Gran Jurado del Condado de Los Angeles

2024-2025

5 informes

Hallazgos & Recomendaciones 39 hallazgos
F1: When developing new communities and housing projects, little consideration is paid to the healthcare needs of the increasing local population. Water, sewer, roads, electrical, and other utilities are mandated to be part of the development plan that is submitted to the city and/or County.
F1A: State Mandated Service Reimbursement Rates make it difficult for Regional Centers and their contracted service providers to hire and retain qualified staff.
F1B: The difficulty outlined in Finding #1A is compounded by the large numbers of multi-lingual Regional Center consumers which necessitates the hiring of multi- lingual case workers. In Los Angeles County, according to the US Census, non- English and bilingual speakers make up 56% of the population.40
F2: There is no organized exchange of best practices among the major medical centers, even though they all face similar problems with crowding and APOT.84 84 In-person meeting with ED Medical, ED Nursing, and ED Public Health staff of LA General, November 13, 2024. 24
F3: The length of the contract made between the County and EMT Companies is negotiated for a period of ten years. It is difficult to project increased costs for such a long period of time.
F4: The City and County have Advanced Responder Transports, which include a Nurse Practitioner in the Paramedic Ambulances. The County and City Fire Departments initiated these programs on a trial basis, and reported that they were effective and life-saving. Unfortunately no statistics were available to determine the true efficacy of these programs.
F5: The discharge process is lengthy and complicated, particularly for individuals with special needs. The ED operates on a 24/7 basis, but many other departments and supporting services do not. The discharge process includes assisting individuals with special needs, e.g. elderly patients, mental illness, and those who are unhoused.
F6: A discharge lounge for patients without special needs helps to accelerate the discharge process for such patients. Such patients can be fast-tracked for a more speedy discharge.
F7: Harbor-UCLA Medical Center ED has adopted the practice of having a nurse accompany an ER patient through a course of diagnostic procedures to expedite the collection of patient data for the eventual attending physician. This keeps the patient engaged in their own well-being and lessens the number of patients who leave without being seen. Studies have shown that patients who leave without being seen by a physician contribute to ER Crowding, and thus to extended APOT. 25
F8: Ambulance emergency medical technicians are precluded from working within a hospital. However, County EMS indicated that Emergency Medical Technicians can be hired to work in the ER.
F9: When an ED adds an additional triage station during peak hours, it helps to alleviate ER crowding later in the day and evening.85
F10: Physician or Surgeon assisted triage helps to optimize walk-in and trauma patients’ visits to the ER. Low severity walk-in patients can often be referred to an urgent care center after appropriate stabilization, and Physician assisted triage helps to optimize patient throughput. 85 https://www.sciencedirect.com/science/article/pii/S1755599X24000946, Accessed January 2, 2025 26
F11: Based on the 2023 and 2024 water analyses 30 data reported by 25 California Water Service 20 Company - Leona Valley 15 (PWSID: CA1910243), 10 5 the waters from their 0 several sources were being blended and treated. However, the treated water still had Finding Figure 11.1. Bromodichloromethane contamination of several organic the water source of California Water Service Company - Leona compounds including Valley. bromodichloromethane (see Finding Figure 11.1). Note that the recommended MCLG set by the EPA for this compound is zero. Other volatile organic compounds were also detected at levels below the recommended MCL (data not shown). The Jury inquired as to the possible source of bromodichloromethane and what treatment California Water Service is doing for its removal or reduction. Representative from the district returned the call and informed the Jury that somebody would call to answer the question.76 The Jury did not receive a call back. Calls on November 19 and 20, 2024 34 )L/gn( tnuomA Bromodichloromethane, Treated Water Sampling Date
F12: The well source of Amarillo Mutual Water 70 Company (PWSID: 60 CA1910002; located in 50 Rosemead) is 40 contaminated with a 30 20 number of volatile organic 10 compounds including 0 tetrachloroethylene (see Finding Figure 12.1). Amarillo Mutual has acknowledged that there Finding Figure 12.1. Tetrachloroethylene contamination of have been problems with water source in Amarillo Mutual Water Company. the water quality from its source for several years now. They draw their water from Well #1 which is pulled from the aquifer that is shared by several users. Well #1 is located near where the contaminants are concentrated. Since the water is contaminated, Amarillo Mutual purchases water from the San Gabriel water district for distribution to its customers.77 A superfund called the El Monte superfund was established to clean up the site of the contamination several years ago. It is called the El Monte superfund and is managed by San Gabriel Basin Water Quality Authority (WQA).78 The aquifer is swept by WQA periodically and the contaminants get moved to the North East end of the aquifer.77 Amarillo Mutual has installed an activated carbon filter to absorb the problematic chemicals from the water and it is working to bring down the numbers to an undetectable level.79 This costs the water district more than $1 million. Amarillo Mutual has applied for reimbursement from the California State Water Board but their application was denied.80 77 Interviewee from Amarillo Mutual Water Company, October 24, 2024 78 Source: https://wqa.com/about/, Accessed: December 16, 2024 79 Based on the water analysis data provided by Interviewee from Amarillo Mutual Water Co., November 4, 2024 80 Interviewee from Amarillo Mutual Water Co., October 24, 2024 35 )L/gu( tnuomA Tetrachloroethylene Content, Well 01 Sampling Date
F13: In 2023, the treated water from California State Polytechnic 40 University – Pomona (PWSID: 35 30 CA1910022) water district was 25 20 contaminated with 15 bromodichloromethane (see 10 5 Finding Figure 13.1), whose 0 MCLG is set to zero by the EPA. In addition, the total trihalomethanes (TTHM) content in Finding Figure 13.1. Bromodichloromethane the treated water was above the contamination of treated water in California State 80 ug/L MCL (see Finding Figure Polytechnic University – Pomona. 13.2). Other organic compounds were also detected but were below the MCL. The Jury reached out to CSU- Pomona but the call was not returned.81 Finding Figure 13.2. Total trihalomethane detected in the treated water in California State Polytechnic University – Pomona.
F14: Results from water analysis submitted by Crescenta Valley Water District (CWD; PWSID: CA1910028) in 2023 and 2024 indicate that some of the water wells being used by CWD were contaminated with a number of chemicals including PFOS, PFOA, and nitrate. These are highlighted in Finding Figures 14.1 to 14.3. The MCL for both PFOS and PFOA is 4 ng/L, and for nitrate is 10 mg/L. Call placed on November 15, 2024 36 )L/gu( tnuomA Bromodichloromethane Content, DBPR Sample Sampling Date 120 100 80 60 40 20 0 )L/gu( tnuomA Trihalomethane Content, DBPR Sample Sampling Date 25 20 15 10 5 0 Finding Figure 14.1. PFOS contamination of wells #8 and #9 of Crescenta Valley Water District. Finding Figure 14.2. PFOA contamination of wells #1 and #8 of Crescenta Valley Water District. Finding Figure 14.3. Nitrate contamination of wells #2 and #5 of Crescenta Valley Water District. CWD mentioned that the possible source of the volatile organic compounds is a superfund site.82 However, while the source of contamination for nitrates is unknown CWD suspects that it is coming from either failing septic tanks or from accumulated fire retardants used in fighting fires or both.83 In addition, CWD mentioned the area was an agricultural area which may have too many nitrates. Interviewee from Crescenta Valley CWD, December 2, 2024 83 Ibid 37 )L/gn( tnuomA PFOS Content, Well 08 6 5 4 3 2 1 0 Sampling Date )L/gn( tnuomA PFOS Content, Well 09 Sampling Date 12 10 8 6 4 2 0 )L/gn( tnuomA PFOA Content, Well 01 25 20 15 10 5 0 Sampling Date )L/gn( tnuomA PFOA Content, Well 08 Sampling Date 12 10 8 6 4 2 0 )L/gm( tnuomA Nitrate Content, Well 02 14 12 10 8 6 4 2 0 Sampling Date )L/gm( tnuomA Nitrate Content, Well 05 Sampling Date For immediate remediation, CWD is purchasing water from Metropolitan Water District and blending it with water from their well to dilute the contaminants. Results of the analysis indicate that the levels of contaminants contained in the blended water are below the specified MCL. They are also testing a pilot plan to treat water using granulated activated carbon or ion exchange to remove the contaminants permanently.84
F15: El Monte City Water District (PWSID: CA1910038) has six wells as sources of water for distribution; five are contaminated with tetrachloroethylene, also known as PCE. In Finding Figure 15.1, four of the wells are highlighted. The levels of PCE were above MCL as indicated in the 2023 and early 2024 analyses. In the case of well #12, the PCE level was about 6.5X of the MCL. 35 30 25 20 15 10 5 0 Finding Figure 15.1. Tetrachloroethylene contamination of some of the water wells of El Monte City Water District. (Note: The y-axes for all graphs are adjusted to be of the same scale.) Other organic compounds, including trichloroethylene, were also detected above the MCL level (see Finding Figure 15.2). Ibid 38 )L/gu( tnuomA Tetrachloroethylene Content, Well 03 35 30 25 20 15 10 5 0 Sampling Date )L/gu( tnuomA Tetrachloroethylene Content, Well 12 Sampling Date 35 30 25 20 15 10 5 0 )L/gu( tnuomA Tetrachloroethylene Content, Well 15 35 30 25 20 15 10 5 0 Sampling Date )L/gu( tnuomA Tetrachloroethylele Content, Well 16 Sampling Date The source of contamination appears to be the superfund site that is being managed by the San Gabriel Basin Water Quality Authority (WQA).85 El Monte City Water District installed a granular activated carbon treatment system to filter the water before it enters the supply lines. The treated water has reduced levels of contaminants.86 This is evident in Finding Figure 15.3. El Monte City Water District applied for reimbursement from the EPA funds through WQA. 70 60 50 40 30 20 10 0 Finding Figure 15.2. Trichloroethylene contamination of some of the water wells of El Monte City Water District. Finding Figure 15.3. Reduction of trichloroethylene contamination after water treatment in El Monte City Water District. Interviewee from El Monte City Water District, December 2, 2024 86 Ibid 39 )L/gu( tnuomA Trichloroethylene Content, Well 02 14 12 10 8 6 4 2 0 Sampling Date )L/gu( tnuomA Trichloroethylene Content, Well 14 Sampling Date 14 12 10 8 6 4 2 0 )L/gu( tnuomA Trichloroethylene Content, Well 15 40 35 30 25 20 15 10 5 0 Sampling Date )L/gu( tnuomA Trichloroethylene Content, Well 16 Sampling Date 7.00 6.00 5.00 4.00 3.00 2.00 1.00 0.00 )L/gu( tnuomA Trichloroethylene Content, Effluent (Treated Water) Sampling Date
F16: Nitrate, perchlorate, carbon tetrachloride, and volatile organic compounds are found to be present in the water sources used by Lincoln Avenue Water Co. (PWSID: CA1910063; located in Altadena). In 2023 and 2024 analyses, the levels of these contaminants were below MCL (data not shown). Lincoln Avenue Water is using appropriate steps to resolve the problem. Treatment facilities were installed (ionic exchanger and granular activated carbon) to remove the VOCs.87 Hence, water being distributed by Lincoln Avenue Water to its consumers is up to the EPA and California standards. A possible source of the volatile organic compounds that are present in the district’s water wells is NASA JPL site.88 This has been considered a superfund site since the 1980s.89
F17: There are three wells currently 1 2 8 0 16 being used by 14 12 10 Lynwood Park 8 6 4 Mutual Water 2 0 Co. (PWSID: CA1910081; located in Compton) as Finding Figure 17.1. PFOS contamination of water wells of sources of Lynwood Park Mutual Water Co. water for their customers. Based on 2023 and 2024 analyses, the wells contained PFOS (see Finding Figure 17.1) and PFOA (see Finding Figure 17.2) that were above the MCL (4 ng/L for both PFOS and PFOA). In the case of PFOS, it was about 4X the MCL standard. Other volatile organic compounds 87 Interviewee from Lincoln Avenue Water Co., November 13, 2024 88 Ibid 89 Ibid 40 )L/gn( tnuomA PFOS Content, Well 01 20 18 16 14 12 10 8 6 4 2 0 Sampling Date )L/gn( tnuomA PFOS Content, Well 02 Sampling Date 20 18 16 14 12 10 8 6 4 2 0 )L/gn( tnuomA PFOS Content, Well 03 Sampling Date (e.g., tetrachloroethylene and trichloroethylene) were also detectable but below MCL (data not shown). Lynwood Park Mutual does not know the 8 7 source of the contamination. As far as 6 5 they know, no superfund site is 4 involved.90 They are developing a plan to 3 2 assess the source of the contamination. 1 0 As of this report writing, Lynwood Park is still in the process of drafting a plan and finding a suitable solution to install a treatment system that will remove the contaminants. Accordingly, the cost is quite prohibitive.91 There was no effluent or treated water analysis data submitted by Lynwood Park Mutual to California State Water Resources Control Board (CSWRCB). Finding Figure 17.2. PFOA contamination of water wells of Lynwood Park Mutual Water Co.
F18: PFOA and PFOS are two of the major contaminants found in the source wells being used by Pico Water District (PWSID: CA1910125; located in Pico Rivera) at a level way above their MCL (4 ng/L) set by the EPA. These are highlighted in Finding Figures 18.1 and 18.2. At some point in 2023 and 2024, the PFOA and PFOS levels were about 3X and 6X the MCL, respectively. Interviewee from Lynwood Park Mutual Water Co., November 19, 2024 91 Ibid, January 14, 2025 41 )L/gn( tnuomA PFOA Content, Well 01 Sampling Date 8 7 6 5 4 3 2 1 0 )L/gn( tnuomA PFOA Content, Well 02 Sampling Date 8 7 6 5 4 3 2 1 0 )L/gn( tnuomA PFOA Content, Well 03 Sampling Date 16 14 12 10 8 6 4 2 0 Finding Figure 18.1. PFOA contamination of some of the water wells of Pico Water District. Finding Figure 18.1. PFOS contamination of some of the water wells of Pico Water District. The amount of PFOA is above the Response Level (10 ng/L) set by California State Water Board, which triggered the Pico Water District to issue a notification to its customers about PFOA and its health effects (see Finding Figure 18.2). 42 )L/gn( tnuomA PFOA Content, Well 05 16 14 12 10 8 6 4 2 0 Sampling Date )L/gn( tnuomA PFOA Content, Well 08 Sampling Date 16 14 12 10 8 6 4 2 0 )L/gn( tnuomA PFOA Content, Well 10 16 14 12 10 8 6 4 2 0 Sampling Date )L/gn( tnuomA PFOA Content, Well 11 Sampling Date 30 25 20 15 10 5 0 )L/gn( tnuomA PFOS Content, Well 05 30 25 20 15 10 5 0 Sampling Date )L/gn( tnuomA PFOS Content, Well 08 Sampling Date 25 20 15 10 5 0 )L/gn( tnuomA PFOS Content, Well 10 20 18 16 14 12 10 8 6 4 2 0 Sampling Date )L/gn( tnuomA PFOS Content, Well 11 Sampling Date A possible source of the contaminants is not clear. Their wells are presumably near the location that used to be occupied by Northrop Corp.92 Pico Water District purchased three new treatment plants (ion exchangers) and these have been installed since 2023. These cost them millions of dollars. They applied for a permit to begin using the treatment plants. The district had been waiting for at least a year now for the Division of Drinking Water of the California State Resource Control Board to issue the permit.93 Finding Figure 18.2. Copy of the notification letter issued on June 22, 2024 by the Pico Water District (PWSID: CA1910125) to its customers as a result of PFOA reaching above the Response Level of 10 ng/L. Interviewee from Pico Water District, November 5, 2024 93 Ibid 43
F19: Nitrates appear to be ubiquitous in wells being used Cal/Am Water 12 Company - San Marino (PWSID: 10 CA1910139). In 2023 and 2024, 8 the nitrate content of one of its 6 4 wells was approaching the MCL 2 (Finding Figure 19.1). Based on 0 the water analysis they submitted to California State Water Resources Control Board (CSWRCB), the district appears Finding Figure 19.1. Nitrate content in one of the to be blending water from wells being used by Cal/Am Water Company - San Marino different wells to significantly reduce the amount of nitrates in water for distribution. The water analysis also indicates that bromodichloromethane was significantly higher than the recommended MCL for this chemical which is zero. Finding Figure 19.2. Bromodichloromethane content in water treatment in Cal/Am Water Company - San Marino. 44 )L/gm( tnuomA Nitrate Content, Winston Well Sampling Date 16 14 12 10 8 6 4 2 0 )L/gu( tnuomA 3202/42/2 3202/42/2 3202/42/2 3202/42/2 3202/62/5 3202/62/5 3202/62/5 3202/62/5 3202/22/8 3202/22/8 3202/22/8 3202/22/9 3202/12/11 3202/12/11 3202/12/11 3202/12/11 4202/32/2 4202/32/2 4202/32/2 4202/32/2 4202/42/5 4202/42/5 4202/42/5 LCM Bromodichloromethane Content, DBPR Sampling Date
F20: South Montebello Irrigation District (PWSID: CA1910153) has three wells as water 35 30 sources. Based on the results 25 of water analysis in 2023-2024, 20 15 all of the three wells were 10 contaminated with PFOS and 5 0 PFOA at about 5X and 3X the recommended MCL, respectively (see Finding Figures 20.1 and 20.2). Finding Figure 20.1. PFOS contamination in water wells of South Montebello Irrigation District. South Montebello Irrigation District (SMID) is aware of the presence of these chemicals.94 According to SMID, the aquifer associated with their wells are contaminated. They do not know the source of these contaminants but they suspect that the sources are the run-off from fire-fighting foam retardants Finding Figure 20.2. PFOA contamination in water used in the hills above wells of South Montebello Irrigation District. Montebello that washed into the Rio Hondo River and then into the aquifer. They have been told by the Fire Department that the current water retardants no longer have these chemicals. SMID has issued notification warning to their customers about these contaminants.95 They are drawing up plans to remediate the problem including installation of water treatment and creation of new wells and a new emergency generator. They believe that these plans will be implemented starting in 2026.96 94 Interviewee from South Montebello Irrigation District, February 5, 2025 95 Source: https://smid.specialdistrict.org/files/f11e9aa63/SMID+PFA+Notification+9-5-24.pdf. Accessed: February 5, 2025 96 Interviewee from South Montebello Irrigation District, February 5, 2025 45 )L/gn( tnuomA PFOS Content, Wells 03 (black), 05 (white), 07 (striped bars) Sampling Date 14 12 10 8 6 4 2 0 )L/gn( tnuomA PFOA Content, Wells 03 (black), 05 (white), 07 (striped bars) Sampling Date
F21: Based on their submitted water analysis report in 2023-2024, results indicate that one (Well #2) of the wells being used by the City of South Pasadena Water Department (PWSID: CA1910154) was contaminated with tetrachloroethylene (or PCE) at a level 3X the MCL (see Finding Figure 21.1, upper panel). In the previous years (2015 to 2022), this chemical was also detected above MCL in Well #2 (see lower panel of Finding Figure 21.1). The other wells also contained tetrachloroethylene that was below MCL (data not shown). There was no data 20 18 submitted to the California 16 14 State Water Resources 12 10 Control Board (CSWRCB) 8 6 4 regarding 2 0 tetrachloroethylene content in treated (effluent) water. According to the City of South Pasadena Water Department, water from this well is just being monitored but not being used for distribution to consumers. Hence, there is no treated water sample available from this well. The source of PCE in their Finding Figure 21.1. Tetrachloroethylene contamination water system is the San of Well #2 of City of South Pasadena Water Dept. from 2015 to 2024. Gabriel Water Basin, where a number of superfund sites are located. The Basin serves as the water source for some of the wells of City of South Pasadena Water Dept.98 Aside from PCE, the City has to monitor other organic compounds (e.g., trichloroethylene and 1,2,3-Trichloropropane).99 For this reason, the City had to install treatment facilities (e.g., granulated activated charcoal and ion-exchanger) in 2022 at a cost of about $11.2 million. Interviewee from City of South Pasadena Water Department, February 28, 2025 98 Ibid 99 Ibid 46 )L/gu( tnuomA Tetrachloroethylene Content, Well 02 (2023 -2024) Sampling Date 20 18 16 14 12 10 8 6 4 2 0 )L/gu( tnuomA 5102/6/1 5102/3/2 5102/62/2 5102/3/3 5102/7/4 5102/5/5 5102/02/5 5102/2/6 5102/7/7 5102/4/8 5102/02/8 5102/1/9 5102/1/01 6102/2/2 6102/22/2 6102/1/3 6102/5/4 6102/2/5 6102/9/5 6102/5/7 6102/2/8 6102/21/8 6102/4/01 6102/1/11 6102/12/11 2202/52/5 2202/5/01 2202/1/11 2202/5/21 2202/5/21 LCM Tetrachloroethylene, Well 02 (2015-16 and 2022) Sampling Date
F22: In the 2023-2024 the analysis indicated that nitrates and some volatile organic compounds were detected at some of the wells being used by Sunny Slope Water Company (PWSID: CA1910157) but they were below the corresponding MCL (data not shown). Analyses done in 2019 to 2022 indicated similar results. In addition, data regarding analysis of effluent samples indicates that Sunny Slope is performing treatment of water coming from these wells.
