns and maintains approximately 40 acres of undeveloped canyon areas, parks, and
trails in the Miraleste neighborhood of the City of Rancho Palos Verdes, which includes:
• Frog Pond Park (near the intersection of Palos Verdes Drive East & Via Colinita);
• Harter Park (near the intersection of Via Colinita & Via La Paloma);
• Miltenberger Park (near the intersection of Palos Verdes Drive East and Miraleste
Drive);
• Miraleste Park (near the intersection of Miraleste Drive & Via Colinita);
• Canada Park (near the terminus of Via Canada);
• Colinita Trail (0.67 miles: accessed from Palos Verdes Drive East near Via Subida);
• Frascati Trail (.033 miles: accessed from Palos Verdes Drive East near Via Frascati);
• Siena Loop Trail (0.72 miles: accessed from Via La Paloma);
• Miraleste Median (0.58 miles: runs along the Miraleste Drive median);
• Canada S. Trail (0.52 miles: accessed from the intersection of Palos Verdes Drive East
and Miraleste Drive);
• Canada N. Trail (0.56 miles: accessed from Via Canada near Palos Verdes Drive
East); and
• Lorraine Trail (0.42 miles: accessed from Lorraine Road or the Canada S. Trail).4
The District has an office located at 19 Miraleste Plaza in Rancho Palos Verdes.' A map of the
District's facilities is included as Exhibit 1 on Page 9.
The District has two contract employees (gardeners ).6
The Commission (LAFCO) established a Coterminous Sphere of Influence (SOI) for the District on
November 9, 1983 (see Exhibit 2 on Page 10). The Commission reconfirmed the Coterminous SOI
on June 23, 2004.
(Report continues on Page 9)
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I Park District Office i Frascati Trail
.33 miles
Colinita Trail Harter Park
.67 miles
MIRl csE PARA a nECREATION UISIRI0,1
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Exhibit 1
Miraleste Parks and Trails Map'
Map of Miraleste Parks and Trails
Siena Loop Trail Miraleste Park Canada Park
.72 miles
t, Miraleste Median Lorraine Trail I u Bus Stop
58 miles 42 miles
I I Miltenberger Park 1.3 Canada S. trail
. 52 miles
I7 Frog Pond Park 1 y Canada N. trail
.56 miles
According to a report prepared by the City of Rancho Palos Verdes, "[t]he purpose of the District is to'
Provide for the development, operation, and maintenance of parklands; provide residents with public
park maintenance of landscape improvements that include medians, parking parcels, cul-de-sacs, and
other open spaces; maintain and develop parkland areas in accordance with the needs and wishes of
the residents; provide fire prevention and clearing of parkland areas; provide improvement of the trail
system accessibility; and balance and preserve woodland atmosphere. 118
(Report continues on Page 10)
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Exhibit 2
Existing Miraleste, Recreation and Park District Sphere of Influence
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Miraleste Recreation and Park District
Discussion and Determinations
Government Code Section 56430 requires LAFCO to "conduct a service review of the municipal
services" and to "prepare a written statement of its determinations" relative to several factors. This
chapter addresses these factors and includes the recommended determinations.
Population Proiections
According to the United States Census Bureau, the 2010 population within the Miraleste RPD is 925
people.9
Given that the territory consists of developed single-family dwellings and recreational uses (parks,
trails, and open space), the population within the boundaries of the Miraleste RPD is unlikely to grow
significantly in the foreseeable future.
Determinations:
• Territory within the Miraleste Recreation and Park District consists of developed
single-family dwellings and recreational uses; the population is unlikely to grown
significantly in the foreseeable future.
Disadvantaged Unincorporated Communities
Pursuant to the State's passage of Senate Bill 244, as of January 1, 2012, LAFCOs are required to
make determinations regarding Disadvantaged Unincorporated Communities (DUCs) for an Update of
a Sphere of Influence. The law defines a DUC as a community with an annual median household
income that is less than eighty percent (80%) of the statewide annual median household income. The
law also requires that LAFCOs consider "the location and characteristics of any disadvantaged
communities within or contiguous to the sphere of influence" when preparing an MSR.
There are no unincorporated communities, and therefore no DUCs, within or adjacent to the Miraleste
RPD and its SOI.
Determinations:
• There is no impact upon the location and characteristic of any Disadvantaged
Unincorporated Communities (DUCs) because there are no DUCs within or adjacent to
the Miraleste RPD and its Coterminous SOI.