F23: There are two wells being used by Tract 349 Mutual Water Company (PWSID: CA1910160; located in Cudahy). One of them (Well #3) was contaminated with manganese (see Finding Figure 23.1) at 2X the MCL. In addition, the well had has high levels of PFOA (at 2X) and PFOS (at 11X) that are above MCL (see Finding Figure 23.2). Other VOCs were also present in the well but they were below the corresponding MCL (data not shown). Tract 349 was already notified by the State Water Regulatory Board about the high level of manganese in their water.100 However, they have not been notified about the presence of high levels of some VOCs.101 According to Tract 349, Well 120 #4 serves as the 100 water supply 80 source and Well 60 40 #3 is pumped for 20 sampling and for 0 monitoring purposes only and is not part of water supply.102 Finding Figure 23.1. Manganese contamination of one of the The levels of wells of Tract 349 Mutual Water Company manganese and VOCs in Well #4 are below their corresponding MCLs (data not shown). Interviewee from Tract 349 Mutual Water Co., November 18 and 21, 2024 101 Ibid 102 Based on the document submitted by Tract 349 Mutual Water Co., December 14, 2024 47 )L/gu( tnuomA Manganese Content, Well 03 Sampling Date The source of water for the two wells is the groundwater from the Central Basin.103 Manganese is prevalent throughout this basin and it has been present from the time of the formation of Tract 349 in 1912. PFOS and PFOA have been detected in the Central Basin beginning in the late 2010s and were detected in Tract 349’s wells in or about April 2024.104 Tract 349 is drafting a plan to remedy the manganese problem. As part of this plan, they wrote a grant to seek funding from the state of California for the water treatment to remove manganese in Well #4.105
F24: The level of nitrates in some of the wells being used by Valley Water Co. (PWSID: CA1910166; located in La Canada Flintridge) is approaching the MCL (see Finding Figure 24.1). The same can be said about the overall treated water coming from the four wells. 12 10 8 6 4 2 0 Finding Figure 24.1. Nitrate contamination of wells in Valley Water Company. Ibid 104 Ibid 105 Interviewee from Tract 349 Mutual Water Co., November 18 and 21, 2024 48 )L/gm( tnuomA Nitrate Content, Well 04 12 10 8 6 4 2 0 Sampling Date )L/gm( tnuomA 50 45 40 35 30 25 20 15 10 5 0 4/30/20246/21/2024 4/30/20246/21/2024 MCL Finding Figure 23.2. PFOS and PFOA contamination of one of the wells of Tract 349 Mutual Water Company. Nitrate Content, Wells 1, 2, 3, 4 Effluent Sampling Date )L/gn( tnuomA PFOS (in solid black) and PFOA (in white) Contents, Well 03 Sampling Date Bromodichloromethane, one of the volatile organic compounds, is also found in the water of Valley Water (see Finding Figure 24.2). The MCL set goal by the EPA for this chemical is zero (see Table 4). 14 12 10 8 6 4 2 0 Finding Figure 24.2. Bromodichloromethane contamination of wells in Valley Water Company. According to Valley Water, the possible source of the contamination is a site that Jet Propulsion Laboratory used to utilize; no superfund site is involved.106 They have been dealing with the contamination issue for more than 20 years. The water district has installed a filtration system to remove the contaminants before water distribution.107
F25: At some point of in 2023 and 2024, some of the wells being used by GSWC - South San Gabriel (PWSID: CA1910223) were contaminated by nitrates and some volatile organic compounds (including PFOS, PFOA, and tetrachloroethylene) at levels above the MCL. Based on the effluent data available, GSWC is treating the water to reduce the contaminants and the treatment procedure appears to be working (see Finding Figures 25.1 and 25.2). Interviewee from Valley Water Co., November 13, 2024 107 Ibid 49 )L/gu( tnuomA Bromodichloromethane Content, Well 02 14 12 10 8 6 4 2 0 Sampling Date )L/gu( tnuomA Bromodichloromethane Content, Well 03 Sampling Date 12 10 8 6 4 2 0 Finding Figure 25.1. Nitrate content of contaminated well (upper panel) and treated water (lower panel) in GSWC - South San Gabriel. Finding Figure 25.2. PFOS and PFOA contents of contaminated wells and treated water in GSWC - South San Gabriel. 50 )L/gm( tnuomA Nitrate Content, Well 02 Sampling Date 12 10 8 6 4 2 0 )L/gm( tnuomA 3202/3/1 3202/32/1 3202/7/2 3202/12/2 3202/6/3 3202/3/4 3202/42/4 3202/8/5 3202/03/5 3202/31/6 3202/5/7 3202/71/7 3202/13/7 3202/41/8 3202/5/9 3202/81/9 3202/2/01 3202/6/11 3202/72/21 4202/8/1 4202/42/1 4202/7/2 4202/22/2 4202/4/3 4202/81/3 4202/1/4 4202/51/4 4202/92/4 4202/41/5 4202/82/5 4202/11/6 4202/42/6 4202/8/7 4202/22/7 Nitrate Content, Treated (Effluent) Sampling Date 35 30 25 20 15 10 5 0 )L/gn( tnuomA PFOS Content in Well 01 (black bars), Well 02 (white bars), and treated water (bar w/ diagonal) 16 14 12 10 8 6 4 2 0 Sampling Date )L/gn( tnuomA PFOA Content in Well 01 (black bars),Well 02 (white bars), and treated water (bar w/ diagonal) Sampling Date
F26: Three wells in Land Projects Mutual Water Company (PWSID: CA1910246; 25 located in Lancaster) contains arsenic 20 15 levels that are above the maximum 10 contaminant level. This is highlighted in 5 Finding Figure 26.1. The wells also 0 contain nitrates but at a level below MCL (data not shown). Land Projects is using the three wells in rotation as a source of water. To remedy the arsenic problem, Land Projects also installed a 4th well with water treatment capability (i.e., absorption treatment).108 This will serve as the primary source of treated water. The water from the other wells will be blended in with the primary source to dilute the amount of arsenic. This way the blended water will meet the EPA standard of having arsenic level below the MCL threshold. The installation is almost done and will be operational by March or April 2025 Finding Figure 26.1. Arsenic contamination after inspection by the State Water of the water wells in Land Projects Mutual Board.109 Water Co. Interviewee from Land Projects Mutual Water Co., November 20, 2024 109 Ibid, February 3, 2025 51 )L/gu( tnuomA Arsenic Content, Well 01 Sampling Date 25 20 15 10 5 0 )L/gu( tnuomA Arsenic Content, Well 03 Sampling Date 25 20 15 10 5 0 )L/gu( tnuomA Arsenic Content, Well 08 Sampling Date
F27: Some of the wells being used by GSWC – 160 Florence/Graham Water 140 120 District (PWSID: 100 80 CA1910077; located in 60 40 Santa Fe Springs) are 20 contaminated with volatile 0 organic compounds including trichloroethylene and tetrachloroethylene. Based on the 2023-2024 analyses, trichloroethylene and tetrachloroethylene were detected at about 10X- 25X and 1.2X-2.4X their MCL (5 ug/L), respectively (see Finding Figures 27.1 and 27.2). The same reports also indicate that GSWC – Florence/Graham is treating the waters. However, such treatment was only effective in reducing the trichloroethylene for Finding Figure 27.1. Trichloroethylene contamination of wells and treated water in GSWC-Florence/Graham Water several months in 2023 or District. in early 2024. There was no reported data about the tetrachloroethylene content in treated water. Finding Figure 27.2. Tetrachloroethylene contamination of well #1 in GSWC- Florence/Graham Water District. 52 )L/gu( tnuomA 3202/4/1 3202/6/2 3202/4/4 3202/6/6 3202/01/7 3202/01/7 3202/6/9 3202/6/11 3202/4/21 4202/2/1 4202/8/2 4202/1/4 4202/7/5 4202/3/6 4202/1/7 LCM Trichloroethylene Content, Converse Well 01 Sampling Date 14 12 10 8 6 4 2 0 )L/gu( tnuomA 3202/4/1 3202/11/1 3202/71/1 3202/32/1 4202/8/2 4202/72/2 4202/8/3 4202/21/3 4202/91/3 4202/52/3 4202/1/4 4202/9/4 4202/51/4 4202/22/4 4202/2/5 4202/7/5 4202/41/5 4202/02/5 4202/82/5 4202/3/6 4202/11/6 4202/71/6 4202/42/6 4202/1/7 LCM Trichloroethylene Content, Treated (Effluent, Converse Well 1) Sampling Date 12 10 8 6 4 2 0 )L/gu( tnuomA 3202/1/2 3202/31/2 3202/31/3 3202/72/3 3202/11/4 3202/42/4 3202/6/6 3202/91/6 3202/5/7 3202/81/7 3202/2/8 3202/41/8 3202/82/8 3202/21/9 3202/81/9 3202/9/01 3202/6/11 3202/72/11 3202/11/21 3202/82/21 4202/8/1 4202/32/1 4202/7/2 4202/72/2 4202/11/3 4202/52/3 4202/9/4 4202/22/4 4202/7/5 4202/02/5 LCM Trichloroethylene Content, Treated (Effluent, Nadeau Plant) Sampling Date 14 12 10 8 6 4 2 0 )L/gu( tnuomA 3202/4/1 3202/6/2 3202/4/4 3202/6/6 3202/01/7 3202/01/7 3202/6/9 3202/6/11 3202/4/21 4202/2/1 4202/8/2 4202/1/4 4202/7/5 4202/3/6 4202/1/7 LCM Tetrachloroethylene Content, Converse Well 01 Sampling Date
F28: Some of the water wells being used by the City of Alhambra Water District (PWSID: CA1910001) are contaminated with nitrates and some volatile organic compounds (e.g., trichloroethylene). Results of water analysis conducted in 2023- 2024 indicate that they were present above the respective contaminant MCL. Based on the available effluent data, the City of Alhambra appears to be treating the water from these wells. The level of the contaminants is significantly reduced (see Finding Figure 28.1 for nitrate and Finding Figure 28.2 for trichloroethylene). 25 20 15 10 5 0 Finding Figure 28.2. Trichloroethylene content of contaminated well (upper panel) and treated water (lower panel) in City of Alhambra Water District. 53 )L/gu( tnuomA Trichloroethylene Content, Well 09 Sampling Date 6 5 4 3 2 1 0 )L/gu( tnuomA 14 12 10 8 6 4 2 0 Finding Figure 28.1. Nitrate content of contaminated well (upper panel) and treated water (lower panel) in City of Alhambra Water District. Trichloroethylene Content, Effluent (Treated) Sampling Date eltiT sixA 3202/41/11 4202/7/2 4202/4/6 4202/2/7 3202/4/1 3202/7/2 3202/9/3 3202/9/3 3202/4/4 3202/2/5 3202/6/6 3202/6/7 3202/2/8 3202/6/9 3202/3/01 3202/7/11 3202/6/21 4202/71/1 4202/7/2 4202/2/4 4202/7/5 4202/4/6 4202/2/7 LCM Nitrate Content, Well 07 (bars in solid black)& Well 09 (bars in white) Axis Title 12 10 8 6 4 2 0 )L/gm( tnuomA Nitrate Content, Treated (Effluent) Sampling Date
F29: The water wells of Valley County Water District (PWSID: CA1910009; located in Baldwin Park) are contaminated with a number of organic compounds including tetrachloroethylene and trichloroethylene, the levels of which were detected either at 10X or 5X, respectively, based on the district’s 2023 analysis (see Finding Figures 29.1 and 29.2). 60 50 40 30 20 10 0 Finding Figure 29.1. Tetrachloroethylene contamination of water sources of Valley County Water District. Finding Figure 29.2. Trichloroethylene contamination of water sources of Valley County Water District. Aside from the above organic chemicals, the wells contain PFOS and PFOA (data not shown). Valley County Water Mutual is also monitoring the following VOCs: perchlorate, N-Nitrosodimethylamine, and 1,4-dioxane. They also found nitrates which are usually produced by nearby dairy farms.111 110 Interviewee from Valley County Water District, October 25, 2024 111 Ibid 54 )L/gu( tnuomA Tetracholoethylene Content, Well SA1-4 60 50 40 30 20 10 0 Sampling Date )L/gu( tnuomA Tetrachloroethylene Content, Well 07 Sampling Date 30 25 20 15 10 5 0 )L/gu( tnuomA Trichloroethylene Content, Well SA1-4 30 25 20 15 10 5 0 Sampling Date )L/gu( tnuomA Trichloroethyle Content, Well 07 Sampling Date According to Valley County Water Mutual, the water from their wells is 6 pumped into a single line which then 5 is blended prior to treatment.112 The 4 results of the treatment of blended 3 water showed that the level of 2 contaminants is significantly reduced 1 as highlighted in Finding Figure 29.3 0 4/25/2023 4/13/2023 4/13/2023 4/25/2023 MCL for tetrachloroethylene. Finding Figure 29.3. Reduction of tetrachloroethylene after treatment of blended The source of the contamination is a water in Valley County Water District. superfund site affecting the aquifer and the district’s water wells.113 The original contaminators were sued by the EPA and have been paying to clean up the site for years. The clean-up is being done through WQA who installed an activated carbon filter to flush the aquifer. They also sell their treated water to other water districts.114 They claim to test the water before and after pumping and the water is 100% according to EPA standards. In addition, they file an annual report with the state water board that lists all complaints they receive from consumers.
F30: The water wells being used by Monterey Park City Water Dept. (PWSID: CA1910092) are contaminated with a number of volatile organic compounds, including PFOS and PFOA, arsenic, and nitrates. In 2024, Wells #3, #5, #10, and #12 had levels of PFOS about 10X and about 2.5X the MCL, respectively (see upper panel of Finding Figure 30.1; data for #3 and #10 are not shown). The same wells had levels of PFOA at about 3.5X and about 2.5X the MCL (see upper panel of Finding Figure 30.2). Ibid 113 Ibid 114 Ibid 55 )L/gu( tnuomA Tetrachloroethyle Content, After Treatment Sampling Date 50.00 45.00 40.00 35.00 30.00 25.00 20.00 15.00 10.00 5.00 0.00 Finding Figure 30.1. PFOS contamination of water wells and treated water in Monterey Park City Water Dept. Finding Figure 30.2. PFOA contamination of water wells and treated water in Monterey Park City Water Dept. 56 )L/gn( tnuomA PFOS Content, Well 05 50.00 45.00 40.00 35.00 30.00 25.00 20.00 15.00 10.00 5.00 0.00 Sampling Date )L/gn( tnuomA PFOS Content, Well 12 Sampling Date 18.00 16.00 14.00 12.00 10.00 8.00 6.00 4.00 2.00 0.00 )L/gn( tnuomA PFOS Content, Treated Water (Effluent) Sampling Date 16.00 14.00 12.00 10.00 8.00 6.00 4.00 2.00 0.00 )L/gn( tnuomA PFOA Content, Well 05 16.00 14.00 12.00 10.00 8.00 6.00 4.00 2.00 0.00 Sampling Date )L/gn( tnuomA PFOA Content, Well 12 Sampling Date 12.00 10.00 8.00 6.00 4.00 2.00 0.00 )L/gn( tnuomA PFOA Content, Treated Water (Effluent) Sampling Date Monterey Park City Water Dept. is treating the water from the contaminated wells. However, based on the 2023-24 analysis, the treated water still contains PFOS and PFOA at levels about 4X and 2.5X the MCL (see lower panels in Finding Figure 30.1 and 30.2). Some of the wells were also contaminated with tetrachloroethylene at about 8X to 10X the set MCL (see Finding Figure 30.3). 60.00 50.00 40.00 30.00 20.00 10.00 0.00 Finding Figure 30.3. Tetrachloroethylene contamination of water wells in Monterey Park City Water Dept. The treatment of water appears to be working in reducing tetrachloroethylene, arsenic, and nitrate contaminants. For example, some wells had originally contained arsenic that is 1.7X – 2X the MCL (see upper panels in Finding Figure 30.3). After treatment, the arsenic level was significantly reduced below the MCL (see lower panel of Finding Figure 30.3). The level of tetrachloroethylene was significantly reduced as well (see Finding Figure 30.4). However, in the case of tetrachloroethylene, data for treated water was only available for 2023 but not for 2024. According to Monterey Park City Water Dept., this omission was due to delays in laboratory processing. The updated effluent analysis data for 2024 has been uploaded to CLIP since the matter was brought to their attention by the Jury.115 115 Based on the response letter provided to the Jury by interviewee from Monterey Park City Water Dept., February 13, 2025 57 )L/gu( tnuomA Tertrachloroethylene Content, Well 12 60.00 50.00 40.00 30.00 20.00 10.00 0.00 Sampling Date )L/gu( tnuomA Tetrachloroethylene Content, Well 15 sampling Date 20.00 18.00 16.00 14.00 12.00 10.00 8.00 6.00 4.00 2.00 0.00 Finding Figure 30.3. Arsenic contamination of water wells and treated water in Monterey Park City Water Dept. Finding Figure 30.4. Reduction of tetrachloroethylene after treatment in Monterey Park City Water Dept. Monterey Park City Water Dept. attributed the presence of arsenic in the wells primarily due to the natural occurrence of this element in the San Gabriel Groundwater Basin.116 They have been monitoring arsenic since the 2000s. On the other hand, the presence of tetrachloroethylene, PFOS and PFOA are attributed to the contaminated aquifers (superfund sites) in the San Gabriel Water Basin that is managed by Water Quality Authority.117 116 Ibid 117 Ibid 58 )L/gu( tnuomA Arsenic Content, Fern Well 30.00 25.00 20.00 15.00 10.00 5.00 0.00 7/25/202311/7/202312/7/20232/5/2024 4/1/2024 7/1/2024 MCL Sampling Date )L/gu( tnuomA Arsenic Content, Well 09 Sampling Date 12.00 10.00 8.00 6.00 4.00 2.00 0.00 )L/gu( tnuomA 3202/3/1 3202/71/1 3202/13/1 3202/41/2 3202/82/2 3202/41/3 3202/72/3 3202/11/4 3202/52/4 3202/9/5 3202/22/5 3202/6/6 3202/6/7 3202/8/8 3202/32/8 3202/6/9 3202/91/9 3202/3/01 3202/32/01 3202/41/11 3202/4/21 3202/91/21 4202/9/1 4202/32/1 4202/21/2 4202/72/2 4202/21/3 4202/62/3 4202/9/4 4202/03/4 4202/31/5 4202/92/5 4202/11/6 4202/52/6 4202/9/7 4202/32/7 LCM Arsenic Content, Combined Water -Treated Sampling Date 60.00 50.00 40.00 30.00 20.00 10.00 0.00 )L/gu( tnuomA Tetrachloroethylene Content, Influent (Before Treatment) 6.00 5.00 4.00 3.00 2.00 1.00 0.00 Sampling Date )L/gu( tnuomA Tetrachloroethylene Content, Effluent (Treated) Sampling Date The City of Monterey Park Water Dept. is evaluating and implementing advanced treatment technologies (e.g., granular activated carbon and ion exchange systems) to mitigate the contamination due to PFOS and PFOA.118
F31: 1 ...................................................................................................... 59
F32: In 2019, a resolution was passed by the Los Angeles County Board Supervisors supporting clean and safe water within the Sativa Water District and across California.127 The first provision in the resolution is the establishment of a Sativa Water System Special Fund in the electronic Countywide Accounting and Purchasing System to account for the former district’s accounting and budgetary activities as the Successor Agency for the dissolved water district. The Special Fund provides for the operation and maintenance of a reliable and high-quality water distribution system. The Jury looked at the financial records related to the Special Fund and the details are shown in Finding Table 32.1. Since its creation until the end of 2024, the Special Fund has received $29.609 million (highlighted in green), which include the following sources:128, 129 • “Transfers In” from Los Angeles Department of Public Works General Fund - $10.27 million • Proceeds from the sale of water rights - $10.68 million • Water Sales and Other Service Charges - $4.709 million • Interest earnings - $1.06 million • Grants from the State of California - $1.73 million • Other Water Revenues - $398,734 • Federal government - $17,034 Since the creation of the Special Fund in 2019 until 2024, the Los Angeles County Department of Public Works used the Fund for the following:130 127 Source: https://file.lacounty.gov/SDSInter/bos/supdocs/135510.pdf. Accessed: December 16, 2024 128 Based on the documents provided by interviewee from Los Angeles County Department of Public Works (DPW), December 5, 2024 129 Interviewee from DPW, January 29, 2025 130 Based on the documents provided by interviewee from Los Angeles County Department of Public Works (DPW), December 5, 2024 62 • Services and Supplies - $15.279 million • Other charges - $2.557 million (representing payments of County Loan and Bank bond) • “Transfers Out” to Los Angeles Department of Public Works General Fund - $3.0 million Among the items included in the “Services and Supplies” category are various expenses related to: (1) General and Administrative ($3.824 million); (2) Water System Operations ($5.414 million); and (3) Infrastructures and Capital ($6.041 million, which includes, among others, $0.706 million for Repair Pipeline Break, $1.129 million for Well Rehab/Hydropneumatics Tank Reconditioning, and $4.027 million for Manganese Treatment System).131 Hence, the total amount spent so far is about $17.836 million ($20.836 million, amount highlighted in red in Finding Table 32.1, minus the $3 million transferred out to DPW General Fund). This amount does not include the $8.925 million allotted for 2024-25, of which $8.335 million is meant for additional expense for manganese treatment system.132 131 Ibid 132 Ibid 63 .dnuF laicepS avitaS fo stroper laicnanif fo yrammuS .1.23 elbaT gnidniF 52-4202 -buS yrogetaC 42-3202 )lautcA( 32-2202 22-1202 12-0202 02-9102 91-8102 snoitcejorP( eht ot pU( latoT ****** )lautcA( ***** **** )lautcA( *** )lautcA( ** )lautcA( * )lautcA( detpodA morf )4202 fo dne )tegduB secnaniF fo secruoS yrogetaC 00.000,277,8 $ $ 00.000,109,3 $ 00.000,843,2 $ 00.000,751,1 $ 00.000,131,1 $ ta ecnalaB dnuF elbaliavA 00.000,232,41 raey fo gninnigeb eht 00.688,758 $ 00.066,091 $ 00.212,67 $ 00.404,512 $ 00.590,561 $ 00.515,012 $ dnuF detagilbO lecnaC ecnalaB 00.000,351 $ 04.405,419 $ 97.171,865 $ 95.037,772 $ 62.749,71 $ 99.794,21 $ 32.928,73 $ 45.723 $ tseretnI 00.0 $ 00.818,037,1 $ 27.440,032 $ 82.377,005,1 $ tnarG etatS 02.430,71 $ 02.430,71 $ 91-divoC - tnarG laredeF 00.0 $ 95.716,337,4 $ 95.123,261 $ 06.276,605 $ 25.554,612,1 $ 64.738,072,1 $ 25.576,442,1 $ 09.456,233 $ rehtO dna selaS retaW segrahC ecivreS 17.903,486,01 $ 17.903,486,01 $ sthgiR retaW fo elaS 00.000,272,01 $ 00.000,463,2 $ 00.000,773,1 $ 00.000,992,2 $ 00.000,230,3 $ 00.000,002,1 $ )FGWP morf( nI srefsnarT 00.0 $ 21.437,893 $ 40.407,893 $ 00.31 $ 80.61 $ 00.1 $ euneveR retaW rehtO 00.000,529,8 $ mus( M 906.92 $ $ 26.289,930,81 $ 43.036,296,6 $ 54.134,409,4 $ 57.910,656,5 $ 44.289,235,1 $ ylraeY secruoS ecnaniF )evoba eht fo 24.758,155,51 latoT yrogetaC serutidnepxE 00.000,529,8 $ 84.604,972,51 $ 13.749,977,3 $ 70.582,577,1 $ 05.832,626,2 $ 66.605,383,2 $ 10.457,213,4 $ 39.476,104 $ seilppuS dna secivreS 43.578,655,2 $ 30.948,230,2 $ 66.332,561 $ 94.082,271 $ 61.215,681 $ segrahC rehtO 00.525 $ 00.525 $ - stessA latipaC erutcurtsarfnI 00.000,000,3 $ 00.000,000,3 $ )FGWP ot( tuO srefsnarT 00.000,529,8 $ mus( M 638.02 $ 13.749,977,6 $ 01.431,808,3 $ 61.274,197,2 $ 51.213,655,2 $ 71.662,994,4 $ 39.476,104 $ ylraeY serutidnepxE evoba eht fo latoT )pxE 00.0 $ 11.019,177,8 $ 25.848,132,41 $ 81.851,109,3 $ 03.911,843,2 $ 85.357,651,1 $ 15.703,131,1 $ ecnalaB teN ylraeY dnuF 46 :)5202 ,13 yraunaJ :desseccA – woleb detic secruos lla( 1.23 elbaT gnidniF ot setontooF )/tegdub-0202-9102/vog.ytnuocal.oec//:sptth( tegduB detpodA ytnuoC selegnA soL 02-9102 fo 623 egap :ecruoS - * )/tegdub-1202-0202/vog.ytnuocal.oec//:sptth( tegduB detpodA ytnuoC selegnA soL 12-0202 fo 923 egap :ecruoS - ** )/tegdub-2202-1202/vog.ytnuocal.oec//:sptth( tegduB detpodA ytnuoC selegnA soL 22-1202 fo 533 egap :ecruoS - *** )/tegdub-3202-2202/vog.ytnuocal.oec//:sptth( tegduB detpodA ytnuoC selegnA soL 32-2202 fo 633 egap :ecruoS - **** )/tegdub-4202-3202/vog.ytnuocal.oec//:sptth( tegduB detpodA ytnuoC selegnA soL 42-3202 fo 243 egap :ecruoS - ***** -AL/21/4202/sdaolpu/tnetnoc-pw/vog.ytnuocal.oec//:sptth( tegduB detpodA laniF ytnuoC selegnA soL 52-4202 fo 143 egap :ecruoS - ****** )fdp.kooB-tegduB-laniF-52-4202-ytnuoC 56
F33: Between 1978 and 2006, Department of Water and Power (DWP; PWSID: CA1910067) cleaned and cement-lined approximately 2,600 miles of pipes in the City of Los Angeles.133 In addition, starting in 1998, DWP replaced low-lead water meters with lead-free water meters.134 These measures were taken to control corrosion and minimize lead exposures. In addition, DWP regularly took water samples for analysis of lead contamination, from different sites along the water distribution pipeline within the City of Los Angeles (see Finding Figure 33.1). To determine if lead is present in these pipelines, the Jury examined water analysis data provided by DWP to the Jury. Results of the analysis in 2024 are shown in Finding Table 33.1. The approximate location of the sampling sites are overlaid in Finding Figure 33.1. Overall, there was no detectable lead in the water samples taken from the distribution pipelines within Los Angeles city in 2024. Similar analyses performed in 2020 to 2023 had indicated no detectable levels of lead as well (data no shown). Finding Table 33.1. Results of Lead analysis from different sampling points in Los Angeles City water pipeline conducted by Los Angeles Department of Water and Power in 2024. Note: ND in the Result column means Not Detectable. Code in Finding Location Code Sampling Date Analyte Result Figure 33.1 BROOKMOT 2/19/2024 Lead ND A BROOKMOT 5/20/2024 Lead ND BROOKMOT 8/19/2024 Lead ND ROCKGLEN 2/19/2024 Lead ND B ROCKGLEN 5/24/2024 Lead ND ROCKGLEN 8/23/2024 Lead ND 055ST 1/15/2024 Lead ND C 055ST 4/17/2024 Lead ND ALMAR 2/20/2024 Lead ND D ALMAR 5/22/2024 Lead ND ALMAR 8/21/2024 Lead ND E ALMETZ 3/22/2024 Lead ND BEVGLEN 1/21/2024 Lead ND F BEVGLEN 4/21/2024 Lead ND DS074 2/25/2024 Lead ND 133 Source: of the 2023 Drinking Water Quality Report available at https://www.ladwp.com/who-we-are/water-system/las-drinking-water-quality-report. Accessed: December 16, 2024) 134 Ibid 66 Code in Finding Location Code Sampling Date Analyte Result Figure 33.1 G DS074 5/24/2024 Lead ND DS074 8/25/2024 Lead ND H DS049 3/23/2024 Lead ND I CUMBRE 3/18/2024 Lead ND DENNI 1/18/2024 Lead ND J DENNI 4/15/2024 Lead ND K FRAMPTON 3/23/2024 Lead ND BYPIN 1/15/2024 Lead ND L BYPIN 4/15/2024 Lead ND M HERSHEY 3/21/2024 Lead ND HOBART 1/18/2024 Lead ND N HOBART 4/18/2024 Lead ND KIRKCOLM 2/22/2024 Lead ND O KIRKCOLM 5/21/2024 Lead ND KIRKCOLM 8/21/2024 Lead ND VENICE 1/17/2024 Lead ND P VENICE 4/19/2024 Lead ND Q DS131 3/23/2024 Lead ND PDLMR985 2/21/2024 Lead ND PDLMR985 5/20/2024 Lead ND R PDLMR985 8/22/2024 Lead ND PAXTON 2/19/2024 Lead 0.62 PAXTON 5/25/2024 Lead ND S PAXTON 8/20/2024 Lead ND DS077 2/25/2024 Lead ND T DS077 5/24/2024 Lead ND DS077 8/25/2024 Lead ND RSCBCL 1/15/2024 Lead ND U RSCBCL 4/15/2024 Lead ND V SANRAFL 3/18/2024 Lead ND DS066 1/18/2024 Lead ND W DS066 4/17/2024 Lead ND X HARPER 3/24/2024 Lead ND Y DS111 3/22/2024 Lead ND DS048 1/15/2024 Lead ND Z DS048 4/17/2024 Lead 0.51 DS078 2/19/2024 Lead ND DS078 5/20/2024 Lead ND Z2 DS078 8/19/2024 Lead ND ZEPHYR 2/21/2024 Lead ND ZEPHYR 5/20/2024 Lead ND Z3 ZEPHYR 8/19/2024 Lead ND 67 Finding Figure 33.1. Map of the City of Los Angeles showing the overlay of the sampling sites within the water distribution system of DWP. Illustration map was provided by the Los Angeles Department of Water and Power (DWP). Overlaying of the location letter codes was done by the Jury using the Canva software available online (https://www.canva.com/). 68
F34: In 2023, DWP implemented a lead and copper survey in the City of Los Angeles as part of its compliance with the Federal Lead and Copper Rule.135,136 DWP looked for volunteer customers who were residing in single family homes that were built between 1982 and 1987. Tap water from these homes was collected and analyzed for lead and copper. The result for lead is summarized in Finding Figure 34.1.137 The survey revealed that three out of 105 (90%) had lead content exceeding the actionable level (AL) of 15 ppb set by EPA. One sample contained lead at 5X the AL. According to DWP, these customers were advised by DWP to take the proper action to remediate lead contamination in their plumbing system.138 80 70 60 50 40 30 20 10 0 Finding Figure 34.1. Lead contamination in some households surveyed and analyzed by Department of Water and Power. Note: The actual locations indicated in the sampling locations are not included in the graph for privacy reason. The Actionable Level (AL) is represented by the bar on the right. Source: https://www.epa.gov/ground-water-and-drinking-water/revised-lead-and-copper-rule. Accessed: December 16, 2024 136 See: Footnote “e” in Table 1 (Cont’d), of the 2023 Drinking Water Quality Report available at https://www.ladwp.com/who-we-are/water-system/las-drinking-water-quality-report. Accessed: December 16, 2024 137 Based on data downloaded from CSWBRB; also consistent with the data provided to the Jury by the LA Department of Water and Power, September 20, 2024 138 Interviewee from Los Angeles Department of Water and Power, November 6, 2024 69 )L/gu( tnuomA Lead Analysis of Tap Water in Some Old Houses in Los Angeles City, 2023 Residential Sample Location
F35: The Better Watts Initiative produced a report resulting from a study by Hoague et al. (2024)139 showing that tap waters are contaminated with lead in some of the residential houses in the Watts neighborhood. The results were provided to the Jury140 and these are shown in Finding Table 35.1. The source locations of tap waters samples are approximately mapped out in Finding Figure 35.1. Finding Table 35.1. Number of samples with lead contamination taken from residential homes in the Watts area of Los Angeles. (See also corresponding map in Finding Figure 34.1). Neighborhood Block Highlighted Number of Lead Under Lead Above Area in Samples * 15 ppb 15 ppb Figure 34.1 Between E 97th St (s) & E 92nd St (n) A 22 0 0 S Alameda St (e) and Grape St (w) Jordan Downs: E 97th St (n) and E B 30 2 0 103rd St (s) S Alameda St (e) and Grape St (w) E 92nd St (n) and E 103rd St (s) C 98 3 1 Grape St (e) and Graham Ave (w) Nickerson Gardens: E 111th St (n) and D 122 3 2 Imperial Hwy (s) S Central Ave (w) and Compton Ave (e) E 103rd St (n) and E 108th St (s) E 76 4 0 Graham Ave (w) and Croesus Ave (e) Imperial Courts: Santa Ana Blvd (n) and F 42 1 0 E 117th St (s) Croesus Ave(w) and Mona Blvd (e) E 92nd St (n) and E 102nd St (s), G 78 2 0 Success Ave (w) and Grandee Ave (e) E 108th St (n) and E 111th St (s) H 41 1 2 Avalon Blvd (w) and McKinley Ave (e) * - Total number of samples analyzed with known addresses = 530 139 Hoague et al., 2024 (Unpublished). Dark Waters Project: The Assessment of the Presence of Heavy Metal Contaminants in the Tap Water of Watts Residences, and Public Perceptions of Water Infrastructure in Los Angeles. Interviewee from Better Watts Initiative, August 23, 2024 70 In the news article published by the Guardian and the Los Angeles Times regarding the above study, it was reported that the Watts area residents were “… blaming a nearby metal recycling plant, Atlas Iron and Metal, that regularly sends shards of metals zooming over its fence ...” 141, 142 The recycling plant facility is located adjacent to Jordan High School and Jordan Downs Housing Development (see map in Figure 35.1). A G C B E H D F Finding Figure 35.1. Approximate map locations of residential areas as sampling sites mentioned in Table 34.1 and their proximity to potential source of lead contamination (highlighted in red circle). Note: The indicated locations in the map are not exact and for illustration purposes only. Source of map: Google Maps. As of the writing of this report, the Los Angeles District Attorney is prosecuting the company (S&W Atlas Iron and Metal Corp.) and its two owners.143,144 “The indictment includes charges with 21 felony counts of knowingly disposing of hazardous waste with no permit and one felony count of deposit of hazardous waste.” The wastes contain hazardous substances like lead, zinc, chromium, nickel, selenium, antimony, copper, and/or cadmium.145 The Los Angeles District Attorney’s press release on September 26, 2024 says that soil samples taken from an area of Jordan High School showed excessive concentrations of lead 141 Source: https://www.theguardian.com/us-news/article/2024/aug/21/los-angeles-watts-tap- water-lead-contamination. Accessed: December 16, 2024 142 Source: https://www.latimes.com/environment/story/2024-08-29/mayor-bass-calls-for- investigation-of-lead-in-watts-drinking-water. Accessed December 16, 2024 143 Source: https://lacounty.gov/2024/09/26/district-attorney-gascon-announces-new-25-count- grand-jury-indictment-against-atlas-metal-owners/. Accessed: December 16, 2024 144 Source: https://www.latimes.com/california/story/2024-09-26/metal-recycling-plant-accused-of- exposing-watts-high-school-students-to-explosions-toxic-waste. Accessed: December 16, 2024 145 Source: Case No. 24CJCF05804, September 18, 2024 71 and zinc. Additional samples taken at the recycling plant contained excessive concentrations of some the aforementioned metals.
F36: In September 2024, the Los Angeles City of Department of Water and Power (DWP), in collaboration with the Housing Authority of the City of Los Angeles (HACLA), has initiated an extended analysis of tap water samples from HACLA- owned four housing developments (i.e., Jordan Downs, Imperial Courts, Nickerson Gardens, and Gonzague Village) and non-HACLA residential units located in the Watts neighborhood.146 Finding Table 36.1. Analysis of tap water samples taken from four HACLA-owned and non- HACLA residential units located in Los Angeles Watts neighborhood. HACLA Housing Units Non-HACLA Units Total No. of Samples 1,952 117 Analyzed No. of samples with no 1,133 (58.13%) 100 (85.47%) detectable lead No. of samples with lead content below State 786 (40.33%) 16 (13.68%) Reporting Limit (0.5 to 5 ppb) No. of samples with lead content above State 19 (0.97%) 1 (0.85%) Reporting Limit but under Federal Action level (5 to 15 ppb) No. of samples with lead 11 (0.56%) 0 (0.00%) content above the Federal Action Level (> 15 ppb) As of January 18, 2025, DWP has analyzed a total of 2,069 samples -- 1,952 samples from about 1,600 units of HACLA housing complexes and 117 samples from about 58 non-HACLA units. The results are summarized in Finding Table 36.1.147 About 11 samples collected from HACLA housing units have levels of lead detected above the Action Level (15 ppb). As of the end of January 2025, 146 Interviewees from HACLA (October 21, 2024) and DWP (October 31, 2024) 147 Data provided to the Jury by Interviewee from DWP, January 21, 2025 72 the project is still ongoing as DWP recruits more volunteers from non-HACLA units.148
F37: Most of the action items outlined by SCO and DWP (see Discussion section of this Report) concerning water quality issues, including possible financing mechanisms for small-scale water systems, have not been implemented.149 148 Interviewee from DWP, January 24, 2025 149 Interviewees from Los Angeles County Chief Sustainability Office (January 27, 2025) and Department of Public Works (January 29, 2025) 73
Recomendaciones adicionales 15

No vinculadas a hallazgos específicos.

R1: The Board of Supervisors should rejuvenate the Health Agency originally approved by the BOS in 2015, empowering it to make binding decisions regarding collaboration and integration projects involving health-related County Departments, including the Departments of Health Services, Public Health, Mental Health and Aging and Disabilities, especially including CalAIM participation and the operation of the Restorative Care Villages. (In implementing this Recommendation, the BOS should read Dr. Katz’s memorandum, attached as Exhibit A.)
R2: 1 The City and/or County should require, and plan for, healthcare facilities as necessary to any development proposals for new communities and housing developments, in order to provide for the projected increase in population and medical needs.
R3: 1 The City and the County should plant more trees.