Present and Planned Capacity of Public Facilities
The District owns and maintains approximately 40 acres of undeveloped canyon areas, parks, and
trails in the Miraleste neighborhood of the City of Rancho Palos Verdes. The District has managed
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these areas for several decades, utilizing funds from a share of the property taxes allocated to the
District. District representatives represent, that land use plans and growth patterns within its service
area are "not affecting" service demand.10 District representatives indicate that there are no plans for
infrastructure replacement and upgrades, nor plans to increase future service capacity, nor plans to
file any future reorganization proposals (i.e., annexations).11
Given the nature of facilities which the District manages, a relatively stable population, and
predominant usage by residents within the Palos Verdes peninsula, the present and planned capacity
of public facilities is adequate.
Determinations:
• Given the nature of facilities which the District manages, a relatively stable population,
and predominant usage by local residents within the Palos Verdes peninsula, the
present and planned capacity of public facilities is adequate.
Financial Ability of Agencies to Provide Services
The Miraleste RPD received $318,475 in property taxes in Fiscal Year 2012-2013 (the most recent
year for which data was available). 12 In reviewing the 2012-2013 audit and financial statements, as
well as similar documents for previous years, it appears that management has successfully matched
expenditures to revenues, with very modest deviations year-to-year. The Board also maintains
emergency reserves of fifteen percent (15%) of its overall budget."
Determinations:
• The District appears to be managing limited finances reasonably well and keeping
expenditures in line with revenues.
• The District should continue to maintain emergency reserves of fifteen percent (15%) of
its overall budget.
Status of, and Opportunities for, Shared Facilities
Given the nature of the services provided, there are no apparent opportunities to share facilities with
other agencies.
Determinations:
There are no apparent opportunities to share facilities with other agencies.
Accountability for Community Service Needs
The District is governed by a 5 -member board of directors which meets at 7:30 p.m. on the first
Monday of every even month. District representatives note that the monthly meeting is a "posted and
open board meeting.""
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Page 13 of 32
In terms of financial transparency, and as noted in the District audit:
The Board of Trustees approves each year's preliminary budget submitted by the District prior
to the beginning of the new fiscal year. The Board conducts public hearings prior to the
adoption of the final budget on or before October 1 of each year. The Board, where required
during the period, also approves supplemental appropriations. In most cases, expenditures
may not exceed appropriations at the department level. At fiscal year-end, all operating
budget appropriations lapse. 15
District representatives have continually retained an auditor who prepares audits and financial
statements on an annual basis.
Although there is a website for the District, the website is under construction and contains minimal
information. The District should develop a more complete website which included board meeting
agendas, copies of recent audits and financial statements, and similar materials.
Determinations:
• The District should continue to conduct open and posted board meetings every other
month (even months).
• District representatives should devote resources to overhauling its website, in an effort
to provide more readily -available information in an on-line format.
Other Matters
None.
Determinations:
(No additional determinations)
(Report continues on Page 14)
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Page 14 of 32
Miraleste Recreation and Park District
SOI Recommendations
Miraleste Recreation and Park District Sphere of Influence SOI Recommendations:
Retain the Miraleste Recreation and Park District's Existing Coterminous Sphere of
Influence. The Miraleste Recreation and Park District's Existing Coterminous SOI was
established on November 9, 1983. On June 23, 2004, the Commission reconfirmed the
Coterminous SOI in the course of adopting the Miscellaneous Government Services Municipal
Service Review. Given the small size of the District; the limited scope of facilities and services
it provides; and the fact that District representatives have no plans for infrastructure
replacement and upgrades, nor plans to increase future service capacity, nor plans to file any
future reorganization proposals (i.e., annexations), staff recommends that the Commission
retain the existing Coterminous SOI for the Miraleste Recreation and Park District (see map in
Exhibit 3 on Page 15).