R4: 1 ....................................................................................... 74
R5: 1 X BREATHE that the BOS chooses for their own policy reasons should be part of any success metrics by which to analyze such programs, if any. BOS should disclose the amount of money paid by quarter to date: (a) to the University of Pennsylvania to run and administer the R 5.2 BREATHE programs; (b) the amounts paid X to the treatment group (those paid, as opposed to the control group); and (c) administrative costs incurred by the County. toliP s'ytnuoC selegnA soL & emocnI cisaB deetnarauG fo sisylanA nA - EHTAERB OT MOOR sevitaitinI srosivrepuS fo draoB .oC selegnA soL eciffO evitucexE feihC .oC selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses In the interest of local health and the City's and reputation as a worldwide tourist destination, the Creek's soft bottom segment must be abated to prevent it from R 6.1 becoming a breeding ground for the primary X vectors for transmission of West Nile or Dengue Fever. BOS coordinated clean up, and vector control against predicted dengue fever. City of Compton explore alternative money management such as a trustee appointment R 6.2 for general fund disbursement and city service moneys or more seriously, file for Federal bankruptcy protection. X In the interest of local health and the City's and reputation as a worldwide tourist destination, the Creek's soft bottom segment must be abated to prevent it from R 6.1 becoming a breeding ground for the primary X vectors for transmission of West Nile or Dengue Fever. BOS coordinate clean up, and vector control against predicted dengue fever. City of Compton explore alternative money management such as a trustee appointment R 6.2 for general fund disbursement and city services moneys or more seriously, file for Federal bankruptcy protection. X Regarding the City of Compton, prioritize the cleanup of the water and sewer infrastructure and especially prioritize R 6.3 Compton Creek. Explore the possibility to assigning a Trustee to fulfil the project objectives of bringing the creek up to excellent standards. X )TON( wolF ti teL ,wolF tI teL ,wolF tI teL - REVIR SELEGNA SOL htlaeH cilbuP fo .tpeD .oC selegnA soL skroW cilbuP fo .tpeD .oC selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses eht laeH yaB City of Compton should explore how Heal the Bay (and any other interested R 6.4 X environmental/other civic-oriented group) can restart volunteer cleanup activities. In the interest of local health and the City's and reputation as a worldwide tourist destination, the Creek's soft bottom segment must be abated to prevent it from R 6.1 becoming a breeding ground for the primary vectors for transmission of West Nile or Dengue Fever. BOS coordinate clean up, and vector control against predicted dengue fever. X City of Compton explore alternative money management such as a trustee appointment R 6.2 for general fund disbursement and city service moneys or more seriously, file for Federal bankruptcy protection. X City of Compton should explore how Heal the Bay (and any other interested R 6.4 X environmental/other civic-oriented group) can restart volunteer cleanup activities. Leadership in the City of Compton should explore appointing a non-biased Trustee to R 6.5 navigate issues with funding and frastructure. X hcaeB gnoL fo ytiC In the interest of local health and the City's and reputation as a worldwide tourist destination, the Creek's soft bottom segment must be abated to prevent it from R 6.1 becoming a breeding ground for the primary X X vectors for transmission of West Nile or Dengue Fever. BOS coordinate clean up, and vector control against predicted dengue fever. )TON( wolF ti teL ,wolF tI teL ,wolF tI teL - REVIR SELEGNA SOL notpmoC fo ytiC eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses In the interest of local health and the City's and reputation as a worldwide tourist destination, the Creek's soft bottom segment must be abated to prevent it from R 6.1 becoming a breeding ground for the primary X vectors for transmission of West Nile or Dengue Fever. BOS coordinate clean up, and vector control against predicted dengue fever. City of Compton explore alternative money management such as a trustee appointment R 6.2 for general fund disbursement and city X service moneys or more seriously, file for Federal bankruptcy protection. Regarding the City of Compton, prioritize the cleanup of the water and sewer infrastructure and especially prioritize R 6.3 Compton Creek. Explore the possibility to X assigning a Trustee to fulfil the project objectives of bringing the creek up to excellent standards. City of Compton should explore how Heal the Bay (and any other interested R 6.4 X environmental/other civic-oriented group) can restart volunteer cleanup activities. In the interest of local health and the City's and reputation as a worldwide tourist destination, the Creek's soft bottom segment must be abated to prevent it from R 6.1 becoming a breeding ground for the primary X vectors for transmission of West Nile or Dengue Fever. BOS coordinate clean up, and vector control against predicted dengue fever. City of Compton should explore how Heal the Bay (and any other interested R 6.4 X environmental/other civic-oriented group) can restart volunteer cleanup activities. )TON( wolF ti teL ,wolF tI teL ,wolF tI teL - REVIR SELEGNA SOL srosivrepuS fo draoB .oC selegnA soL evitucexE feihC fo eciffO .oC selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses The BOS and Chief Executive Officer should create capital outlay plans for replacing or relocating the entire DME complex R 7.3 X containing the Medical Examiner's current facility to a larger facility with state-of-the-art equipment and disruptive toxicological labs. Regardless of how or why the existing facilities are deteriorating, the concern of seismic retrofit safety has to be addressed R 7.5 X promptly, both on a global and granular level for the good of the employees and the general public. The DME is housed (since 1972) in an antiquated building complex constructed in R 7.10 the 1920's that doesn't meet today's minimal X X earthquake safety standards. Must relocate to a larger facility. DENIMAXE TEG SRENIMAXE EHT srosivrepuS fo draoB .oC selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses The BOS and Chief Executive Officer should create capital outlay plans for replacing or relocating the entire DME complex R 7.3 X containing the Medical Examiner's current facility to a larger facility with state-of-the-art equipment and disruptive toxicological labs. Regardless of how or why the existing facilities are deteriorating, the concern of seismic retrofit safety has to be addressed R 7.5 X promptly, both on a global and granular level for the good of the employees and the general public. The DME is housed (since 1972) in an antiquated building complex constructed in R 7.10 the 1920's that doesn't meet today's minimal X X earthquake safety standards. Must relocate to a larger facility. DENIMAXE TEG SRENIMAXE EHT reciffO evitucexE feihC .oC selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses DME should eliminate the critical issues which are preventing achievement of full accreditation by the National Board of Medical Examiners, including: i) 90% of the R 7.1 autopay reports completed in ninety days or X less. ii) 90% of the autopsies and exams performed within seventy-two hours. iii) DME needs to promptly submit the latest DME's Annual Report for 2023. Continue to develop additional facilities for Medical Examiner investigators in north, R 7.4 valley, and south portions of the County to X improve efficiency, prompt response, and to demonstrate coverage of the DME fieldwork. Regardless of how or why the existing facilities are deteriorating, the concern of seismic retrofit safety has to be addressed R 7.5 X promptly, both on a global and granular level for the good of the employees and the general public. DENIMAXE TEG SRENIMAXE EHT srenimaxE lacideM fo .tpeD .oC selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses When the ME relocates to new quarters, the building should be designed with the purpose of housing the activities of the R 7.9 X X ODA, with consideration being given to moving those functions from the hospital into the Department of the DME. The DME is housed (since 1972) in an antiquated building complex constructed in R 7.10 the 1920's that doesn't meet today's minimal X earthquake safety standards. Must relocate to a larger facility. DME should ensure adequate qualified staffing in the Medical Examiners' three satellite offices to relieve the workload off of R 7.11 X HQ. This may facilitate support of the need a major disaster or a catastrophic earthquake bring. ODA & DME jointly consult with the publisher of the VertiQ case management software to see if the two agencies could share various common forms and the R 7.12 X practical simplicity of output. In addition, the publisher would "detect" the "path" of processing decedents to see similarities in tracking. DENIMAXE TEG SRENIMAXE EHT srenimaxE lacideM fo .tpeD .oC selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses DHS should provide additional staffing for ODA attendants, aids, and crematory operators, and transport vans [preferably R 7.2 electric]; Hire more transport drivers so that X three drivers are on duty twenty-four seven to account for the fact that a death occurs at any time. The fee the Public Administrator charges for claiming the cremated remains of a decedent should be reviewed, with the intent R 7.7 X X to increase them for the services & convenience rendered to make them more representative of actual costs. The ODA should explore the possibility of R 7.8 using the same VertiQ case management X system that is already in use by the DME. When the ME relocates to new quarters, the building should be designed with the purpose of housing the activities of the R 7.9 X ODA, with consideration being given to moving those functions from the hospital into the Department of the DME. ODA & DME jointly consult with the publisher of the VertiQ case management software to see if the two agencies could share various common forms and the R 7.12 X practical simplicity of output. In addition, the publisher would "detect" the "path" of processing decedents to see similarities in tracking. DENIMAXE TEG SRENIMAXE EHT sriaffA tnadnecseD .tpeD .oC selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses DHS should provide additional staffing for ODA attendants, aids, and crematory operators, and transport vans [preferably R 7.2 electric]; Hire more transport drivers so that X three drivers are on duty twenty-four seven to account for the fact that a death occurs at any time. DHS should ensure that future ceremonies for unclaimed dead are widely publicized R 7.6 prior to the event and ensure as many X private citizens are allowed to attend as possible. DENIMAXE TEG SRENIMAXE EHT htlaeH fo .tpeD .oC selegnA soL secivreS eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses The City and County of Los Angeles should R 8.1 review and consider raising Quimby fees to X purchase more park land. LAC & LA City Park Dept. should consider issuing bonds and measures for park acquisitions and development like the Land and Water Conservation Funds, which was established in 1964 at no cost to the R 8.2 X taxpayer, the Outdoors Equity Program, Los Angeles County Measure A, and the California Parks, Environment, Energy, and Water Bond Measure, so help areas that are park-poor. The City of Los Angeles should consider R 8.3 using the funds available from Quimby and X other fees to purchase park space. LAC and LA development should not be approved in areas that are park poor until R 8.4 X enough land is acquired in those areas before more development is approved. LAC and LA City should complete a study and target areas that are park-poor to R 8.5 X evaluate the reason why these areas are park poor and develop remedies. LAC and LA City should consider issuing bonds in addition to charging developers R 8.6 X Quimby fees to purchase land for park development. LAC and LA City should realign land use R 8.7 X zoning to increase available land for parks. LAC and LA City should consider exploring R 8.8 options to make more timely use of available X Quimby funds. tnempoleveD dna seeF kraP gniknihteR - SEEF KRAP YBMIUQ srosivrepuS fo draoB .oC selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses The City and County of Los Angeles should R 8.1 review and consider raising Quimby fees to X purchase more park land. LAC & LA City Park Dept. should consider issuing bonds and measures for park acquisitions and development like the Land and Water Conservation Funds, which was established in 1964 at no cost to the R 8.2 X taxpayer, the Outdoors Equity Program, Los Angeles County Measure A, and the California Parks, Environment, Energy, and Water Bond Measure, so help areas that are park-poor. The City of Los Angeles should consider R 8.3 using the funds available from Quimby and X other fees to purchase park space. LAC and LA development should not be approved in areas that are park poor until R 8.4 X enough land is acquired in those areas before more development is approved. LAC and LA City should complete a study and target areas that are park-poor to R 8.5 X evaluate the reason why these areas are park poor and develop remedies. LAC and LA City should consider issuing bonds in addition to charging developers R 8.6 X Quimby fees to purchase land for park development. LAC and LA City should realign land use R 8.7 X zoning to increase available land for parks. LAC and LA City should consider options to R 8.8 X make more timely use of Quimby funds tnempoleveD dna seeF kraP gniknihteR - SEEF KRAP YBMIUQ evitucexE feihC fo eciffO .oC selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses The City and County of Los Angeles should R 8.1 review and consider raising Quimby fees to purchase more park land. X LAC & LA City Park Dept. should consider issuing bonds and measures for park acquisitions and development like the Land and Water Conservation Funds, which was established in 1964 at no cost to the R 8.2 X taxpayer, the Outdoors Equity Program, Los Angeles County Measure A, and the California Parks, Environment, Energy, and Water Bond Measure, so help areas that are park-poor. The City of Los Angeles should consider R 8.3 using the funds available from Quimby and X other fees to purchase park space. LAC and LA development should not be approved in areas that are park poor until R 8.4 enough land is acquired in those areas before more development is approved. X LAC and LA City should complete a study and target areas that are park-poor to R 8.5 X evaluate the reason why these areas are park poor and develop remedies. LAC and LA City should consider issuing bonds in addition to charging developers R 8.6 X Quimby fees to purchase land for park development. LAC and LA City should realign land use R 8.7 zoning to increase available land for parks. X LAC and LA City should consider exploring R 8.8 options to make more timely use of available X Quimby funds. tnempoleveD dna seeF kraP gniknihteR - SEEF KRAP YBMIUQ royaM - selegnA soL fo ytiC eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses The City and County of Los Angeles should R 8.1 review and consider raising Quimby fees to purchase more park land. X LAC & LA City Park Dept. should consider issuing bonds and measures for park acquisitions and development like the Land and Water Conservation Funds, which was established in 1964 at no cost to the R 8.2 X taxpayer, the Outdoors Equity Program, Los Angeles County Measure A, and the California Parks, Environment, Energy, and Water Bond Measure, so help areas that are park-poor. The City of Los Angeles should consider R 8.3 using the funds available from Quimby and X other fees to purchase park space. LAC and LA development should not be approved in areas that are park poor until R 8.4 X enough land is acquired in those areas before more development is approved. LAC and LA City should complete a study and target areas that are park-poor to R 8.5 X evaluate the reason why these areas are park poor and develop remedies. LAC and LA City should consider issuing bonds in addition to charging developers R 8.6 X Quimby fees to purchase land for park development. LAC and LA City should realign land use R 8.7 X zoning to increase available land for parks. LAC and LA City should consider exploring R 8.8 options to make more timely use of available X Quimby funds. tnempoleveD dna seeF kraP gniknihteR - SEEF KRAP YBMIUQ licnuoC ytiC selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses The City and County of Los Angeles should R 8.1 review and consider raising Quimby fees to X purchase more park land. LAC & LA City Park Dept. should consider issuing bonds and measures for park acquisitions and development like the Land and Water Conservation Funds, which was established in 1964 at no cost to the R 8.2 X taxpayer, the Outdoors Equity Program, Los Angeles County Measure A, and the California Parks, Environment, Energy, and Water Bond Measure, so help areas that are park-poor. The City of Los Angeles should consider R 8.3 using the funds available from Quimby and X other fees to purchase park space. LAC and LA development should not be approved in areas that are park poor until R 8.4 X enough land is acquired in those areas before more development is approved. LAC and LA City should complete a study and target areas that are park-poor to R 8.5 X evaluate the reason why these areas are park poor and develop remedies. LAC and LA City should consider issuing bonds in addition to charging developers R 8.6 X Quimby fees to purchase land for park development. LAC and LA City should realign land use R 8.7 X zoning to increase available land for parks. X LAC and LA City should consider exploring R 8.8 options to make more timely use of available X Quimby funds. tnempoleveD dna seeF kraP gniknihteR - SEEF KRAP YBMIUQ noitaerceR dna skraP fo .tpeD - .oC selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses The City and County of Los Angeles should R 8.1 review and consider raising Quimby fees to X purchase more park land. LAC & LA City Park Dept. should consider issuing bonds and measures for park acquisitions and development like the Land and Water Conservation Funds, which was established in 1964 at no cost to the R 8.2 taxpayer, the Outdoors Equity Program, Los Angeles County Measure A, and the California Parks, Environment, Energy, and Water Bond Measure, so help areas that are park-poor. X The City of Los Angeles should consider R 8.3 using the funds available from Quimby and X other fees to purchase park space. LAC and LA development should not be approved in areas that are park poor until R 8.4 X enough land is acquired in those areas before more development is approved. LAC and LA City should complete a study and target areas that are park-poor to R 8.5 X evaluate the reason why these areas are park poor and develop remedies. LAC and LA City should consider issuing bonds in addition to charging developers R 8.6 Quimby fees to purchase land for park development. X LAC and LA City should realign land use R 8.7 zoning to increase available land for parks. X LAC and LA City should consider exploring R 8.8 options to make more timely use of available X Quimby funds. tnempoleveD dna seeF kraP gniknihteR - SEEF KRAP YBMIUQ skraP dna noitaerceR fo .tpeD - ytiC selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses The City and County of Los Angeles should R 8.1 review and consider raising Quimby fees to X purchase more park land. LAC & LA City Park Dept. should consider issuing bonds and measures for park acquisitions and development like the Land and Water Conservation Funds, which was established in 1964 at no cost to the R 8.2 X taxpayer, the Outdoors Equity Program, Los Angeles County Measure A, and the California Parks, Environment, Energy, and Water Bond Measure, so help areas that are park-poor. The City of Los Angeles should consider R 8.3 using the funds available from Quimby and X other fees to purchase park space. LAC and LA development should not be approved in areas that are park poor until R 8.4 X enough land is acquired in those areas before more development is approved. LAC and LA City should complete a study and target areas that are park-poor to R 8.5 X evaluate the reason why these areas are park poor and develop remedies. LAC and LA City should consider issuing bonds in addition to charging developers R 8.6 X Quimby fees to purchase land for park development. LAC and LA City should realign land use R 8.7 X zoning to increase available land for parks. LAC and LA City should consider exploring R 8.8 options to make more timely use of available X Quimby funds. tnempoleveD dna seeF kraP gniknihteR - SEEF KRAP YBMIUQ gninnalP lanoigeR .oC selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses The DPH should evaluate the current system for capturing visits to the WBC's R 10.1 (REDcap) to see if the system is appropriate X and can be improved, or if it needs to be replaced. Relevant Data Analysis metrics need to be R 10.2 X developed by the Program Director. Measures of success or outcomes need to be developed in cooperation with stakeholders, especially with administration R 10.3 X of the high schools with WBC's. These measures must be collected and reported from the beginning of the program. The Program Director should develop standards describing accountability for the R 10.4 X practices in use for the WBC's in high schools. The Program, Director should make a R 10.5 survey of programs used to evaluate the X effectiveness of the Wellbeing Centers. The Department. of Public Health needs to develop a process to consistently distribute R 10.6 Wellbeing Center Reports, and ensure X information is shared across all schools that host a Wellbeing Center. Other Healthcare providers should be R 10.7 considered to provide student related X services for any future Wellbeing Centers sloohcS ytnuoC selegnA soL nI - SRETNEC GNIEBLLEW srosivrepuS fo draoB .oC selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses The DPH should evaluate the current system for capturing visits to the WBC's R 10.1 (REDcap) to see if the system is appropriate X and can be improved, or if it needs to be replaced. Relevant Data Analysis metrics need to be R 10.2 X developed by the Program Director. Measures of success or outcomes need to be developed in cooperation with stakeholders, especially with administration R 10.3 X of the high schools with WBC's. These measures must be collected and reported from the beginning of the program. The Program Director should develop standards describing accountability for the R 10.4 X practices in use for the WBC's in high schools. The Program, Director should make a R 10.5 survey of programs used to evaluate the X effectiveness of the Wellbeing Centers. The Department. of Public Health needs to develop a process to consistently distribute R 10.6 Wellbeing Center Reports, and ensure X information is shared across all schools that host a Wellbeing Center. Other Healthcare providers should be R 10.7 considered to provide student related X services for any future Wellbeing Centers sloohcS ytnuoC selegnA soL nI - SRETNEC GNIEBLLEW evitucexE feihC eht fo eciffO .oC selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses The DPH should evaluate the current system for capturing visits to the WBC's R 10.1 (REDcap) to see if the system is appropriate X and can be improved, or if it needs to be replaced. Relevant Data Analysis metrics need to be R 10.2 X developed by the Program Director. Measures of success or outcomes need to be developed in cooperation with stakeholders, especially with administration R 10.3 X of the high schools with WBC's. These measures must be collected and reported from the beginning of the program. The Program Director should develop standards describing accountability for the R 10.4 X practices in use for the WBC's in high schools. The Program, Director should make a R 10.5 survey of programs used to evaluate the X effectiveness of the Wellbeing Centers. The Department. of Public Health needs to develop a process to consistently distribute R 10.6 Wellbeing Center Reports, and ensure X information is shared across all schools that host a Wellbeing Center. Other Healthcare providers should be R 10.7 considered to provide student related X services for any future Wellbeing Centers sloohcS ytnuoC selegnA soL nI - SRETNEC GNIEBLLEW htlaeH cilbuP fo .tpeD .oC selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses Measures of success or outcomes need to be developed in cooperation with stakeholders, especially with administration R 10.3 X of the high schools with WBC's. These measures must be collected and reported from the beginning of the program. The Program Director should develop standards describing accountability for the R 10.4 X practices in use for the WBC's in high schools. The Department. of Public Health needs to develop a process to consistently distribute R 10.6 Wellbeing Center Reports, and ensure X information is shared across all schools that host a Wellbeing Center. Measures of success or outcomes need to be developed in cooperation with stakeholders, especially with administration R 10.3 X of the high schools with WBC's. These measures must be collected and reported from the beginning of the program. The Program Director should develop standards describing accountability for the R 10.4 X practices in use for the WBC's in high schools. The Department. of Public Health needs to develop a process to consistently distribute R 10.6 Wellbeing Center Reports, and ensure X information is shared across all schools that host a Wellbeing Center. sloohcS ytnuoC selegnA soL nI - SRETNEC GNIEBLLEW noitacudE fo eciffO .oC selegnA soL tcirtsiD loohcS deifinU selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses Measures of success or outcomes need to be developed in cooperation with stakeholders, especially with administration