(Report continues on Page 15)
•
Recreation and Parks Districts DRAFT MSR
Exhibit 3
Proposed Miraleste Recreation and Park District Sphere of Influence
Page 15 of 32
A-19
Recreation and Parks Districts DRAFT MSR
Page 16 of 32
Chapter Four: Ridgecrest Ranchos Recreation and Park District
The Ridgecrest Ranchos Recreation and Park District ("Ridgecrest Ranchos RPD" or "District") was
formed on November 13, 1961.16
The boundaries of the Ridgecrest Ranchos RPD include 110 parcels, 107 homes, covering 70.4
acres, with a population of approximately 315 people, all within the City of Ranchos Palos Verdes. 17
The District is governed by a 5 -member board of directors. Board -members run for office or are
appointed "in -lieu" (when the number of candidates who filed to run for the board is the same as the
number of open board positions) by the City of Rancho Palos Verdes City Council
M. The Board meets on a quarterly basis at a local library on
the first Tuesday in January, April, July, and September. 18
The Board's mission "is to maintain park land at the entrance to the Ridgecrest development in
Rancho Palos Verdes, Los Angeles County, California so as to provide and protect the quality of life
for the residents of the district."19 The District "owns and maintains 0.78 acres of vacated former right-
of-way along the Crenshaw Boulevard frontage of the Crestridge neighborhood ."20 The District's
properties are in distinct and separate locations along Crenshaw Boulevard, both north and south of
Crestridge Road (see Exhibit 4 on Page 17).21
According to District representatives, the District has no employees nor contractors.22
The Commission (LAFCO) established a Zero Sphere of Influence (SOI) for the District on October
26, 1983; the Commission adopted a Coterminous SOI on June 23, 2004 (see Exhibit 5 on Page 18).
(Report continues on Page 17)
A-20
Recreation and Parks Districts DRAFT MSR
Exhibit 4
Miraleste Park and Recreation District: Location of District Property
Location of District Property
Entry to Ridgecrest
at Crenshaw Blvd.
aw-
0
(Report continues on Page 18)
Page 17 of 32
,4r'
A-21
Recreation and Parks Districts DRAFT MSR
Page 18 of 32
Exhibit 5
Existing Ridgecrest Ranchos Recreation and Park District Sphere of Influence
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RMgeaeet Ranchos Recreation Sphere oflnfluence History-
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- and Parke Distnct. Sphere of 150 300 600
Influence(SO). Cotennlnous _ ®Feet
A-22
Recreation and Parks Districts DRAFT MSR
Page 19 of 32
Ridgecrest Ranchos Recreation and Park District
Discussion and Determinations
Government Code Section 56430 requires LAFCO to "conduct a service review of the municipal
services" and to "prepare a written statement of its determinations" relative to several factors. This
chapter addresses these factors and includes the recommended determinations.
Population Proiections
According to the United States Census Bureau, the 2010 population within the Ridgecrest Ranchos
RPD is 315 persons.21
Given that the territory consists of developed single-family homes and public rights-of-way, the
population within the boundaries of the Ridgecrest Ranchos RPD is unlikely to grow significantly in the
foreseeable future. District representatives indicate that the "[s]ervice area is fully developed; no
growth or population increases are expected." 24
Determinations:
• Territory within the Ridgecrest Ranchos Recreation and Park District consists of
developed single-family dwellings and public rights-of-way; the population is unlikely to
grown significantly in the foreseeable future.
Disadvantaaed Unincorporated Communities
Pursuant to the State's passage of Senate Bill 244, as of January 1, 2012, LAFCOs are required to
make determinations regarding Disadvantaged Unincorporated Communities (DUCs) for an Update of
a Sphere of Influence. The law defines a DUC as a community with an annual median household
income that is less than 80% (eighty percent) of the statewide annual median household income. The
law also requires that LAFCOs consider "the location and characteristics of any disadvantaged
communities within or contiguous to the sphere of influence" when preparing an MSR.
There are no unincorporated communities, and therefore no DUCs, within or adjacent to the
Ridgecrest Rancho RPD and its SOI.
Determinations:
• There is no impact upon the location and characteristic of any Disadvantaged
Unincorporated Communities (DUCs) because there are no DUCs within or adjacent to
the Ridgecrest Ranchos RPD and its SOI.
Present and Planned Capacity of Public Facilities
A-23
Recreation and Parks Districts DRAFT MSR
Page 20 of 32
The District "owns and maintains 0.78 acres of vacated former right-of-way along the Crenshaw
Boulevard frontage of the Crestridge neighborhood, located in two distinct and separate locations
along Crenshaw Boulevard, both north and south of Crestridge Road.
District representatives indicate, further, that land use plans and growth patterns within its service
area are "not affecting" service demand.25 District representatives indicate, further, that there are no
plans for infrastructure replacement and upgrades, nor plans to increase future service capacity, nor
plans to file any future reorganization proposals (i.e., annexations ).21
Given the limited nature of facilities which the District manages, as well as a relatively stable
population served by the District, the present and planned capacity of public facilities is adequate.