R 10.3 X of the high schools with WBC's. These measures must be collected and reported from the beginning of the program. The Program Director should develop standards describing accountability for the R 10.4 X practices in use for the WBC's in high schools. The Department. of Public Health needs to develop a process to consistently distribute R 10.6 Wellbeing Center Reports, and ensure X information is shared across all schools that host a Wellbeing Center. Measures of success or outcomes need to be developed in cooperation with stakeholders, especially with administration R 10.3 X of the high schools with WBC's. These treasures must be collected and reported from the beginning of the program. The Program Director should develop standards describing accountability for the R 10.4 X practices in use for the WBC's in high schools. The Department. of Public Health needs to develop a process to consistently distribute R 10.6 Wellbeing Center Reports, and ensure X information is shared across all schools that host a Wellbeing Center. sloohcS ytnuoC selegnA soL nI - SRETNEC GNIEBLLEW tcirtsiD loohcS deifinU ollebetnoM tcirtsiD loohcS deifinU doownnyL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses fo draoB .oC selegnA soL srosivrepuS Both LAPD and LASD should implement findings of the Study of traffic stops which was published in the Proceedings of the R 11.3 National Academy of Science in May 2023. X "The First 45 Words" specifies what law enforcement should say when they initially make a traffic stop of a driver in LA County. fo eciffO .oC selegnA soL evitucexE feihC eht Both LAPD and LASD should implement findings of the Study of traffic stops which was published in the Proceedings of the R 11.3 National Academy of Science in May 2023. X "The First 45 Words" specifies what law enforcement should say when they initially make a traffic stop of a driver in LA County. gnitaeB a toN ,taeB a ekaT - NOITALACSE-ED eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses LASD has tested a new App relating to traffic stops for drivers. This App is called "SafeStop". A recommendation is made for LASD and LAPD to advertise on their websites this App to enable drivers in LA R 11.1 County to add it to their cell phones. The App will assist drivers to have a dialogue with the officers or deputies who initiated the stop, thus alleviate potential adverse situations. X LASD and LAPD should provide pamphlets similar to the ones that Antelope Valley Sheriff's Department offers their citizens which gives guidance on what to do when you are involved in a traffic stop with a R 11.2 deputy sheriff. This pamphlet can be made available at all LASD and LAPD station. These pamphlets should also be placed at other traffic related locations such as car rental agencies, Automobile Association of America offices and Insurance Agencies. X gnitaeB a toN ,taeB a ekaT - NOITALACSE-ED .tpeD eciloP selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses Both LAPD and LASD should implement findings of the Study of traffic stops which was published in the Proceedings of the R 11.3 National Academy of Science in May 2023. X "The First 45 Words" specifies what law enforcement should say when they initially make a traffic stop of a driver in LA County. Direct LASD and LAPD to monitor and explore all new Artificial Intelligence (AI) R 11.4 currently being created to provide improved X training, augment their current policies and reporting. gnitaeB a toN ,taeB a ekaT - NOITALACSE-ED .tpeD eciloP selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses LASD has tested a new App relating to traffic stops for drivers. This App is called "SafeStop". A recommendation is made for LASD and LAPD to advertise on their websites this App to enable drivers in LA R 11.1 X County to add it to their cell phones. The App will assist drivers to have a dialogue with the officers or deputies who initiated the stop, thus alleviate potential adverse situations. LASD and LAPD should provide pamphlets similar to the ones that Antelope Valley Sheriff's Department offers their citizens which gives guidance on what to do when you are involved in a traffic stop with a R 11.2 deputy sheriff. This pamphlet can be made X available at all LASD and LAPD station. These pamphlets should also be placed at other traffic related locations such as car rental agencies, Automobile Association of America offices and Insurance Agencies. gnitaeB a toN ,taeB a ekaT - NOITALACSE-ED .tpeD s'ffirehS selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses Both LAPD and LASD should implement findings of the Study of traffic stops which was published in the Proceedings of the R 11.3 National Academy of Science in May 2023. X "The First 45 Words" specifies what law enforcement should say when they initially make a traffic stop of a driver in LA County. Direct LASD and LAPD to monitor and explore all new Artificial Intelligence (AI) R 11.4 currently being created to provide improved X training, augment their current policies and reporting. a toN ,taeB a ekaT - NOITALACSE-ED gnitaeB .tpeD s'ffirehS selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses The LAPD and the LASD should use training officers who have a more inclusive attitude toward other ethnic minorities and dissuade patrol training officers from passing on R 12.1 outdated and racially bias procedures. a) X LAPD should source creative strategies and anti-racist curriculum for training officers. b) LASD should source creative strategies and anti-racist curriculum for training officers. LACY LE agencies should make a more concerted effort to recruit officers who live in or near areas they are assigned to patrol. R 12.3 X LASD should collect racial data on officers to include for consideration when assigning officer patrol locations. R 12.5 REC Not in final report R 12.6 REC Not in final report All LACY LE agencies and departments should follow California Assembly Bill 748 to the letter of the law. LACY LE oversight R 12.2 X authorities should stop allowing LE to do whatever they please when it comes to releasing BWV. LACY LE agencies should make a more concerted effort to recruit officers who live in or near areas they are assigned to patrol. R 12.3 X LASD should collect racial data on officers to include for consideration when assigning officer patrol locations. R 12.5 REC Not in final report R 12.6 REC Not in final report saiB laicaR gnivlovnI - ECROF FO ESU TNEMECROFNE WAL feihC eht fo eciffO .oC selegnA soL srosivrepuS fo draoB .oC selegnA soL evitucexE eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses The LAPD and the LASD should use training officers who have a more inclusive attitude toward other ethnic minorities and dissuade patrol training officers from passing on R 12.1 outdated and racially bias procedures. a) X LAPD should source creative strategies and anti-racist curriculum for training officers. b) LASD should source creative strategies and anti-racist curriculum for training officers. All LACY LE agencies and departments should follow California Assembly Bill 748 to the letter of the law. LACY LE oversight R 12.2 X authorities should stop allowing LE to do whatever they please when it comes to releasing BWV. LACY LE agencies should make a more concerted effort to recruit officers who live in or near areas they are assigned to patrol. R 12.3 X LASD should collect racial data on officers to include for consideration when assigning officer patrol locations. R 12.5 REC Not in final report R 12.6 REC Not in final report saiB laicaR gnivlovnI - ECROF FO ESU TNEMECROFNE WAL selegnA soL fo ytiC eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses The LAPD and the LASD should use training officers who have a more inclusive attitude toward other ethnic minorities and dissuade patrol training officers from passing on R 12.1 outdated and racially bias procedures. a) X LAPD should source creative strategies and anti-racist curriculum for training officers. b) LASD should source creative strategies and anti-racist curriculum for training officers. All LACY LE agencies and departments should follow California Assembly Bill 748 to the letter of the law. LACY LE oversight R 12.2 X authorities should stop allowing LE to do whatever they please when it comes to releasing BWV. LE oversight entities should do their jobs and be outraged at their own failing to hold LE officers and their commanders R 12.4 X accountable for continued unwanted missuses of authority and to deprive citizens of fair treatment under the law. R 12.5 REC Not in final report R 12.6 REC Not in final report saiB laicaR gnivlovnI - ECROF FO ESU TNEMECROFNE WAL licnuoC ytiC selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses The LAPD and the LASD should use training officers who have a more inclusive attitude toward other ethnic minorities and dissuade patrol training officers from passing on R 12.1 outdated and racially bias procedures. a) X LAPD should source creative strategies and anti-racist curriculum for training officers. b) LASD should source creative strategies and anti-racist curriculum for training officers. All LACY LE agencies and departments should follow California Assembly Bill 748 to the letter of the law. LACY LE oversight R 12.2 X authorities should stop allowing LE to do whatever they please when it comes to releasing BWV. LACY LE agencies should make a more concerted effort to recruit officers who live in or near areas they are assigned to patrol. R 12.3 X LASD should collect racial data on officers to include for consideration when assigning officer patrol locations. LE oversight entities should do their jobs and be outraged at their own failing to hold LE officers and their commanders R 12.4 X accountable for continued unwanted missuses of authority and to deprive citizens of fair treatment under the law. R 12.6 REC Not in final report saiB laicaR gnivlovnI - ECROF FO ESU TNEMECROFNE WAL .tpeD eciloP selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses The LAPD and the LASD should use training officers who have a more inclusive attitude toward other ethnic minorities and dissuade patrol training officers from passing on R 12.1 outdated and racially bias procedures. a) X LAPD should source creative strategies and anti-racist curriculum for training officers. b) LASD should source creative strategies and anti-racist curriculum for training officers. X All LACY LE agencies and departments should follow California Assembly Bill 748 to the letter of the law. LACY LE oversight R 12.2 X authorities should stop allowing LE to do whatever they please when it comes to releasing BWV. LACY LE agencies should make a more concerted effort to recruit officers who live in or near areas they are assigned to patrol. R 12.3 LASD should collect racial data on officers to include for consideration when assigning officer patrol locations. X LE oversight entities should do their jobs and be outraged at their own failing to hold LE officers and their commanders R 12.4 accountable for continued unwanted missuses of authority and to deprive citizens of fair treatment under the law. X R 12.6 REC Not in final report saiB laicaR gnivlovnI - ECROF FO ESU TNEMECROFNE WAL noissimmoC eciloP selegnA soL ,lareneG rotcepsnI eht fo eciffO eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses The LAPD and the LASD should use training officers who have a more inclusive attitude toward other ethnic minorities and dissuade patrol training officers from passing on R 12.1 outdated and racially bias procedures. a) X LAPD should source creative strategies and anti-racist curriculum for training officers. b) LASD should source creative strategies and anti-racist curriculum for training officers. All LACY LE agencies and departments should follow California Assembly Bill 748 to the letter of the law. LACY LE oversight R 12.2 X authorities should stop allowing LE to do whatever they please when it comes to releasing BWV. LACY LE agencies should make a more concerted effort to recruit officers who live in or near areas they are assigned to patrol. R 12.3 X LASD should collect racial data on officers to include for consideration when assigning officer patrol locations. LE oversight entities should do their jobs and be outraged at their own failing to hold LE officers and their commanders R 12.4 X accountable for continued unwanted missuses of authority and to deprive citizens of fair treatment under the law. R 12.6 REC Not in final report saiB laicaR gnivlovnI - ECROF FO ESU TNEMECROFNE WAL .tpeD s'ffirehS selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses The LAPD and the LASD should use training officers who have a more inclusive attitude toward other ethnic minorities and dissuade patrol training officers from passing on R 12.1 outdated and racially bias procedures. a) X LAPD should source creative strategies and anti-racist curriculum for training officers. b) LASD should source creative strategies and anti-racist curriculum for training officers. All LACY LE agencies and departments should follow California Assembly Bill 748 to the letter of the law. LACY LE oversight R 12.2 X authorities should stop allowing LE to do whatever they please when it comes to releasing BWV. LACY LE agencies should make a more concerted effort to recruit officers who live in or near areas they are assigned to patrol. R 12.3 X LASD should collect racial data on officers to include for consideration when assigning officer patrol locations. LE oversight entities should do their jobs and be outraged at their own failing to hold LE officers and their commanders R 12.4 X accountable for continued unwanted missuses of authority and to deprive citizens of fair treatment under the law. R 12.6 REC Not in final report saiB laicaR gnivlovnI - ECROF FO ESU TNEMECROFNE WAL lareneG rotcepsnI eht fo eciffO .oC selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses All LACY LE agencies and departments should follow California Assembly Bill 748 to the letter of the law. LACY LE oversight R 12.2 X authorities should stop allowing LE to do whatever they please when it comes to releasing BWV. R 12.5 REC Not in final report R 12.6 REC Not in final report R 12.5 REC Not in final report R 12.6 REC Not in final report FO ESU TNEMECROFNE WAL saiB laicaR gnivlovnI - ECROF soL tcirtsiD .oC selegnA soL selegnA yenrottA ytiC eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses Increase the number of EV Charging Stations at all large parking facilities that R 13.1a currently have less than ten percent of their X total parking spaces set up as EV charging stations Request that funding from BOS for the EV Charging Infrastructure be tripled to six R 13.1b X million dollars annually at LAC controlled parking facilities. At the entrance of each large parking facility, install the following signage: "Follow green R 13.2 line to EV Charging Stations" as well as X install a green line from each entrance of the parking facilities to charging station. Install an EV-Only sign and paint the ground R 13.3 "EV-Charging Only" at each charging X station. Train parking personnel to regularly monitor EV Charging Stations and report broken or R 13.4 X missing signs and missing or problematic QR codes to ISD management. Refresh EV-Only ground signs when they R 13.5 X are difficult to read. Enforcement policy of EV Only laws need to be done on a case by case basis. Train parking personnel to recognize that if no EVCS are available, we recommend a paper warning sign be place under the windshield R 13.6 wiper of the gas powered vehicle stating that X their vehicle is in violation of the EV Charging statutes. If an EV is not connected to charging station, then a similar notice should be placed under the windshield wiper of the EV not charging. yrotS "gnikcohS" ehT - .oC selegnA soL NI GNIGRAHC VE kroW cilbuP fo .tpeD & ,.tpeD secivreS lanretnI ,eciffO evitucexE feihC ,srosivrepuS fo draoB selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses It is recommended that after paper warning been placed on a specific vehicle for violation of the EV statute, the next offense R 13.7 X should be enforced with a $100 ticket or that their car be towed or that a boot be placed on the vehicle tire. ISD management to train parking personnel R 13.8 X on parking enforcement protocols. It is recommended that a Wi-Fi extender (strengthens Wi-Fi signal) be placed in areas where repeated Wi-Fi issues occur. R 13.9a X The optimal solution is to install a Wi-Fi booster or repeater to increase Wi-Fi strength to those areas with poor reception. It is recommended that the EV-Optional signs be placed in areas of the weakest Wi- Fi signal for those parking facilities that have R 13.9b X reversible signs reading EV-Optional on one side and the 4 hr. limit with the violation codes on the other side. ISD to examine the feasibility placing Wi-Fi R 13.9c boosters or repeaters in areas with poor X reception. It is recommended that when a charging project is slated to begin that data be collected and recorded on an excel spread sheet. The following information would facilitate incremental improvements to the installation process: a) Actual start date of R 13.10 EV charger project at (address of location). X b) Actual completion date of installation of charging stations. c) Actual date the charging stations come online and are available for charging. d) Actual date when wall signs are installed. e) Actual date when ground signs are installed. yrotS "gnikcohS" ehT - .oC selegnA soL NI GNIGRAHC VE kroW cilbuP fo .tpeD & ,.tpeD secivreS lanretnI ,eciffO evitucexE feihC ,srosivrepuS fo draoB selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses It is recommended that a contract be established with at least one to three reliable repair contractors so that an independent R 13.11 X service provider can respond to a problem if PowerFlex is not able to respond within 48 hours. It is recommended that all DC fast chargers in publicly accessed parking facilities to removed and replaced Level 2 chargers. The DC Fast Chargers should be used R 13.12 X primarily for emergency response electric vehicles, police electric vehicles, public transportation electric vehicles and the LAC Sheriff's electric vehicles. Education is needed for the EV owner to understand how to use the EVCSs. A QR code could be created for EV owners to R 13.13 X provide them with the education that they need to make their EV driving and charging experience seamless and enjoyable. At 145 Broadway, Los Angeles, (Parking Lot 10, the Committee recommends that either R 13.14a the wall and ground signs be remove d or X additional chargers be installed to replace the ones that have been removed. At 11705 Alameda St in Lynwood. Either R 13.14b install EV Chargers where the signs are or X remove the signs At 8300 S Vermont, Los Angeles. Install an R 13.14c X additional 10-20 EVCS. ISD & DPW work together to include EV CS R 13.15 when new or upgraded parking facilities are X being planned. yrotS "gnikcohS" ehT - .oC selegnA soL NI GNIGRAHC VE kroW cilbuP fo .tpeD & ,.tpeD secivreS lanretnI ,eciffO evitucexE feihC ,srosivrepuS fo draoB selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses soL NI GNIGRAHC VE ehT - .oC selegnA yrotS "gnikcohS" fo draoB selegnA soL evitucexE feihC ,srosivrepuS secivreS lanretnI ,eciffO Training of parking facilities managers by ISD is recommended. This training would include: Things to watch for like broken or damaged signs, pealing QR codes on EV R 13.16 Chargers, EVs parked at charging stations X but not charging their vehicle, gas vehicles parked in EV Charging spots. All problems should be reported to parking management who in turn report to ISD management. BOS direct CEO to find funding to meet R 14.1a X staffing needs of DA&C DA&R should report to BOS and CEO with staffing requirements; with special R 14.1b consideration towards creating foundational X program infrastructure and accounting for future opportunities for the Department. DA&C should use sole source contracts to R 14.3 rehire those Creative Strategists with X incomplete and easily revived projects. BOS should direct CEO to find funding for R 14.4a unaddressed strategies outlined in the X Countywide Cultural Policy Strategic Plan. BOS should direct CEO to find remaining funding for partially-funded Strategies R 14.4b X outlined in the Countrywide Cultural Policy Strategic Plan. BOS should direct all Department Heads to engage DA&C to incorporate Countywide R 14.4c Cultural Policy goals, such as, but not X limited to, allocating resources to engage Creative Strategies and other programs strA-non gnitroppuS tsigetartS evitaerC - GNIKAMECALP CIVIC DNA TSITRA snoitcnuF tnemnrevoG srosivrepuS fo draoB .oC selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses BOS should direct all Department Heads to explore incorporating Cultural Policy goals, and especially Creative Strategist, into their operations or service models. Internal R 14.5a X surveys, open calls and program evaluations can help make this determination for allocating departmental resources to engage DA&C programming. BOS should direct all Department Heads to engage with DA&C for guidance, recommendations and development during this exploratory period. BOS direct CEO R 14.5b X and DA&C to designate anticipated staffing and funding needs to properly interface with other Departments regarding the Countywide Cultural Policy. DA&C should create necessary infrastructure (program availability, educational materials, vendor lists, compliance blueprints, and inter- R 14.5c X departmental relations person). We recognized this recommendation cannot be implemented unless DA&C received additional staff positions. BOS should direct CEO to find funding to meet staffing needs for DA&C's cross-sector R 14.7a X work to enable the necessary infrastructure to be set in place. DA&C report to BOS and CEO with staffing requirements to fully-support the cross- R 14.7b sector division; ensure special consideration X regarding potential opportunities for future expansion. BOS and CEO should refer to Strategy 15 in R 14.7c DA&C's 2022 Countrywide Cultural Strategic X Plan for funding and staffing considerations. BOS should direct CEO to find funding to R 14.8 X adopt DA&C's Strategic Plan Strategy 15. snoitcnuF tnemnrevoG strA-non gnitroppuS tsigetartS evitaerC - GNIKAMECALP CIVIC DNA TSITRA srosivrepuS fo draoB .oC selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses BOS and CEO assist Departments in reallocating funding and resources to engage a Creative Strategist in their priority R 14.9a X projects. Direct Departments to find outside sources, if necessary, with consultation with DA&C. Our Committee understands that fully funding of the Strategic Plan and/or the Creative Strategist Program cannot happen overnight. In the interim, BOS direct CEO to R 14.10a X find funding to rehire via sole source contract process Creative Strategist identified by DA&C whose projects would benefit from expansion into all five districts. BOS should direct CEO to find funding for a non-arts grant writer staff position. Much of the Countywide Cultural Policy situates R 14.11 X DA&C in the role of arts facilitator or cultural programing administrator, not as a creative entity itself. BOS and DA&C should direct LACAC to assemble a working group to explore potential outside financial opportunities; fundraising, fund-matching, grant partners, R 14.12 X etc. Commissioners can utilize their professional experience working in the County's creative economy to guide the Department towards guaranteed sources. BOS should direct CEO to find funding for R 14.13 X cross-sector continuity Staffing position. snoitcnuF tnemnrevoG strA-non gnitroppuS tsigetartS evitaerC - GNIKAMECALP CIVIC DNA TSITRA srosivrepuS fo draoB .oC selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses srosivrepuS fo draoB .oC selegnA soL Regarding DA&C's need for an entrepreneurial pivot, BOS should directs all Departments to consult with DA&C to evaluate whether a Creative Strategist shall be utilized or engaged for any and all proposed third-party consulting contracts. R 14.16 Adding an artist would provide grassroots, X people-focused engagement as a compliment to the top-down, analytical lens of a FUSE Fellow's report recommendations. Their pairing would directly support the Cultural Policy's robust vision for the future of County governance. BOS to direct CEO to find funding to meet R 14.1a X staffing needs of DA&C DA&R should report to BOS and CEO with staffing requirements; with special R 14.1b consideration towards creating foundational X program infrastructure and accounting for future opportunities for the Department. DA&R should use sole source contracts to R 14.3 rehire those Creative Strategists with X incomplete and easily revived projects. BOS should direct CEO to find funding for R 14.4a unaddressed strategies lined in the X Countywide Cultural Policy Strategic Plan. BOS should direct CEO to find remaining funding for partially-funded Strategies R 14.4b X outlined in the Countrywide Cultural Policy Strategic Plan. BOS should direct all Department Heads to engage DA&C to incorporate Countywide R 14.4c Cultural Policy goals, such as, but not X limited to, allocating resources to engage Creative Strategies and other programs. snoitcnuF tnemnrevoG strA-non gnitroppuS tsigetartS evitaerC - GNIKAMECALP CIVIC DNA TSITRA reciffO evitucexE feihC .oC selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses DA&C should create necessary infrastructure (program availability, educational materials, vendor lists, compliance blueprints, and inter- R 14.5c X X departmental relations person). We recognized this recommendation cannot be implemented unless DA&C received additional staff positions. BOS should direct CEO to find funding to meet the staffing needs for DA&C's cross- R 14.7a X sector work to enable the necessary infrastructure to be set in place. DA&C report to BOS and CEO with staffing requirements to fully-support the cross- R 14.7b sector division; ensure special consideration X regarding potential opportunities for future expansion. BOS