Determinations:
• Given the limited nature of the facilities which the District manages, as well as a
relatively stable population served by the District, the present and planned capacity of
public facilities is adequate.
Financial Ability of Agencies to Provide Services
For the years 2010 through 2015, property tax revenues range from a low of $17,733 (in 2012) to
$24,326 (2015), but typically falling in the $22,000 to $23,000 range; expenses range from a high of
$22,013 (2012) to a low of $14,931 (in 2015), generally falling in the $16,000 to $17,000 range.27 The
data indicate that the district has one source of revenues (share of the 1 % of property taxes), which
fluctuates modestly year-to-year; further, and in terms of expenditures, the district's sole responsibility
(landscape maintenance for a relatively small geographical area) is relatively inexpensive, and also
fluctuates modestly year-to-year. It is not clear whether there exists any long-term infrastructure
needs or necessary capital improvements required to continue providing landscaping maintenance in
the long-term.
Determinations:
• Over the recent few years, the District's revenues and expenditures seem to be
reasonably correlated, with modest fluctuations.
• It is not clear.whether there exists any long-term infrastructure needs or necessary
capital improvements required to continue providing landscaping maintenance in the
long-term.
Status of, and Opportunities for, Shared Facilities
Given the nature of the services provided, there are no apparent opportunities to share facilities.
Determinations:
There are no apparent opportunities to share facilities.
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Page 21 of 32
Accountability for Community Service Needs
The District's 5 -member board of directors meets on a quarterly basis on the first Tuesday in January,
April, July, and September. District representatives indicate that "[t]hese meetings are noticed by
signage at the exit to the development which is contiguous with the District," and "[i]n addition, notices
are published in the local newspaper and on the information board of the local public library.28
The District does not have a website.
Determinations:
• The District should continue to conduct open and posted board meetings on a quarterly
basis.
• District representatives should devote resources to overhauling its website, in an effort
to provide more readily -available information in an on-line format.
Other Matters
Amongst the service obligations, and geographical territory served, by the Mindependent special
districts in Los Angeles County, the Ridgecrest Ranchos RPD has relatively limited responsibilities.
The geographical area of responsibility is less than one acre; within that area, the District provides
one service, which is to maintain existing landscaping.
All public agencies have certain unavoidable expenditures, including, but not limited to, the
preparation and posting of agendas; retaining staff or vendors to perform work; commissioning of
annual audits by a third party; and providing information to other public agencies and the public; and
related expenses. In addition to these tangible expenditures, it is also reasonable to consider the
time, effort, and commitment expended by board -members in volunteering to serve, and the
associated responsibilities to attend meetings, formulate budgets, manage contractors, and so forth.
The issue this presents for the Commission (LAFCO) is one of service efficiency and
governance: is it within the public interest for the District to continue providing these
services, or would it be more efficient and cost-effective for these services be provided by
another public agency? In this particular case, the geographic area in which the District
maintains landscaping, and the boundaries of the entire district, are within the City of Rancho
Palos Verdes. In this regard, the only other likely service provider is the City itself.
The first issue associated with a change in service providers is whether the City of Ranchos Palos
Verdes has the ability to assume the services currently performed by the District. Landscape
maintenance a relatively routine service performed by most cities, and financial information available
to LAFCO suggests that the City could easily assume these functions currently provided by the
District. The City's 2014-2015 Comprehensive Annual Financial Report identifies $27.8 million in
expenditures for primary government activities, $1.7 million dedicated to parks and recreation, and
$1.89 million in capital outlays for parks/trails/open space improvements .21 The City currently receives
37% of its revenue from property taxes.30 Further, the City is actively involved in a number of
programs to acquire new open space, parks, and trails; to improve existing facilities, such as recent
A-25
Recreation and Parks Districts DRAFT MSR
Page 22 of 32
projects at Abalone Cove Shoreline Park and Ryan Park); and implement long-term master planning
efforts, like updating the Parks Master Plan. 31
Staff's initial review suggests that the City's assumption of responsibilities currently performed by the
District, along with the associated transfer of the share of property taxes currently allocated to the
District, would have a nominal effect on overall city operations. It would, further, eliminate the need
for district elections (or in -lieu appointments), board meetings, posting of agendas, vendors under
contract to the district, and the hiring of a certified public accountant to prepare annual audits. Given
the modest amount of property tax received by the district, it does not seem prudent to expend these
funds on audits, meetings, and regulatory compliance rather than the delivery of services; in that
regard, the proposed change in service provides potentially represents a more efficient delivery of
government service.