and CEO should refer to Strategy 15 in R 14.7c DA&C's 2022 Countrywide Cultural Strategic X Plan for funding and staffing considerations. BOS should direct CEO to find funding to R 14.8 X adopt DA&C's Strategic Plan Strategy 15. BOS and CEO assist Departments in reallocating funding and resources to engage a Creative Strategist in their priority R 14.9a X projects. Direct Departments to find outside sources, if necessary, with consultation with DA&C. Our Committee understands that fully funding of the Strategic Plan and/or the Creative Strategist Program cannot happen overnight. In the interim, BOS direct CEO to R 14.10a X find funding to rehire via sole source contract process Creative Strategist identified by DA&C whose projects would benefit from expansion into all five districts. snoitcnuF tnemnrevoG strA-non gnitroppuS tsigetartS evitaerC - GNIKAMECALP CIVIC DNA TSITRA reciffO evitucexE feihC .oC selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses BOS should direct CEO to find funding for a non-arts grant writer staff position. Much of the Countywide Cultural Policy situates R 14.11 X DA&C in the role of arts facilitator or cultural programing administrator, not as a creative entity itself. BOS and DA&C should direct LACAC to assemble a working group to explore potential outside financial opportunities; fundraising, fund-matching, grant partners, R 14.12 X etc. Commissioners can utilize their professional experience working in the County's creative economy to guide the Department towards guaranteed sources. BOS should direct CEO to find funding for R 14.13 X cross-sector continuity Staffing position. DA&R should report to BOS and CEO with staffing requirements; with special 14.1b consideration towards creating foundational X program infrastructure and accounting for future opportunities for the Department. DA&C should use sole source contracts to R 14.3 rehire those Creative Strategists with X incomplete and easily revived projects. BOS should direct all Department Heads to engage DA&C to incorporate Countywide R 14.4c Cultural Policy goals, such as, but not X limited to, allocating resources to engage Creative Strategies and other programs. DA&C should create necessary infrastructure (program availability, educational materials, vendor lists, compliance blueprints, and inter- R 14.5c X departmental relations person). We recognized this recommendation cannot be implemented unless DA&C received additional staff positions. snoitcnuF tnemnrevoG strA-non gnitroppuS tsigetartS evitaerC - GNIKAMECALP CIVIC DNA TSITRA reciffO evitucexE feihC .oC selegnA soL erutluC & strA fo .tpeD eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses DA&C should expand preparatory period timelines from six to twelve months, given the project's scope. Build in clause to allow R 14.6 X for additional time if necessary, recognizing that Creative Strategists should be engaged for a minimum of two years. BOS should direct CEO to find funding to meet the staffing needs for DA&C's cross- R 14.7a X sector work to enable the necessary infrastructure to be set in place. DA&C report to BOS and CEO with staffing requirements to fully-support the cross- R 14.7b sector division; ensure special consideration X regarding potential opportunities for future expansion. BOS and CEO should refer to Strategy 15 in R 14.7c DA&C's 2022 Countrywide Cultural Strategic X Plan for funding and staffing considerations. BOS and CEO assist Departments in reallocating funding and resources to engage a Creative Strategist in their priority R 14.9a X projects. Direct Departments to find outside sources, if necessary, with consultation with DA&C. Our Committee understands that fully funding the Strategic Plan and/or the Creative Strategist program cannot happen R 14.10b overnight. In the interim, DA&C should X review the completed Creative Strategist residencies and assess which projects could be re-implemented. BOS should direct CEO to find funding for a non-arts grant writer staff position. Much of the Countywide Cultural Policy situates R 14.11 X DA&C in the role of arts facilitator or cultural programing administrator, not as a creative entity itself. snoitcnuF tnemnrevoG strA-non gnitroppuS tsigetartS evitaerC - GNIKAMECALP CIVIC DNA TSITRA erutluC & strA fo .tpeD eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses BOS and DA&C should direct LACAC to assemble a working group to explore potential outside financial opportunities; fundraising, fund-matching, grant partners, R 14.12 X etc. Commissioners can utilize their professional experience working in the County's creative economy to guide the Department towards guaranteed sources. BOS should direct CEO to find funding for R 14.13 X cross-sector continuity Staffing position. DA&C should build out a paid "item menu" of specialized services (ex. Cross-sector R 14.15a local jurisdictional exchange); including but X not limited to expansion of impact and grant- matching. DA&C should direct LACAC to investigate R 14.15b alternative funding sources (Galas, benefits, X bond measures, percentage tax allocations). Regarding DA&C's need for an entrepreneurial pivot, BOS should directs all Departments to consult with DA&C to evaluate whether a Creative Strategist shall be utilized or engaged for any and all proposed third-party consulting contracts. R 14.16 Adding an artist would provide grassroots, X people-focused engagement as a compliment to the top-down, analytical lens of a FUSE Fellow's report recommendations. Their pairing would directly support the Cultural Policy's robust vision for the future of County governance. snoitcnuF tnemnrevoG strA-non gnitroppuS tsigetartS evitaerC - GNIKAMECALP CIVIC DNA TSITRA erutluC & strA fo .tpeD eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses County should draft an ordinance for R 15.1 X retrofitting soft-story first floor buildings. County should extend the proposed non- R 15.2 ductile retro-fit to buildings of every height, X not just those over 75 feet. All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.6 X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. LAC CEO should develop and earthquake R 15.7 X recovery/resilience plan. The Medical Examiner should make/update their emergency plans to include no ground access to the Antelope Valley (Lancaster, Palmdale). Where will autopsies and exams R 15.12 X be done? Where will mutual and volunteers from other medical examiners work, eat, park their vehicles? How can people work without water or electricity? !"enO" giB eht evivruS ot woH - SSENIDAER YTEFAS EKAUQHTRAE srosivrepuS fo draoB .oC selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses County should draft an ordinance for R 15.1 X retrofitting soft-story first floor buildings. County should extend the proposed non- R 15.2 ductile retro-fit to buildings of every height, X not just those over 75 feet. Once the cost estimate is complete LAC PW should develop a Request for Proposal (RFP) to gain detailed cost estimates. Once R 15.6 X the RFP is complete LAC CEO should solicit bids for Hall of Administration retrofit project and chose winning bidder. LAC CEO should develop and earthquake R 15.7 X recovery/resilience plan. The Medical Examiner should make/update their emergency plans to include no ground access to the Antelope Valley (Lancaster, Palmdale). Where will autopsies and exams R 15.12 X be done? Where will mutual and volunteers from other medical examiners work, eat, park their vehicles? How can people work without water or electricity? !"enO" giB eht evivruS ot woH - SSENIDAER YTEFAS EKAUQHTRAE renimaxE lacideM fo .tpeD ,.oC selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses County should draft an ordinance for R 15.1 X retrofitting soft-story first floor buildings. County should extend the proposed non- R 15.2 ductile retro-fit to buildings of every height, X not just those over 75 feet. LAC PW should complete design phase for R 15.3 earthquake safety retrofit for Hall of X Administration. Once the design phase for the earthquake safety/seismic retrofit is complete for the R 15.4 X Hall of Administration LAC PW should develop a project schedule. Once the design phase for the Hall of R 15.5 Administration is complete LAC PW should X obtain a cost estimate. Once the cost estimate is complete LAC PW should develop a Request for Proposal (RFP) to gain detailed cost estimates. Once R 15.6 X the RFP is complete LAC CEO should solicit bids for Hall of Administration retrofit project and chose winning bidder. !"enO" giB eht evivruS ot woH - SSENIDAER YTEFAS EKAUQHTRAE skroW cilbuP fo .tpeD eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses lanretnI fo .oC selegnA soL .tpeD secivreS The County should buy enough radio or satellite phones so that each agency and city referenced in the Responses section has at least two phones. ISD should track who the phones are assigned to, provide R 15.13 X video or written training for how to use the phones, and ask that the agency or city use them in their annual ShakeOut Drill as well as export their success/failure to ISD each year. eriF .oC selegnA soL tnemtrapeD The Medical Examiner should make/update their emergency plans to include no ground access to the Antelope Valley (Lancaster, Palmdale). Where will autopsies and exams R 15.12 X be done? Where will mutual and volunteers from other medical examiners work, eat, park their vehicles? How can people work without water or electricity? selegnA soL fo troP The LA and Long Beach ports should make/update plans for cargo that needs to be moved, especially perishables, when R 15.14 roads and railways out of the county may be X damaged. They also need to create/update their plans for damage in their harbors, including things that could possibly fall over. hcaeB gnoL fo troP The LA and Long Beach ports should make/update plans for cargo that needs to be moved, especially perishables, when R 15.14 roads and railways out of the county may be X X damaged. They also need to create/update their plans for damage in their harbors, including things that could possibly fall over. !"enO" giB eht evivruS ot woH - SSENIDAER YTEFAS EKAUQHTRAE eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses selegnA soL fo ytiC The City of Los Angeles is requested to commend on each of its 18 goals in their "Resilience By Design Plan" as to any R 15.8 misunderstandings the Civil Grand Jury may X have had as well as progress that has been made that was not mentioned. This is meant to help those who build on this in the future. selegnA soL & retaW fo .tpeD rewoP The City of Los Angeles's DWP should continue to work on water transport and R 15.9 X storage, especially in regards to putting out fires. Long Beach, Santa Clarita, Glendale, Lancaster, and Palmdale should inventory their buildings to determine if they have R15.10 X enough need in their city for retrofitting buildings of certain types. If So, create appropriate ordinances. If there is a lot of damage to building, more building inspectors would be needed. Plan for how temporary inspectors will be obtained and how they will be assigned, R 15.15 X keeping in mind that businesses in the medical field should be inspected first, followed by those who were enrolled in the Back to Business program. !"enO" giB eht evivruS ot woH - SSENIDAER YTEFAS EKAUQHTRAE hcaeB gnoL fo ytiC eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses Long Beach, Santa Clarita, Glendale, Lancaster, and Palmdale should inventory their buildings to determine if they have R 15.10 X enough need in their city for retrofitting buildings of certain types. If So, create appropriate ordinances. If there is a lot of damage to building, more building inspectors would be needed. Plan for how temporary inspectors will be obtained and how they will be assigned, R 15.15 X keeping in mind that businesses in the medical field should be inspected first, followed by those who were enrolled in the Back to Business program. Long Beach, Santa Clarita, Glendale, Lancaster, and Palmdale should inventory their buildings to determine if they have R 15.10 X enough need in their city for retrofitting buildings of certain types. If So, create appropriate ordinances. If there is a lot of damage to building, more building inspectors would be needed. Plan for how temporary inspectors will be obtained and how they will be assigned, R 15.15 X keeping in mind that businesses in the medical field should be inspected first, followed by those who were enrolled in the Back to Business Program. !"enO" giB eht evivruS ot woH - SSENIDAER YTEFAS EKAUQHTRAE atiralC atnaS fo ytiC eladnelG fo ytiC eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses Long Beach, Santa Clarita, Glendale, Lancaster, and Palmdale should inventory their buildings to determine if they have R 15.10 X enough need in their city for retrofitting buildings of certain types. If So, create appropriate ordinances. If there is a lot of damage to building, more building inspectors would be needed. Plan for how temporary inspectors will be obtained and how they will be assigned, R 15.15 X keeping in mind that businesses in the medical field should be inspected first, followed by those who were enrolled in the Back to Business Program. If there is a lot of damage to buildings, more building inspectors would be needed. Plan for how temporary inspectors will be obtained and how they will be assigned, R 15.10 X keeping in mind that businesses in the medical field should be inspected first, followed by those who were enrolled in the Back to Business Program If there is a lot of damage to building, more building inspectors would be needed. Plan for how temporary inspectors will be obtained and how they will be assigned, R 15.15 X keeping in mind that businesses in the medical field should be inspected first, followed by those who were enrolled in the Back to Business Program. !"enO" giB eht evivruS ot woH - SSENIDAER YTEFAS EKAUQHTRAE retsacnaL fo ytiC eladmlaP fo ytiC eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses The Cities of Industry and Vernon should consider having a Back to Business R 15.11 program to benefit the large number of X businesses in their cities and to help the economy recover. If there is a lot of damage to building, more building inspectors would be needed. Plan for how temporary inspectors will be obtained and how they will be assigned, R 15.15 X keeping in mind that businesses in the medical field should be inspected first, followed by those who were enrolled in the Back to Business program. The Cities of Industry and Vernon should consider having a Back to Business R 15.11 program to benefit the large number of X X businesses in their cities and to help the economy recover. If there is a lot of damage to building, more building inspectors would be needed. Plan for how temporary inspectors will be obtained and how they will be assigned, R 15.15 X keeping in mind that businesses in the medical field should be inspected first, followed by those who were enrolled in the Back to Business program. !"enO" giB eht evivruS ot woH - SSENIDAER YTEFAS EKAUQHTRAE yrtsudnI fo ytiC nonreV fo ytiC eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses .tpeD eriF arbmahlA All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. .tpeD eriF aidacrA All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. !"enO" giB eht evivruS ot woH - SSENIDAER YTEFAS EKAUQHTRAE eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses .tpeD eriF slliH ylreveB All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. .tpeD eriF knabruB All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. !"enO" giB eht evivruS ot woH - SSENIDAER YTEFAS EKAUQHTRAE eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses .tpeD eriF notpmoC All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English . Add "refresher" classes for those that were previously trained. When responding please indicate the 15.16 X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO) The Dept. of Sustainability should include this information in their annual reports. .tpeD eriF yenwoD All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. !"enO" giB eht evivruS ot woH - SSENIDAER YTEFAS EKAUQHTRAE eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses .tpeD eriF eladnelG All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. .tpeD eriF hcaeB gnoL All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When R 15.16 responding please indicate the languages X that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. !"enO" giB eht evivruS ot woH - SSENIDAER YTEFAS EKAUQHTRAE eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses .tpeD eriF selegnA soL All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. .tpeD eriF ollebetnoM All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. !"enO" giB eht evivruS ot woH - SSENIDAER YTEFAS EKAUQHTRAE eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses .tpeD eriF yeretnoM All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English . Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X languages that would be included. By august 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO) The Dept. of Sustainability should include this information in their annual reports. .tpeD eriF anedasaP All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. !"enO" giB eht evivruS ot woH - SSENIDAER YTEFAS EKAUQHTRAE eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses .tpeD eriF hcaeB odnodeR All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. .tpeD eriF acinoM atnaS All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. !"enO" giB eht evivruS ot woH - SSENIDAER YTEFAS EKAUQHTRAE eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses .tpeD eriF erdaM arreiS All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. .tpeD eriF anedasaP htuoS All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. !"enO" giB eht evivruS ot woH - SSENIDAER YTEFAS EKAUQHTRAE eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses .tpeD eriF ecnarroT All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. .tpeD eriF anivoC tseW All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. !"enO" giB eht evivruS ot woH - SSENIDAER YTEFAS EKAUQHTRAE DETENTION COMMITTEE DUTIES Each fiscal year, as mandated by the California Penal Code, section 919 article (b), every Civil Grand Jury must inquire into the condition and management of the public detention centers, jails, and courthouse holding provisions within the County of its purview. Per section 921 of the California Penal Code, the Civil Grand Jury is entitled to free access at all reasonable times to these facilities. It is the responsibility of the Detention Committee to ensure that the Civil Grand Jury makes a good faith effort to visit each of the detention facilities within the County of Los Angeles (County), and makes a record of each facility visited. ACTIVITIES In order to ensure that all detention facilities in the County could be visited, the Detention Committee must assign Civil Grand Jury members to groups, each group consisting of at least two members, and then assign each group to a subset of detention facilities within the County. A spreadsheet containing all such facilities was made, and was used to generate a list of facilities for each group. In addition, the same spreadsheet kept track of all facilities that were visited, the dates of visitations, and the group members who participated in each visit. The 2024-2025 Los Angeles County Civil Grand Jury Members formed seven groups. Each group was comprised of at least two jurors, and was responsible for visiting a subset of the detention centers within the County. In order to minimize travel requirements for individuals, each group represented a particular area of the County, and members were chosen for each group based on the proximity of their homes to the areas visited by the group. For example, the group that visited several detention facilities in the southern reaches of the County was comprised of jurors from Long Beach and San Pedro. Wednesdays were set aside as the day of the week on which detention facilities would be visited. On those Wednesdays that facilities were visited, each group was able to visit between four and six detention sites. Thus, between 28 and 42 sites could be visited each week. Over a period of weeks beginning August 21, 2024 and continuing until September 18, 2024, the Civil Grand Jury was able to physically 1 arrive at 128 detention locations, though not all could be visited. Some sites are no longer in use, and some are closed due to issues that preclude the housing of detainees for the present time. The table below lists the detention facilities and stations visited by the 2024-2025 Los Angeles County Civil Grand Jury. For the purpose of ease of reading, the table begins on the following page. Facility Agency Visited Date Visited 77th Street Community Station LAPD Yes 8/21/2024 7600 S Broadway Los Angeles, CA 90003 (323) 786-5075 Alfred J. McCourtney Juvenile Justice LASD Yes 8/28/2024 Center 1040 W Avenue J Lancaster, CA 93534 (661) 945-6354 Alhambra Courthouse LASD Yes 8/21/2024 150 W Commonwealth Ave Alhambra, CA 91801 (626) 293-2100 Alhambra Police Station City PD Yes 8/21/2024 211 1st St Alhambra, CA 91801 (626) 570-5151 Altadena Station LASD Yes 9/18/2024 780 E Altadena Drive Altadena, CA 91001 (626) 798-1131 Arcadia Police Station City PD Yes 8/28/2024 250 W Huntington Drive Arcadia, CA 91007 (626) 574-5151 Avalon Station LASD Yes 9/11/2024 215 Sumner Ave Avalon, CA 90704 (310) 510-0174 Azusa Police City PD Yes 8/28/2024 725 N Akaneda Ave Azusa, CA 91702 (626) 812-3200 Baldwin Park Police City PD Yes 9/4/2024 14403 E Pacific Ave Baldwin Park, CA 91706 (626) 960-1955 Barry J Nidorf Juvenile Hall LASD Yes 8/21/2024 16350 Filbert St Sylmar, CA 91342 (818) 364-2011 Bell Gardens Police City PD Yes 9/4/2024 7100 Garfield Ave Bell Gardens, CA 90201 (562) 806-7700 3 Facility Agency Visited Date Visited Bell Police City PD Yes 8/28/2024 6326 Pine Ave Remodel in Bell, CA 90201 process (323) 585-1245 Bellflower Courthouse LASD Yes 8/21/2024 10025 Flower St Bellflower, CA 90706 (562) 345-3300 Beverly Hills Courthouse LASD Not in Use 8/21/2024 9555 Burton Way #191 Beverly Hills, CA 90210 (310) 288-1279 Beverly Hills Police City PD Yes 8/28/2024 464 N Rexford Drive Beverly Hills, CA 90210 (310) 550-4951 Burbank Courthouse LASD Yes 9/11/2024 300 E Olive St Burbank, CA 91502 (818) 260-8498 Burbank Police Station City PD Yes 9/11/2024 200 N Third St Burbank, CA 91502 (818) 238-3333 Camp Clinton B Afflerbaugh Probation Yes 9/4/2024 6621 N Stephens Ranch Rd La Verne, CA 91750 (909) 593-4926 Camp Glenn Rockey Probation Yes 9/18/2024 1900 Sycamore Canyon San Dimas, CA 91773 (909) 599-2391 Camp Joseph Paige Probation Yes 9/4/2024 6601 Stephens Ranch Rd La Verne, CA 91750 (909) 593-4921 Camp Vernon Kilpatrick Probation Yes 9/4/2024 427 S Encinal Canyon Rd Malibu, CA 90265 (818) 899-1353 Carson Station LASD Yes 8/21/2024 21356 S Avalon Blvd Carson, CA 90745 (310) 485-3294 4 Facility Agency Visited Date Visited Central Arraignment Courthouse LASD Yes 9/11/2024 429 Bauchet St Los Angeles, CA 90012 (213) 974-6068 Central Community Station LAPD Yes 9/11/2024 215 E 6th St Los Angeles, CA 90014 (213) 486-6606 Central Juvenile Hall LASD No 1605 Eastvale Ave Closed Los Angeles, CA 90033 (323) 226-8611 Century Regional Correction Facility LASD Yes 8/28/2024 11705 S Alameda St 9/4/2024 Lynwood, CA 90262 (323) 568-4500 Cerritos Station LASD Yes 8/21/2024 18135 Bloomfield Ave Cerritos, CA 90703 (562) 860-0044 City of Industry LASD Yes 9/18/2024 150 N Hudson St City of Industry, CA 91744 (626) 330-3322 Clara Shortridge-Foltz Criminal Justice LASD Yes 9/11/2024 Center 210 W Temple St Los Angeles, CA 90012 (213)628-7900 Claremont Police City PD Yes 9/4/2024 570 W Bonita Ave Claremont, CA 91711 (909) 399-5411 Compton Courthouse LASD Yes 8/28/2024 200 W Compton Blvd Compton, CA 90220 (310) 761-4300 Covina Police Department City PD Yes 9/4/2024 444 N Citrus Ave Covina, CA 91733 (626) 331-3391 Crescenta Valley Station LASD Yes 9/18/2024 4554 N Briggs Ave La Crescenta, CA 91214 (818) 248-3464 5 Facility Agency Visited Date Visited Culver City Police City PD Yes 8/21/2024 4040 Duquesne Ave Culver City, CA 90232 (310) 253-6208 Devonshire Community Station LAPD Yes 8/28/2024 10250 Etiwanda Ave Northridge, CA 91325 (818) 832-0622 Dodger Stadium Security Office LAPD Yes 9/11/2024 1000 Elysian Park Los Angeles, CA 90012 (323) 224-2611 Dorothy Kirby Center LASD Yes 9/18/2024 1500 S McDonnell Ave Los Angeles, CA 90022 (323) 981-4301 Downey Courthouse LASD Yes 8/21/2024 7500 Imperial Hwy Downey, CA 90242 (562) 658-0500 Downey Police City PD Yes 8/21/2024 10911 Brookshire Drive #2700 Downey, CA 91502 (562) 861-0771 East Los Angeles Courthouse LASD Yes 9/11/2024 4848 Civic Center Way Los Angeles, CA 90022 (323) 780-2025 Ed Edelman Children’s Court LASD Yes 9/4/2024 201 Centre Plaza Drive #2700 Monterey Park, CA 91754 (323) 307-8098 El Monte Courthouse LASD Yes 8/21/2024 11234 E Valley Blvd El Monte, CA 91731 (626) 401-2298 El Monte Police City PD Yes 8/21/2024 11333 Valley Blvd El Monte, CA 91731 (626) 580-2100 El Segundo Police Station City PD Yes 8/21/2024 348 Main St El Segundo, CA 90245 (310) 524-2200 6 Facility Agency Visited Date Visited Foothill Community Station LAPD Yes 8/21/2024 12670 Osborne St Pacoima, CA 91331 (818) 756-8861 Gardena Police City PD Yes 8/21/2024 1718 162nd St Gardena, CA 90247 (310) 217-9670 George Deukmejian Courthouse LASD Yes 9/4/2024 275 Magnolia Ave Long Beach, CA 90802 (562) 256-3100 Glendale Courthouse LASD Yes 8/28/2024 600 E Broadway Ave Glendale, CA 91206 (818) 265-6400 Glendale Police City PD Yes 8/28/2024 131 N Isabel St Glendale, CA 91206 (818) 548-4840 Glendora Police City PD Yes 8/28/2024 150 S Glendora Ave Glendora, CA 91741 (626) 914-8250 Harbor Community Station LAPD Yes 8/28/2024 2175 John Gibson Blvd San Pedro, CA 90731 (310) 726-7700 Hawthorne Police Station City PD Yes 8/21/2024 12501 Hawthorne Blvd Hawthorne, CA 90250 (310) 675-4444 Hermosa Beach Police City PD Yes 8/21/2024 540 Pier Ave Hermosa Beach, CA 