Given these considerations, the Commission has two options:
1. Retain the existing Coterminous Sphere of Influence ("Coterminous SOI") for the District,
wherein the service obligations and allocation of property tax revenues would not change.
Service responsibilities and property tax revenues would remain with the District.
or
2. Direct staff to initiate a dialogue with representatives of the District and the City of Rancho
Palos Verdes representatives, to determine the feasibility of the City assuming these
responsibilities, and report back to the Commission at a future date.
With respect to the second option, above, staff notes that it could lead to a future recommendation
that the Commission adopt a Zero Sphere of Influence ("Zero SOI") for the District, initiate the
dissolution of the District, transfer those property tax revenues currently going to the District to the
City, and/or the potential formation of a subsidiary district. Under this option, staff would recommend
Commission actions to ensure that service responsibilities and associated property tax revenues
would be concurrently assumed by the City of Rancho Palos Verdes
Determinations:
(No additional determinations — See SOI Recommendations).
(Report continues on Page 23)
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Recreation and Parks Districts DRAFT MSR
Page 23 of 32
Ridgecrest Ranchos Recreation and Park District
SOI Recommendations
Ridgecrest Ranchos Recreation and Park District Sphere of Influence (SOI) Recommendations:
1. Direct staff to initiate a dialogue with representatives of the District and the City of
Rancho Palos Verdes representatives, to determine the feasibility of the City assuming
these responsibilities, and report back to the Commission at a future date.
In so doing, the Commission would take no action on the District's existing
Coterminous SOI designation.
If staff determines that a transfer of service responsibility and associated property tax
revenues is feasible, staff would likely return with a future recommendation that the
Commission adopt a Zero Sphere of Influence ("Zero SOI") for the District, initiate the
dissolution of the District, transfer those property tax revenues currently going to the District to
the City, and/or the potential formation of a subsidiary district. Under this option, staff would
recommend Commission actions to ensure that service responsibilities and associated
property tax revenues would be concurrently assumed by the City of Rancho Palos Verdes.
If staff determines that a transfer of service responsibility and associated property tax
revenues is not feasible, and/or the City is unwilling to assume these responsibilities, staff
would return to the Commission with a recommendation to confirm the existing Coterminous
SOI for the District.
(Report continues on Page 15)
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Recreation and Parks Districts DRAFT MSR
Page 24 of 32
Chapter Five
Westfield Recreation and Park District
The Westfield Recreation and Park District ("Westfield RPD" or "District") was formed in 1957.32
The boundaries of the Westfield RPD include 306 parcels, 304 homes, covering 198.4 acres, with a
population of approximately 800 people, all within County unincorporated territory adjoining the City of
Rolling Hills (to the south and southeast), unincorporated territory (to the north), and the City of
Rolling Hills Estates to the northeast and northwest).33
The District is governed by a 5 -member board of directors who serve without compensation. Board -
members serve terms of four years and there are no term limits. Board -members run for office or are
appointed "in -lieu" (when the number of candidates who filed to run for the board is the same as the
number of open board positions) by the Los Angeles County Board of Supervisors.34
The Board normally meets on the third Thursday of the month at 7:00 p.m. at the Rolling Hills Estates
George F. Canyon Nature Center.35
The District landscapes and maintains trails, a tennis court, and an equestrian ring. According to
District representatives, the District has no employees nor contractors; landscape/maintenance of the
District facilities is on a "month-to-month agreements" with outside vendors .36
The Commission (LAFCO) established a Zero Sphere of Influence (SOI) for the District on October
26, 1983; the Commission adopted a Coterminous SOI on June 23, 2004 (see Exhibit 6 on Page 25).
Population Proiections
According to the United States Census Bureau, the 2010 population within the Westfield RPD is 800
persons.37
Given that the territory consists of developed single-family homes and public rights-of-way, the
population within the boundaries of the Westfield RPD is unlikely to grow significantly in the
foreseeable future. District representatives indicate that the "[s]ervice area is fully developed; no
growth or population increases are expected.1138
Determinations:
• Territory within the Westfield Recreation and Park District consists of developed single-
family dwellings and public rights-of-way; the population is unlikely to grown
significantly in the foreseeable future.