90254 (310) 318-0360 Hollenbeck Community Station LASD Yes 9/11/2024 2111 E 1st St Los Angeles, CA 90033 (323) 342-4100 Hollywood Community Station LAPD Yes 9/11/2024 1358 Wilcox Ave Los Angeles, CA 90028 (213) 972-2971 7 Facility Agency Visited Date Visited Huntington Park Police Station City PD Yes 8/28/2024 6542 Miles Ave Huntington Park, CA 90255 (323) 584-6524 Inglewood Courthouse LASD Yes 8/28/2024 1 E Regent St Inglewood, CA 90301 (310) 419-5132 Inglewood Juvenile Court LASD Yes 8/28/2024 110 E Regent St Inglewood, CA 90301 (310) 419-5255 Inglewood Police Department City PD Yes 8/28/2024 1 W Manchester Ave Inglewood, CA 90301 (310) 412-5211 Inmate Reception Center LASD Yes 9/11/2024 450 Bauchet St Los Angeles, CA 90012 (213) 893-5875 Irwindale Police Station City PD Closed 8/28/2024 505 N Irwindale Ave Irwindale, CA 91706 (626) 430-2244 LA County Fairgrounds Holding Facility Pomona No 9/4/2024 101 W McKinley Ave PD Seasonally Pomona, CA 91768 Open? La Verne Police Department City PD Storage 9/4/2024 2061 3rd St Only? La Verne, CA 91750 (909) 596-1913 LA General Hospital Jail Ward LASD Yes 9/11/2024 2051 Marengo St Los Angeles, CA 90033 (323) 409-1000 Lakewood Police Station LASD Yes 8/21/2024 5130 N Clark Ave Lakewood, CA 90712 (562) 623-3500 Lancaster Sheriff’s Station LASD Yes 8/28/2024 501 W Lancaster Blvd Lancaster, CA 93534 (661) 948-8466 8 Facility Agency Visited Date Visited LAX Courthouse LASD Yes 8/21/2024 11701 S La Cienega Blvd Los Angeles, CA 90045 (310) 725-3000 Lomita Station LASD Yes 8/28/2024 26123 Narbonne Ave Lomita, CA 90717 (310) 539-1661 Long Beach Police Department City PD Yes 9/4/2024 400 W Broadway Long Beach, CA 90802 (562) 570-7260 Los Angeles Airport Police Facility Airport Yes 8/28/2024 9160 Loyola Blvd PD Los Angeles, CA 90045 (424) 646-6100 Los Padrinos Juvenile Hall LASD Yes 8/21/2024 7285 Quill Drive Downey, CA 90242 (562) 940-8681 Lost Hills Station LASD Yes 8/28/2024 27050 Agoura Rd Calabasas, CA 91301 (818) 878-1808 Manhattan Beach Police Facility City PD Yes 8/21/2024 420 15th St Manhattan Beach, CA 90266 (310) 802-5140 Marina Del Rey Station LASD Yes 8/21/2024 13851 Fiji Way Marina Del Rey, CA 90292 (310) 482-6000 Men’s Central Jail LASD Yes 9/11/2024 441 Bauchet St Los Angeles, CA 90012 (213) 974-4921 Mental Health Courthouse LASD Yes 9/11/2024 5925 Hollywood Blvd Los Angeles, CA 90028 (323) 441-1898 Metropolitan Courthouse LASD Yes 9/11/2024 1945 S Hill St Los Angeles, CA 90007 (213) 745-3202 9 Facility Agency Visited Date Visited Metropolitan Detention Center LAPD Yes 9/11/2024 180 N Los Angeles St Los Angeles, CA 90012 (213) 485-0439 Michael D Antonovich Antelope Valley LASD Yes 8/28/2024 Courthouse 42011 4th St Lancaster, CA 93534 (661) 974-7200 Mission Hills Community Station LAPD Yes 8/28/2024 11121 N Sepulveda Blvd Mission Hills, CA 91345 (818) 838-9800 Monrovia Police City PD Yes 8/28/2024 140 E Lime Ave Monrovia, CA 91016 (626) 256-8000 Monterey Park Police City PD Yes 9/4/2024 320 W Newmark Ave Monterey Park, CA 91754 (662) 573-1311 Newton Community Station LAPD Station 8/28/2024 3400 S Central Ave Closed 9/11/2024 Los Angeles, CA 90011 Plumbing (323) 846-6547 Problems North County Correctional Facility LASD Yes 9/4/2024 29340 The Old Road Castaic, CA 91384 (661) 295-7810 North Hollywood Community Station LAPD Yes 9/4/2024 11640 Burbank Blvd North North Hollywood, CA 91601 (818) 623-4016 Northeast Community Station LAPD Yes 9/4/2024 3353 San Fernando Rd Los Angeles, CA 90065 (323) 561-3218 Norwalk Courthouse LASD Yes 9/4/2024 12720 Norwalk Blvd Norwalk, CA 90650 (562) 345-3700 Norwalk Station LASD Yes 9/4/2024 12335 Civic Center Drive Norwalk, CA 90650 (562) 863-8711 10 Facility Agency Visited Date Visited Olympic Community Station LAPD Yes 8/21/2024 1130 S Vermont Ave Los Angeles, CA 90006 (213) 382-9102 Pacific Community Station LAPD Yes 8/21/2024 12312 Culver Blvd Los Angeles, CA 90066 (310) 482-63334 Palmdale Sheriff’s Station LASD Yes 8/28/2024 750 East Ave Q Palmdale, CA 93550 (661) 272-2400 Palos Verdes Police City PD Yes 8/28/2024 340 Palos Verdes Drive Palos Verdes, CA 90274 (310) 378-4211 Pasadena Courthouse LASD Yes 8/28/2024 300 E Walnut St Pasadena, CA 91101 (626) 396-3300 Pasadena Police City PD Yes 8/28/2024 207 N Garfield Ave Pasadena, CA 91101 (626) 744-4501 Pico Rivera Station LASD Yes, 9/4/2024 6631 Passons Blvd Station Pico Rivera, CA 90660 Visited, (562) 848-2421 Jail Closed Pitchess Detention Center East Facility LASD Yes 9/4/2024 29330 The Old Road Castaic, CA 91384 (661) 295-7810 Pitchess Detention Center North Facility LASD Yes 9/4/2024 29320 The Old Road Castaic, CA 91384 (661) 295-8840 Pitchess Detention Center South Facility LASD Yes 9/4/2024 29330 The Old Road Castaic, CA 91384 (661) 295-8840 Pomona Courthouse LASD Yes 9/4/2024 400 W Mission Blvd Pomona, CA 91766 (909) 802-1100 11 Facility Agency Visited Date Visited Pomona Police City PD Yes 9/4/2024 490 W Mission Blvd Pomona, CA 91766 (909) 620-2155 Rampart Community Station LAPD Yes 8/21/2024 1401 W 6th Street Los Angeles, CA 90017 (213) 484-3400 Redondo Beach Police City PD Yes 8/28/2024 401 Diamond St Redondo Beach, CA 90277 (310) 379-2477 San Fernando Courthouse LASD Yes 8/21/2024 900 3rd Street San Fernando, CA 91340 (818) 256-1800 San Fernando Police City PD Yes 8/21/2024 910 1st Street San Fernando, CA 91340 (818) 898-1267 San Gabriel Police City PD Closed. 8/21/2024 625 Del Mar Ave San Gabriel, CA 91776 (626) 308-2828 San Marino Police City PD Yes 8/28/2024 2200 Huntington Drive San Marino, CA 91108 (626) 399-0720 Santa Clarita Courthouse LASD Yes 9/4/2024 23747 W Valencia Blvd Valencia, CA 91355 (661) 253-5600 Santa Clarita Sheriff’s Station LASD Yes 9/4/2024 26201 Golden Valley Road Santa Clarita, CA 91350 (661) 260-4000 Santa Clarita Valley Station LASD Yes 9/11/2024 23740 W Magic Mountain Pkwy Valencia, CA 91355 (661) 253-5699 Santa Monica Courthouse LASD Closed. 8/21/2024 1725 Main St #114 Santa Monica, CA 90401 (310) 260-3515 12 Facility Agency Visited Date Visited Santa Monica Police Station City PD Yes 8/21/2024 333 Olympic Dr. Santa Monica, CA 90401 (323) 395-9931 Sierra Madre Police City PD Yes 8/28/2024 242 W Sierra Madre Blvd Sierra Madre, CA 91024 (626) 355-1414 Signal Hill Police City PD Yes 9/4/2024 2745 Walnut Ave Signal Hill, CA 90755 (562) 989-7200 South Gate Police City PD Yes 8/28/2024 8620 California Ave South Gate, CA 90280 (323) 563-5436 South Pasadena Police City PD Yes 8/28/2024 1422 Mission St South Pasadena, CA 91030 (626) 403-7270 Southwest Community Station LAPD Yes 8/21/2024 1546 Martin Luther King Jr Blvd Los Angeles, CA 90062 (213) 972-7828 Temple City Station LASD Yes 8/21/2024 8838 Las Tunas Drive Temple City, CA 91780 (626) 285-7171 Topanga Community Station LAPD Yes 8/28/2024 21501 Schoenborn St Canoga Park, CA 91304 (818) 756-4800 Torrance Courthouse LASD Yes 8/28/2024 825 Maple Ave Torrance, CA 90503 (310) 787-3700 Torrance Police City PD Yes 8/28/2024 3300 Civic Center Drive Torrance, CA 90503 (310) 328-3456 Twin Towers LASD Yes 9/11/2024 450 Bauchet St Los Angeles, CA 90012 (213) 893-5100 13 Facility Agency Visited Date Visited Van Nuys Community Station LAPD Yes 9/11/2024 6240 Sylmar Ave Van Nuys, CA 91401 (818) 374-9500 Van Nuys Courthouse West LASD Yes 9/11/2024 14400 Erwin St Mall Van Nuys, CA 91401 (818) 989-6900 West Hollywood Station LASD Yes 9/4/2024 780 N San Vicente Blvd West Hollywood 90089 (310) 855-8850 West LA Community Station LAPD Yes 8/21/2024 1663 Butler Ave Los Angeles, CA 90025 (310) 444-0702 West Valley Community Station LAPD Yes 8/28/2024 19020 Vanowen St Reseda, CA 91335 (818) 374-7611 Whittier Police City PD Yes 9/4/2024 13200 Penn St Whittier, CA 90602 (562) 567-9200 Wilshire Community Station LAPD Yes 8/21/2024 4861 W Venice Blvd Los Angeles, CA 90019 (213) 473-0476 14 ACRONYMS Jury 2024 -2025 Los Angeles County Civil Grand Jury LASD Los Angeles County Sheriff’s Department LAPD Los Angeles Police Department City PD For cities within the County other than Los Angeles which have their own police force, the local police department County County of Los Angeles COMMITTEE MEMBERS William Allen, Committee Chair Ken Jefferson, Committee Co-chair Terry Maynes, Committee Secretary Lee Jenkins 15 16 EDIT COMMITTEE REPORT According to California Penal Code 933 (a), each Civil Grand Jury shall submit a Final Report to the Presiding Judge of the Los Angeles Superior Court, which includes the findings, investigations, and the recommendations that concern the Los Angeles County government during the calendar year. DUTIES The 2024-2025 Los Angeles County Civil Grand Jury (Jury) is charged with thoroughly examining the submitted written contents of each Investigative and Standing Committee report before it is submitted to the Edit Committee for potential corrections. The Jury must approve the overall content of the report by a supermajority of its membership. Jury members are encouraged to submit their suggestions for grammatical, factual, and stylistic revisions to the Edit Committee once the content has been approved. The Edit Committee works with Jury members – at the Jury members’ requests – to solve any problems encountered in writing their reports. Once the document has been approved by the Jury, the Edit Committee meets with the committee that produced the original document to discuss any problems encountered during editorial review. The Edit Committee makes suggestions for changes to the written report in order to improve the presentation, but such changes are approved by the committee that created the report. All reports are compiled into the Final Report by the Publication Committee, which creates the layout for the printed proof of the Final Report. The report is submitted to the Presiding Judge of the Los Angeles Superior Court for final approval. For this publication, including this report, the Edit Committee has reviewed and edited every Investigative and Standing Committee report. ACRONYM Jury 2024-2025 Los Angeles County Civil Grand Jury COMMITTEE MEMBERS Bob Nathan, Committee Chair Jenalea Smith, Committee Co-chair Lee Jenkins, Committee Secretary Bill Allen Michele McKinley Margaret Hatfield Jesse Rhines 2 HOSPITALITY COMMITTEE REPORT EXECUTIVE SUMMARY The Hospitality Committee is made up of six members of the Civil Grand Jury. The Hospitality Committee organized social events, provided beverages and supplies, and promoted collegiality among the members which allowed for a general feeling of togetherness and a friendly working environment. By general vote and agreement of the Grand Jury, the Committee established a monthly contribution amount for the general fund. The monies collected were used to buy needed supplies, monthly birthday celebrations and incidentals. Members of the Civil Grand Jury were assigned in teams of two, on rotation, for weekly clean-up duties. Holiday lunches were catered or celebrated in a local establishment. Birthday celebrations were marked with assorted bakery items and/or ice cream brought into the office lunch area. COMMITTEE MEMBERS Lynn Gidlow Co-Chair Margaret Hatfield Co-Chair Wayne Metcalf Co-Treasurer Terry Maynes Co-Treasurer Joel Floyd 1 2 INFORMATION TECHNOLOGY DUTIES The members of the 2024-2025 Los Angeles County Civil Grand Jury (CGJ) were provided touch-screen laptop computing devices, primarily for performing research using the global Internet, creating content to be shared within the CGJ, and creating, editing, and reviewing reports generated by the investigations carried out by the CGJ. The Information Technology Committee (IT) is a small collection of individuals who are experienced in the use of, and interaction with, the programs and operating system provided to the CGJ, and is responsible for assisting the Jury in using the platform and software. That is, IT has NO responsibility for implementing or maintaining information and networking systems, firewalls, databases, virtual private networks, computer hardware or operating system configuration, as one might be misled to expect given the common usage of the acronym IT. The basic responsibilities of IT are to explain things like how to store created content in appropriate locations on the server, how to save and retrieve information downloaded from the Internet, and how to integrate created content with content provided from other sources. In addition, IT was responsible for ensuring that all information stored on the local shared server is backed up on a regular basis. Finally, IT created the templates, agreed upon by the entire Jury, to ensure reports conform to an accepted format, so that the final publication has a uniform appearance. ACTIVITIES In the preceding section, we noted that content shared on the local server must be backed up regularly. IT chose to perform daily backups starting August 6, 2024. Lacking automation software, the backups are performed by copying from the server onto multi-terabyte USB hard drives. There is a complete backup of content and data that is accessible to Jury members for every day that the Jury was in session. IT began by backing up every afternoon, but as the time to back up the server increased beyond fifteen minutes per day, IT began coming in early and backing up before the Jury opened the daily session. This saved the previous day’s work, and did not sacrifice any part of the session during the day. To provide uniformity to reports, IT created templates for Microsoft Word documents that are inserted – by IT – into the Microsoft Word Templates subfolder within each juror’s Documents folder. The templates specify fonts, margins, spacing, and other formatting rules that were agreed upon by a super- majority of jurors. Templates for Standing Committee Reports, and for Investigative Reports were created and provided to Jury members before the writing of reports was begun. Most remaining activities consisted of instructive presentations, assistance to jurors with the usage of laptops and Microsoft Office software, and methodology for documents accepted by the Jury and submitted to the Edit Standing Committee. It was also the job of IT to recognize problems created by faulty hardware, and submit the information to CGJ administrators. RECOMMENDATIONS In order to obscure visibility to content supporting and created for Jury Investigations, the IT committee felt there should be a server volume that is exclusively available to the members of the Jury, and a separate volume that is used to share information between members of the Jury and the administrative staff. This provided a more effective method of keeping research and investigations confidential to the Jury. The new Microsoft SharePoint server was extremely helpful to providing a method that allowed external agencies to get information to the Jury in a way that is confidential and fast. We would ask the administration to consider using the SharePoint portal in a complementary way. SharePoint can be used to create a temporary location, available over the Internet, where an external agent, or external agents, may provide temporary login credentials to access files in the temporary location. This can be used to implement a method for getting documents to informants and agencies that is more secure than electronic mail, faster than postal mail, and in many cases more expedient and cheaper than hand delivery. Finally, on November 5, 2024, IT made a request to Grand Jury administration that the site http://grandjury.co.la.ca.us/ be replaced with a SSL secured site. We include a copy of the request in an appendix. The next Civil Grand Jury might follow-up on this request if it is of interest. ACRONYMS IT The Information Technology Committee CGJ 2024-2025 Los Angeles County Civil Grand Jury Jury 2024 -2025 Los Angeles County Civil Grand Jury USB Universal Serial Bus COMMITTEE MEMBERS William Allen, Committee Chair Nestor Apuya, Co-chair 3
R6: 5 Improve communication and coordination between Medical Center staff, security personnel, and the Sheriff's Department to ensure a consistent and effective response.
R7: LA General and LA Care, in consultation with DHS, should work together to develop a written plan that maximizes LA General’s impact in qualifying eligible Medi-Cal beneficiaries for ECM.
R8: LA General, as an ECM provider, should work with LA Care to generate a study on the effective recruitment of ECM eligible beneficiaries for the purpose of increasing the current 30% success rate in enrolling ECM eligible beneficiaries. 83
R9: The Board of Supervisors should direct DHS to conduct a detailed study of the incremental costs of DHS’s current and anticipated participation in CalAIM as an ECM provider, and the resulting financial benefits to the County and the State.
R10: The Board of Supervisors should direct DHS to conduct a detailed study of the incremental costs of LA General’s anticipated participation in CalAIM as an ECM provider, and the resulting financial and operational benefits to both the County and the State.
R11: LA General and LA Care, in consultation with DHS, should work together to develop strategies to obtain and analyze available data, including data generated by LA General’s ECM patients, for the purpose of evaluating the impact of the CalAIM program on beneficiary well-being and cost reduction.
R12: 11 County of Los Angeles Chief R12.1, R12.2, R12.3, R12.4, R12.5, Executive Office R12.6, R12.7, R12.8, R12.9, R12.10,
R13: The Board of Supervisors should direct the Hospitals and Health Delivery Commission to investigate the potential benefits and structural challenges of the LA County Restorative Care Villages, and make recommendations regarding their organization, management, coordination and operation for the purposes of maximizing high quality care for County patients, especially focusing on: (1) the importance of establishing centralized control and management over each Restorative Care Village, (2) the benefits of each Restorative Care Village effectively communicating and coordinating with its associated County Hospital, (3) the Restorative Care Village’s effective participation in CalAIM, especially in coordination with providers of Community Supports, and (4) the apparent lack of 84 a County-wide vision for the Restorative Care Villages; and the Board of Supervisors should review and respond to such recommendations. 85
R14: 1a X staffing needs of DA&C DA&R should report to BOS and CEO with staffing requirements; with special
R15: 10 X enough need in their city for retrofitting buildings of certain types. If So, create appropriate ordinances. If there is a lot of damage to building, more building inspectors would be needed. Plan for how temporary inspectors will be obtained and how they will be assigned, R 15.15 X keeping in mind that businesses in the medical field should be inspected first, followed by those who were enrolled in the Back to Business program. !"enO" giB eht evivruS ot woH - SSENIDAER YTEFAS EKAUQHTRAE hcaeB gnoL fo ytiC eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses Long Beach, Santa Clarita, Glendale, Lancaster, and Palmdale should inventory their buildings to determine if they have R 15.10 X enough need in their city for retrofitting buildings of certain types. If So, create appropriate ordinances. If there is a lot of damage to building, more building inspectors would be needed. Plan for how temporary inspectors will be obtained and how they will be assigned, R 15.15 X keeping in mind that businesses in the medical field should be inspected first, followed by those who were enrolled in the Back to Business program. Long Beach, Santa Clarita, Glendale, Lancaster, and Palmdale should inventory their buildings to determine if they have R 15.10 X enough need in their city for retrofitting buildings of certain types. If So, create appropriate ordinances. If there is a lot of damage to building, more building inspectors would be needed. Plan for how temporary inspectors will be obtained and how they will be assigned, R 15.15 X keeping in mind that businesses in the medical field should be inspected first, followed by those who were enrolled in the Back to Business Program. !"enO" giB eht evivruS ot woH - SSENIDAER YTEFAS EKAUQHTRAE atiralC atnaS fo ytiC eladnelG fo ytiC eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses Long Beach, Santa Clarita, Glendale, Lancaster, and Palmdale should inventory their buildings to determine if they have R 15.10 X enough need in their city for retrofitting buildings of certain types. If So, create appropriate ordinances. If there is a lot of damage to building, more building inspectors would be needed. Plan for how temporary inspectors will be obtained and how they will be assigned, R 15.15 X keeping in mind that businesses in the medical field should be inspected first, followed by those who were enrolled in the Back to Business Program. If there is a lot of damage to buildings, more building inspectors would be needed. Plan for how temporary inspectors will be obtained and how they will be assigned, R 15.10 X keeping in mind that businesses in the medical field should be inspected first, followed by those who were enrolled in the Back to Business Program If there is a lot of damage to building, more building inspectors would be needed. Plan for how temporary inspectors will be obtained and how they will be assigned, R 15.15 X keeping in mind that businesses in the medical field should be inspected first, followed by those who were enrolled in the Back to Business Program. !"enO" giB eht evivruS ot woH - SSENIDAER YTEFAS EKAUQHTRAE retsacnaL fo ytiC eladmlaP fo ytiC eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses The Cities of Industry and Vernon should consider having a Back to Business R 15.11 program to benefit the large number of X businesses in their cities and to help the economy recover. If there is a lot of damage to building, more building inspectors would be needed. Plan for how temporary inspectors will be obtained and how they will be assigned, R 15.15 X keeping in mind that businesses in the medical field should be inspected first, followed by those who were enrolled in the Back to Business program. The Cities of Industry and Vernon should consider having a Back to Business R 15.11 program to benefit the large number of X X businesses in their cities and to help the economy recover. If there is a lot of damage to building, more building inspectors would be needed. Plan for how temporary inspectors will be obtained and how they will be assigned, R 15.15 X keeping in mind that businesses in the medical field should be inspected first, followed by those who were enrolled in the Back to Business program. !"enO" giB eht evivruS ot woH - SSENIDAER YTEFAS EKAUQHTRAE yrtsudnI fo ytiC nonreV fo ytiC eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses .tpeD eriF arbmahlA All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. .tpeD eriF aidacrA All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. !"enO" giB eht evivruS ot woH - SSENIDAER YTEFAS EKAUQHTRAE eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses .tpeD eriF slliH ylreveB All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. .tpeD eriF knabruB All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. !"enO" giB eht evivruS ot woH - SSENIDAER YTEFAS EKAUQHTRAE eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses .tpeD eriF notpmoC All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English . Add "refresher" classes for those that were previously trained. When responding please indicate the 15.16 X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO) The Dept. of Sustainability should include this information in their annual reports. .tpeD eriF yenwoD All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. !"enO" giB eht evivruS ot woH - SSENIDAER YTEFAS EKAUQHTRAE eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses .tpeD eriF eladnelG All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. .tpeD eriF hcaeB gnoL All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When R 15.16 responding please indicate the languages X that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. !"enO" giB eht evivruS ot woH - SSENIDAER YTEFAS EKAUQHTRAE eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses .tpeD eriF selegnA soL All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. .tpeD eriF ollebetnoM All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. !"enO" giB eht evivruS ot woH - SSENIDAER YTEFAS EKAUQHTRAE eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses .tpeD eriF yeretnoM All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English . Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X languages that would be included. By august 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO) The Dept. of Sustainability should include this information in their annual reports. .tpeD eriF anedasaP All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. !"enO" giB eht evivruS ot woH - SSENIDAER YTEFAS EKAUQHTRAE eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses .tpeD eriF hcaeB odnodeR All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. .tpeD eriF acinoM atnaS All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. !"enO" giB eht evivruS ot woH - SSENIDAER YTEFAS EKAUQHTRAE eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses .tpeD eriF erdaM arreiS All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. .tpeD eriF anedasaP htuoS All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. !"enO" giB eht evivruS ot woH - SSENIDAER YTEFAS EKAUQHTRAE eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses .tpeD eriF ecnarroT All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. .tpeD eriF anivoC tseW All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. !"enO" giB eht evivruS ot woH - SSENIDAER YTEFAS EKAUQHTRAE
Hallazgos & Recomendaciones 39 hallazgos
F1: When developing new communities and housing projects, little consideration is paid to the healthcare needs of the increasing local population. Water, sewer, roads, electrical, and other utilities are mandated to be part of the development plan that is submitted to the city and/or County.