Disadvantaged Unincorporated Communities
Pursuant to the State's passage of Senate Bill 244, as of January 1, 2012, LAFCOs are required to
make determinations regarding Disadvantaged Unincorporated Communities (DUCs) for an Update of
•
Recreation and Parks Districts DRAFT MSR
Page 25 of 32
Exhibit 6
Existing Westfield Recreation and Park District Sphere of Influence
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A-29
Recreation and Parks Districts DRAFT MSR
Page 26 of 32
a Sphere of Influence. The law defines a DUC as a community with an annual median household
income that is less than eighty percent (80%) of the statewide annual median household income. The
law also requires that LAFCOs consider "the location and characteristics of any disadvantaged
communities within or contiguous to the sphere of influence" when preparing an MSR.
There are no unincorporated communities, and therefore no DUCs, within or adjacent to the Westfield
RPD and its SOI.
Determinations:
• There is no impact upon the location and characteristic of any Disadvantaged
Unincorporated Communities (DUCs) because there are no DUCs within or adjacent to
the Westfield RPD and its SOI.
Present and Planned Capacity of Public Facilities
The District landscapes and maintains trails, a tennis court, and an equestrian ring.
District representatives indicate that there is no "anticipated" growth in the foreseeable future, and
there are no plans to file any future reorganization proposals (i.e., annexations).39
Given the limited nature of facilities which the District manages, as well as a relatively stable
population served by the District, the present and planned capacity of public facilities is adequate.
Determinations:
• Given the limited nature of the facilities which the District manages, as well as a
relatively stable population served by the District, the present and planned capacity of
public facilities is adequate.
Financial Abilitv of Aaencies to Provide Services
The District's most recent financial information from budgets and audited financial statements show
revenues of approximately $75,000 per year, and expenses in the range of approximately $35,000 per
year .40 Revenues (from a share of the 1 % of property taxes) appear to be relatively stable year-to-
year. Expenses show nominal increases from year-to-year, but within reasonable parameters.41
Financial statements from 2015 show a balance of $52,604 in the District's bank account.42
In the longer term, it is possible that inflationary increases in expenses could constrain the District's
ability to continue to maintain existing service levels. At this point in time, however, the significant
surplus of annual revenues over expenditures suggests that this is unlikely to occur in the short-term.
The more critical challenge to the District is the need for the "replacement of infrastructure" and
"deferred maintenance," circumstances which District officials concede is caused by a "lack of
fund S.1141
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Recreation and Parks Districts DRAFT MSR
Page 27 of 32
Determinations:
• On an ongoing basis, the District appears to be managing limited finances reasonably
well and keeping expenditures in line with revenues.
• The District should initiate a strategic planning effort to establish a capital improvement
program, and an associated funding plan, to address deferred maintenance and the
replacement of the District's infrastructure.
Status of, and Opportunities for, Shared Facilities
Given the nature of the services provided, there are no apparent opportunities to share facilities.
Determinations:
• There are no apparent opportunities to share facilities.
Accountability for Community Service Needs
Members of the District's board of directors serve without compensation. Going back several years,
the Board has been meeting on a monthly basis in the same location.
The District does not have a website.
Determinations:
• The District should continue to conduct open and posted board meetings on a monthly
basis.
• District representatives should consider establishing a website, in an effort to provide
more information to the public in an on-line format.
Other Matters
None.
Determinations:
(No additional determinations)
(Report continues on Page 28)
Westfield Recreation and Park District
A-31
Recreation and Parks Districts DRAFT MSR
Page 28 of 32
SOI Recommendations
Westfield Recreation and Park District Sphere of Influence (SOI) Recommendations:
1. Retain the Westfield Recreation and Park District's Existing Coterminous Sphere of
Influence. The Commission (LAFCO) established a Zero Sphere of Influence (SOI) for the
District on October 26, 1983; the Commission adopted a Coterminous SOI on June 23, 2004.
Given the small size of the District; the limited scope of facilities and services it provides; and
the fact that District representatives have no plans for infrastructure replacement and
upgrades, nor plans to increase future service capacity, nor plans to file any future
reorganization proposals (i.e., annexations), staff recommends that the Commission retain the
existing Coterminous SOI for the Westfield Recreation and Park District (see map in Exhibit 7
on Page 29).
A-32
Recreation and Parks Districts DRAFT MSR
Page 29 of 32
Exhibit 7
Proposed Westfield Recreation and Park District Sphere of Influence
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A-33
Recreation and Parks Districts DRAFT MSR
Page 30 of 32
Park & Recreation Districts
DRAFT Municipal Service Review
Footnotes
Chapter 2:
1. Public Resources Code Section 5786
Chapter (Miraleste RPD):
2. Response to Municipal Service Review — Special Districts, Supplemental Request for Agency
Information; April 2, 2014; Page 1.
3. The number of parcels derived is from Los Angeles County Assessor Website; the number of
homes is from a response to the Municipal Service Review — Special Districts, Supplemental
Request for Agency Information; Page 6; Acreage is a calculation from LAFCO map data; and
Population is a LAFCO calculation utilizing 2010 Census (Block Group) data.
4. City of Rancho Palos Verdes Newsletter, Spring 2012, "Hidden Gems in Your Backyard: The
Miraleste Recreation and Parks District," Page 3.
5. Ibid.
6. Response to LAFCO Municipal Service Review Request for Information Part i; April 2, 2014;
Page 2.
7. Map of Miraleste Parks and Trails, Miraleste Parks and Recreation District Website, October 5,
2016.
8. City of Rancho Palos Verdes, City Council Meeting of July 6, 2004, Staff Report, Page 1.
9. LAFCO calculation utilizing 2010 Census (Block Group) data; January 29, 2015.
10. Response to LAFCO Municipal Service Review Request for Information Part I; April 2, 2014;
Page 4.
11. Ibid.; Pages 5-6.
12. Miraleste Recreation and Park District Financial Statements; June 30, 2013; Henry P. Eng,
Certified Public Accountant; Statement of Activities and Governmental Revenues,
Expenditures and Changes in Fund Balance, Period Ended June 30, 2013; Exhibit B, Page 3.
13. Response to LAFCO Municipal Service Review Request for Information Part I; April 2, 2014;
Page 7.
14. Ibid.; Page 14.
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Recreation and Parks Districts DRAFT MSR
Page 31 of 32
Footnotes (continued)
15. Miraleste Recreation and Park District Financial Statements; June 30, 2013; Henry P. Eng,
Certified Public Accountant; Note 2: Stewardship, Compliance and Accountability, Subsection
"a," General Budget Policies; Page 8.
Chapter 4 (Ridgecrest Ranchos RPDA
16. Response to LAFCO Municipal Service Review Survey; March 7, 2014, Page 1.
17. Number of parcels is from Los Angeles County Assessor Website; Number of homes and
Acreage is from Miscellaneous Government Services Spheres of Influence & Municipal
Services Reviews; June 23, 2004; Page 99; and Population is a LAFCO calculation utilizing
2010 Census (Block Group) data.
18. Response to LAFCO Municipal Service Review Survey; March 7, 2014, Page 1.
19. Mission Statement, Ridgecrest Ranchos Recreation and Park District.
20. City of Rancho Palos Verdes; City Council Meeting of November 6, 2013; Item "C" Staff
Report, Page 2.
21. Ibid., Page 3.
22. Response to LAFCO Municipal Service Review — Special Districts Supplemental Request for
Information; March 7, 2014; Page 2.
23. LAFCO calculation utilizing 2010 Census (Block Group) data; January 29, 2014.
24. Response to LAFCO Municipal Service Review Request for Information Part I; March 7, 2014;
Page 3.
25. Ibid.
26. Ibid.
27. State Controller's Office, Government Financial Reports, Special Districts, JPAs and
Nonprofits, Ridgecrest Ranchos Recreation and Parks District; Report printed on November
15, 2016.
28. Response to LAFCO Municipal Service Review Request for Information Part I; March 7, 2014;
Page 14.
29. City of Ranchos Palos Verdes Comprehensive Annual Financial Report, Fiscal Year Ended
June 30, 2015; Pages 20 and 83.
30. Ibid., Page 13.
31. Ibid., Pages 31 and 33.
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Recreation and Parks Districts DRAFT MSR
Page 32 of 32
Footnotes (continued)
Chapter 5 (Westfield RPD):
32. Response to LAFCO Municipal Service Review — Special Districts Supplemental Request for
Information; August 18, 2016; Page 1.
33. Number of parcels is from Los Angeles County Assessor Website; Number of homes is from
Response to LAFCO Municipal Service Review — Special Districts Supplemental Request for
Information; March 14, 2011; Page 6; Acreage is a LAFCO calculation; and Population is a
LAFCO calculation utilizing 2010 Census (Block Group) data.
34. Response to LAFCO Municipal Service Review — Special Districts Supplemental Request for
Information; March 14, 2011; Page 6.
35. Response to LAFCO Municipal Service Review — Special Districts Supplemental Request for
Information; August 18, 2016; Page 1.
36. Ibid., Pages 1-2.
37. LAFCO calculation utilizing 2010 Census (Block Group) data.
38. Response to LAFCO Municipal Service Review Survey, Request for Information Part I; July 5,
2016; Page 2.
39. Ibid., Page 3.
40. Westfield Parks Recreation and Parkways District #12 (sic) State Controller's Office Special
Districts Financial Transactions and Compensation Report for 2015; Westfield Parks
Recreation and Parkways District #12 (sic) 2016-17 Budget; and Donald A. Young Jr.,
Accredited Tax Advisor and Enrolled Agent, Statement of Revenue & Expenditures; June 20,
2015.
41. Donald A. Young Jr., Accredited Tax Advisor and Enrolled Agent, Statement of Revenue &
Expenditures; June 20, 2015; Page 3.
42. Ibid., Page 2.
43. Response to Response to LAFCO Municipal Service Review — Special Districts Supplemental
Request for Information; March 14, 2011; Page 16; Page 39.
A-36
g C. !R Cl -iso xdx
Dlitrict Boundary
Ridgecrest Ranchos Recreation & Parks District
As
December 20, 2016
Paul A. Novak, AICP, Executive Officer
Los Angeles County Local Agency Formation Commission
80 S. Lake Ave., Ste. 870
Pasadena, CA 91101
SUBJECT: Comments on the Draft Municipal Service Reviews for the Miraleste
and Ridgecrest Ranchos Recreation and Parks Districts
Dear Mr. Novak:
The City of Rancho Palos Verdes appreciates the opportunity to comment upon the draft
Municipal Service Reviews (MSRs) that have been prepared for the Miraleste Recreation
and Parks District and the Ridgecrest Ranchos Recreation and Parks District. We offer
the following comments on the draft MSRs and LAFCO's recommendations.
Miraleste Recreation and Parks District
1. In the second paragraph on page 8 (and elsewhere, as applicable), please note
that the Los Angeles County Board of Supervisors is the supervising authority for
the Miraleste Recreation and Parks District, not the Rancho Palos Verdes City
Council.
2. The Miraleste Recreation and Parks District has done an excellent job of
maintaining the unique character and aesthetics of the Miraleste area of Rancho
Palos Verdes since long before the City incorporated in 1973. As such, the City
supports the recommendation to retain the existing coterminous sphere of
influence (SOI) of the District. Furthermore, the City supports the recommendation
that the District should overhaul its website to improve transparency and
accountability.
Ridaecrest Ranchos Recreation and Parks District
3. In the third paragraph on page 16 (and elsewhere, as applicable), please note that
the Los Angeles County Board of Supervisors is the supervising authority for the
Ridgecrest Ranchos Recreation and Parks District, not the Rancho Palos Verdes
City Council.
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Paul Novak
December 20, 2016
Page 2
4. In the fourth paragraph on page 16 (and elsewhere, as applicable), please note
that the total acreage of the property owned by the Ridgecrest Ranchos Recreation
and Parks District is 1.20 acres, not 0.78 acres.
5. The City appreciates that LAFCO is charged with the duty to assess the efficiency
and efficacy of the delivery of municipal services by special districts. It seems clear
that, due to the limited size, real property holdings and maintenance
responsibilities of the District, it may now be more efficient and effective for these
responsibilities to be assumed by the City. However, the City also respects the
authority of the District as an independent agency that has provided services to its
residents since before the City incorporated in 1973. Therefore, the City is open
to considering the recommendation to adopt a Zero SOI for the District and to
assume the District's responsibilities, providing that the District does not object to
such action.
Again, thank you very much for the opportunity to comment on the draft MSRs for the
recreation and parks districts in the City of Rancho Palos Verdes. If you have any
questions or need additional information, please contact Senior Administrative Analyst Kit
Fox at (310) 544-5226 or kitf@rpvca.gov.
Sincerely yours,
Brian Campbell
Mayor
cc: Rancho Palos Verdes City Council
Doug Willmore, City Manager
Gabriella Yap, Deputy City Manager
Kit Fox, Senior Administrative Analyst
Miraleste Recreation & Parks District
Ridgecrest Ranchos Recreation & Parks District
MALegislative Issues\LAFCO\Recreation & Park Districts\20121220_LAFCO_DraftMSRComments.docx
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