F1A: State Mandated Service Reimbursement Rates make it difficult for Regional Centers and their contracted service providers to hire and retain qualified staff.
F1B: The difficulty outlined in Finding #1A is compounded by the large numbers of multi-lingual Regional Center consumers which necessitates the hiring of multi- lingual case workers. In Los Angeles County, according to the US Census, non- English and bilingual speakers make up 56% of the population.40
F2: There is no organized exchange of best practices among the major medical centers, even though they all face similar problems with crowding and APOT.84 84 In-person meeting with ED Medical, ED Nursing, and ED Public Health staff of LA General, November 13, 2024. 24
F3: The length of the contract made between the County and EMT Companies is negotiated for a period of ten years. It is difficult to project increased costs for such a long period of time.
F4: The City and County have Advanced Responder Transports, which include a Nurse Practitioner in the Paramedic Ambulances. The County and City Fire Departments initiated these programs on a trial basis, and reported that they were effective and life-saving. Unfortunately no statistics were available to determine the true efficacy of these programs.
F5: The discharge process is lengthy and complicated, particularly for individuals with special needs. The ED operates on a 24/7 basis, but many other departments and supporting services do not. The discharge process includes assisting individuals with special needs, e.g. elderly patients, mental illness, and those who are unhoused.
F6: A discharge lounge for patients without special needs helps to accelerate the discharge process for such patients. Such patients can be fast-tracked for a more speedy discharge.
F7: Harbor-UCLA Medical Center ED has adopted the practice of having a nurse accompany an ER patient through a course of diagnostic procedures to expedite the collection of patient data for the eventual attending physician. This keeps the patient engaged in their own well-being and lessens the number of patients who leave without being seen. Studies have shown that patients who leave without being seen by a physician contribute to ER Crowding, and thus to extended APOT. 25
F8: Ambulance emergency medical technicians are precluded from working within a hospital. However, County EMS indicated that Emergency Medical Technicians can be hired to work in the ER.
F9: When an ED adds an additional triage station during peak hours, it helps to alleviate ER crowding later in the day and evening.85
F10: Physician or Surgeon assisted triage helps to optimize walk-in and trauma patients’ visits to the ER. Low severity walk-in patients can often be referred to an urgent care center after appropriate stabilization, and Physician assisted triage helps to optimize patient throughput. 85 https://www.sciencedirect.com/science/article/pii/S1755599X24000946, Accessed January 2, 2025 26
F11: Based on the 2023 and 2024 water analyses 30 data reported by 25 California Water Service 20 Company - Leona Valley 15 (PWSID: CA1910243), 10 5 the waters from their 0 several sources were being blended and treated. However, the treated water still had Finding Figure 11.1. Bromodichloromethane contamination of several organic the water source of California Water Service Company - Leona compounds including Valley. bromodichloromethane (see Finding Figure 11.1). Note that the recommended MCLG set by the EPA for this compound is zero. Other volatile organic compounds were also detected at levels below the recommended MCL (data not shown). The Jury inquired as to the possible source of bromodichloromethane and what treatment California Water Service is doing for its removal or reduction. Representative from the district returned the call and informed the Jury that somebody would call to answer the question.76 The Jury did not receive a call back. Calls on November 19 and 20, 2024 34 )L/gn( tnuomA Bromodichloromethane, Treated Water Sampling Date
F12: The well source of Amarillo Mutual Water 70 Company (PWSID: 60 CA1910002; located in 50 Rosemead) is 40 contaminated with a 30 20 number of volatile organic 10 compounds including 0 tetrachloroethylene (see Finding Figure 12.1). Amarillo Mutual has acknowledged that there Finding Figure 12.1. Tetrachloroethylene contamination of have been problems with water source in Amarillo Mutual Water Company. the water quality from its source for several years now. They draw their water from Well #1 which is pulled from the aquifer that is shared by several users. Well #1 is located near where the contaminants are concentrated. Since the water is contaminated, Amarillo Mutual purchases water from the San Gabriel water district for distribution to its customers.77 A superfund called the El Monte superfund was established to clean up the site of the contamination several years ago. It is called the El Monte superfund and is managed by San Gabriel Basin Water Quality Authority (WQA).78 The aquifer is swept by WQA periodically and the contaminants get moved to the North East end of the aquifer.77 Amarillo Mutual has installed an activated carbon filter to absorb the problematic chemicals from the water and it is working to bring down the numbers to an undetectable level.79 This costs the water district more than $1 million. Amarillo Mutual has applied for reimbursement from the California State Water Board but their application was denied.80 77 Interviewee from Amarillo Mutual Water Company, October 24, 2024 78 Source: https://wqa.com/about/, Accessed: December 16, 2024 79 Based on the water analysis data provided by Interviewee from Amarillo Mutual Water Co., November 4, 2024 80 Interviewee from Amarillo Mutual Water Co., October 24, 2024 35 )L/gu( tnuomA Tetrachloroethylene Content, Well 01 Sampling Date
F13: In 2023, the treated water from California State Polytechnic 40 University – Pomona (PWSID: 35 30 CA1910022) water district was 25 20 contaminated with 15 bromodichloromethane (see 10 5 Finding Figure 13.1), whose 0 MCLG is set to zero by the EPA. In addition, the total trihalomethanes (TTHM) content in Finding Figure 13.1. Bromodichloromethane the treated water was above the contamination of treated water in California State 80 ug/L MCL (see Finding Figure Polytechnic University – Pomona. 13.2). Other organic compounds were also detected but were below the MCL. The Jury reached out to CSU- Pomona but the call was not returned.81 Finding Figure 13.2. Total trihalomethane detected in the treated water in California State Polytechnic University – Pomona.
F14: Results from water analysis submitted by Crescenta Valley Water District (CWD; PWSID: CA1910028) in 2023 and 2024 indicate that some of the water wells being used by CWD were contaminated with a number of chemicals including PFOS, PFOA, and nitrate. These are highlighted in Finding Figures 14.1 to 14.3. The MCL for both PFOS and PFOA is 4 ng/L, and for nitrate is 10 mg/L. Call placed on November 15, 2024 36 )L/gu( tnuomA Bromodichloromethane Content, DBPR Sample Sampling Date 120 100 80 60 40 20 0 )L/gu( tnuomA Trihalomethane Content, DBPR Sample Sampling Date 25 20 15 10 5 0 Finding Figure 14.1. PFOS contamination of wells #8 and #9 of Crescenta Valley Water District. Finding Figure 14.2. PFOA contamination of wells #1 and #8 of Crescenta Valley Water District. Finding Figure 14.3. Nitrate contamination of wells #2 and #5 of Crescenta Valley Water District. CWD mentioned that the possible source of the volatile organic compounds is a superfund site.82 However, while the source of contamination for nitrates is unknown CWD suspects that it is coming from either failing septic tanks or from accumulated fire retardants used in fighting fires or both.83 In addition, CWD mentioned the area was an agricultural area which may have too many nitrates. Interviewee from Crescenta Valley CWD, December 2, 2024 83 Ibid 37 )L/gn( tnuomA PFOS Content, Well 08 6 5 4 3 2 1 0 Sampling Date )L/gn( tnuomA PFOS Content, Well 09 Sampling Date 12 10 8 6 4 2 0 )L/gn( tnuomA PFOA Content, Well 01 25 20 15 10 5 0 Sampling Date )L/gn( tnuomA PFOA Content, Well 08 Sampling Date 12 10 8 6 4 2 0 )L/gm( tnuomA Nitrate Content, Well 02 14 12 10 8 6 4 2 0 Sampling Date )L/gm( tnuomA Nitrate Content, Well 05 Sampling Date For immediate remediation, CWD is purchasing water from Metropolitan Water District and blending it with water from their well to dilute the contaminants. Results of the analysis indicate that the levels of contaminants contained in the blended water are below the specified MCL. They are also testing a pilot plan to treat water using granulated activated carbon or ion exchange to remove the contaminants permanently.84
F15: El Monte City Water District (PWSID: CA1910038) has six wells as sources of water for distribution; five are contaminated with tetrachloroethylene, also known as PCE. In Finding Figure 15.1, four of the wells are highlighted. The levels of PCE were above MCL as indicated in the 2023 and early 2024 analyses. In the case of well #12, the PCE level was about 6.5X of the MCL. 35 30 25 20 15 10 5 0 Finding Figure 15.1. Tetrachloroethylene contamination of some of the water wells of El Monte City Water District. (Note: The y-axes for all graphs are adjusted to be of the same scale.) Other organic compounds, including trichloroethylene, were also detected above the MCL level (see Finding Figure 15.2). Ibid 38 )L/gu( tnuomA Tetrachloroethylene Content, Well 03 35 30 25 20 15 10 5 0 Sampling Date )L/gu( tnuomA Tetrachloroethylene Content, Well 12 Sampling Date 35 30 25 20 15 10 5 0 )L/gu( tnuomA Tetrachloroethylene Content, Well 15 35 30 25 20 15 10 5 0 Sampling Date )L/gu( tnuomA Tetrachloroethylele Content, Well 16 Sampling Date The source of contamination appears to be the superfund site that is being managed by the San Gabriel Basin Water Quality Authority (WQA).85 El Monte City Water District installed a granular activated carbon treatment system to filter the water before it enters the supply lines. The treated water has reduced levels of contaminants.86 This is evident in Finding Figure 15.3. El Monte City Water District applied for reimbursement from the EPA funds through WQA. 70 60 50 40 30 20 10 0 Finding Figure 15.2. Trichloroethylene contamination of some of the water wells of El Monte City Water District. Finding Figure 15.3. Reduction of trichloroethylene contamination after water treatment in El Monte City Water District. Interviewee from El Monte City Water District, December 2, 2024 86 Ibid 39 )L/gu( tnuomA Trichloroethylene Content, Well 02 14 12 10 8 6 4 2 0 Sampling Date )L/gu( tnuomA Trichloroethylene Content, Well 14 Sampling Date 14 12 10 8 6 4 2 0 )L/gu( tnuomA Trichloroethylene Content, Well 15 40 35 30 25 20 15 10 5 0 Sampling Date )L/gu( tnuomA Trichloroethylene Content, Well 16 Sampling Date 7.00 6.00 5.00 4.00 3.00 2.00 1.00 0.00 )L/gu( tnuomA Trichloroethylene Content, Effluent (Treated Water) Sampling Date
F16: Nitrate, perchlorate, carbon tetrachloride, and volatile organic compounds are found to be present in the water sources used by Lincoln Avenue Water Co. (PWSID: CA1910063; located in Altadena). In 2023 and 2024 analyses, the levels of these contaminants were below MCL (data not shown). Lincoln Avenue Water is using appropriate steps to resolve the problem. Treatment facilities were installed (ionic exchanger and granular activated carbon) to remove the VOCs.87 Hence, water being distributed by Lincoln Avenue Water to its consumers is up to the EPA and California standards. A possible source of the volatile organic compounds that are present in the district’s water wells is NASA JPL site.88 This has been considered a superfund site since the 1980s.89
F17: There are three wells currently 1 2 8 0 16 being used by 14 12 10 Lynwood Park 8 6 4 Mutual Water 2 0 Co. (PWSID: CA1910081; located in Compton) as Finding Figure 17.1. PFOS contamination of water wells of sources of Lynwood Park Mutual Water Co. water for their customers. Based on 2023 and 2024 analyses, the wells contained PFOS (see Finding Figure 17.1) and PFOA (see Finding Figure 17.2) that were above the MCL (4 ng/L for both PFOS and PFOA). In the case of PFOS, it was about 4X the MCL standard. Other volatile organic compounds 87 Interviewee from Lincoln Avenue Water Co., November 13, 2024 88 Ibid 89 Ibid 40 )L/gn( tnuomA PFOS Content, Well 01 20 18 16 14 12 10 8 6 4 2 0 Sampling Date )L/gn( tnuomA PFOS Content, Well 02 Sampling Date 20 18 16 14 12 10 8 6 4 2 0 )L/gn( tnuomA PFOS Content, Well 03 Sampling Date (e.g., tetrachloroethylene and trichloroethylene) were also detectable but below MCL (data not shown). Lynwood Park Mutual does not know the 8 7 source of the contamination. As far as 6 5 they know, no superfund site is 4 involved.90 They are developing a plan to 3 2 assess the source of the contamination. 1 0 As of this report writing, Lynwood Park is still in the process of drafting a plan and finding a suitable solution to install a treatment system that will remove the contaminants. Accordingly, the cost is quite prohibitive.91 There was no effluent or treated water analysis data submitted by Lynwood Park Mutual to California State Water Resources Control Board (CSWRCB). Finding Figure 17.2. PFOA contamination of water wells of Lynwood Park Mutual Water Co.
F18: PFOA and PFOS are two of the major contaminants found in the source wells being used by Pico Water District (PWSID: CA1910125; located in Pico Rivera) at a level way above their MCL (4 ng/L) set by the EPA. These are highlighted in Finding Figures 18.1 and 18.2. At some point in 2023 and 2024, the PFOA and PFOS levels were about 3X and 6X the MCL, respectively. Interviewee from Lynwood Park Mutual Water Co., November 19, 2024 91 Ibid, January 14, 2025 41 )L/gn( tnuomA PFOA Content, Well 01 Sampling Date 8 7 6 5 4 3 2 1 0 )L/gn( tnuomA PFOA Content, Well 02 Sampling Date 8 7 6 5 4 3 2 1 0 )L/gn( tnuomA PFOA Content, Well 03 Sampling Date 16 14 12 10 8 6 4 2 0 Finding Figure 18.1. PFOA contamination of some of the water wells of Pico Water District. Finding Figure 18.1. PFOS contamination of some of the water wells of Pico Water District. The amount of PFOA is above the Response Level (10 ng/L) set by California State Water Board, which triggered the Pico Water District to issue a notification to its customers about PFOA and its health effects (see Finding Figure 18.2). 42 )L/gn( tnuomA PFOA Content, Well 05 16 14 12 10 8 6 4 2 0 Sampling Date )L/gn( tnuomA PFOA Content, Well 08 Sampling Date 16 14 12 10 8 6 4 2 0 )L/gn( tnuomA PFOA Content, Well 10 16 14 12 10 8 6 4 2 0 Sampling Date )L/gn( tnuomA PFOA Content, Well 11 Sampling Date 30 25 20 15 10 5 0 )L/gn( tnuomA PFOS Content, Well 05 30 25 20 15 10 5 0 Sampling Date )L/gn( tnuomA PFOS Content, Well 08 Sampling Date 25 20 15 10 5 0 )L/gn( tnuomA PFOS Content, Well 10 20 18 16 14 12 10 8 6 4 2 0 Sampling Date )L/gn( tnuomA PFOS Content, Well 11 Sampling Date A possible source of the contaminants is not clear. Their wells are presumably near the location that used to be occupied by Northrop Corp.92 Pico Water District purchased three new treatment plants (ion exchangers) and these have been installed since 2023. These cost them millions of dollars. They applied for a permit to begin using the treatment plants. The district had been waiting for at least a year now for the Division of Drinking Water of the California State Resource Control Board to issue the permit.93 Finding Figure 18.2. Copy of the notification letter issued on June 22, 2024 by the Pico Water District (PWSID: CA1910125) to its customers as a result of PFOA reaching above the Response Level of 10 ng/L. Interviewee from Pico Water District, November 5, 2024 93 Ibid 43
F19: Nitrates appear to be ubiquitous in wells being used Cal/Am Water 12 Company - San Marino (PWSID: 10 CA1910139). In 2023 and 2024, 8 the nitrate content of one of its 6 4 wells was approaching the MCL 2 (Finding Figure 19.1). Based on 0 the water analysis they submitted to California State Water Resources Control Board (CSWRCB), the district appears Finding Figure 19.1. Nitrate content in one of the to be blending water from wells being used by Cal/Am Water Company - San Marino different wells to significantly reduce the amount of nitrates in water for distribution. The water analysis also indicates that bromodichloromethane was significantly higher than the recommended MCL for this chemical which is zero. Finding Figure 19.2. Bromodichloromethane content in water treatment in Cal/Am Water Company - San Marino. 44 )L/gm( tnuomA Nitrate Content, Winston Well Sampling Date 16 14 12 10 8 6 4 2 0 )L/gu( tnuomA 3202/42/2 3202/42/2 3202/42/2 3202/42/2 3202/62/5 3202/62/5 3202/62/5 3202/62/5 3202/22/8 3202/22/8 3202/22/8 3202/22/9 3202/12/11 3202/12/11 3202/12/11 3202/12/11 4202/32/2 4202/32/2 4202/32/2 4202/32/2 4202/42/5 4202/42/5 4202/42/5 LCM Bromodichloromethane Content, DBPR Sampling Date
F20: South Montebello Irrigation District (PWSID: CA1910153) has three wells as water 35 30 sources. Based on the results 25 of water analysis in 2023-2024, 20 15 all of the three wells were 10 contaminated with PFOS and 5 0 PFOA at about 5X and 3X the recommended MCL, respectively (see Finding Figures 20.1 and 20.2). Finding Figure 20.1. PFOS contamination in water wells of South Montebello Irrigation District. South Montebello Irrigation District (SMID) is aware of the presence of these chemicals.94 According to SMID, the aquifer associated with their wells are contaminated. They do not know the source of these contaminants but they suspect that the sources are the run-off from fire-fighting foam retardants Finding Figure 20.2. PFOA contamination in water used in the hills above wells of South Montebello Irrigation District. Montebello that washed into the Rio Hondo River and then into the aquifer. They have been told by the Fire Department that the current water retardants no longer have these chemicals. SMID has issued notification warning to their customers about these contaminants.95 They are drawing up plans to remediate the problem including installation of water treatment and creation of new wells and a new emergency generator. They believe that these plans will be implemented starting in 2026.96 94 Interviewee from South Montebello Irrigation District, February 5, 2025 95 Source: https://smid.specialdistrict.org/files/f11e9aa63/SMID+PFA+Notification+9-5-24.pdf. Accessed: February 5, 2025 96 Interviewee from South Montebello Irrigation District, February 5, 2025 45 )L/gn( tnuomA PFOS Content, Wells 03 (black), 05 (white), 07 (striped bars) Sampling Date 14 12 10 8 6 4 2 0 )L/gn( tnuomA PFOA Content, Wells 03 (black), 05 (white), 07 (striped bars) Sampling Date
F21: Based on their submitted water analysis report in 2023-2024, results indicate that one (Well #2) of the wells being used by the City of South Pasadena Water Department (PWSID: CA1910154) was contaminated with tetrachloroethylene (or PCE) at a level 3X the MCL (see Finding Figure 21.1, upper panel). In the previous years (2015 to 2022), this chemical was also detected above MCL in Well #2 (see lower panel of Finding Figure 21.1). The other wells also contained tetrachloroethylene that was below MCL (data not shown). There was no data 20 18 submitted to the California 16 14 State Water Resources 12 10 Control Board (CSWRCB) 8 6 4 regarding 2 0 tetrachloroethylene content in treated (effluent) water. According to the City of South Pasadena Water Department, water from this well is just being monitored but not being used for distribution to consumers. Hence, there is no treated water sample available from this well. The source of PCE in their Finding Figure 21.1. Tetrachloroethylene contamination water system is the San of Well #2 of City of South Pasadena Water Dept. from 2015 to 2024. Gabriel Water Basin, where a number of superfund sites are located. The Basin serves as the water source for some of the wells of City of South Pasadena Water Dept.98 Aside from PCE, the City has to monitor other organic compounds (e.g., trichloroethylene and 1,2,3-Trichloropropane).99 For this reason, the City had to install treatment facilities (e.g., granulated activated charcoal and ion-exchanger) in 2022 at a cost of about $11.2 million. Interviewee from City of South Pasadena Water Department, February 28, 2025 98 Ibid 99 Ibid 46 )L/gu( tnuomA Tetrachloroethylene Content, Well 02 (2023 -2024) Sampling Date 20 18 16 14 12 10 8 6 4 2 0 )L/gu( tnuomA 5102/6/1 5102/3/2 5102/62/2 5102/3/3 5102/7/4 5102/5/5 5102/02/5 5102/2/6 5102/7/7 5102/4/8 5102/02/8 5102/1/9 5102/1/01 6102/2/2 6102/22/2 6102/1/3 6102/5/4 6102/2/5 6102/9/5 6102/5/7 6102/2/8 6102/21/8 6102/4/01 6102/1/11 6102/12/11 2202/52/5 2202/5/01 2202/1/11 2202/5/21 2202/5/21 LCM Tetrachloroethylene, Well 02 (2015-16 and 2022) Sampling Date
F22: In the 2023-2024 the analysis indicated that nitrates and some volatile organic compounds were detected at some of the wells being used by Sunny Slope Water Company (PWSID: CA1910157) but they were below the corresponding MCL (data not shown). Analyses done in 2019 to 2022 indicated similar results. In addition, data regarding analysis of effluent samples indicates that Sunny Slope is performing treatment of water coming from these wells.
F23: There are two wells being used by Tract 349 Mutual Water Company (PWSID: CA1910160; located in Cudahy). One of them (Well #3) was contaminated with manganese (see Finding Figure 23.1) at 2X the MCL. In addition, the well had has high levels of PFOA (at 2X) and PFOS (at 11X) that are above MCL (see Finding Figure 23.2). Other VOCs were also present in the well but they were below the corresponding MCL (data not shown). Tract 349 was already notified by the State Water Regulatory Board about the high level of manganese in their water.100 However, they have not been notified about the presence of high levels of some VOCs.101 According to Tract 349, Well 120 #4 serves as the 100 water supply 80 source and Well 60 40 #3 is pumped for 20 sampling and for 0 monitoring purposes only and is not part of water supply.102 Finding Figure 23.1. Manganese contamination of one of the The levels of wells of Tract 349 Mutual Water Company manganese and VOCs in Well #4 are below their corresponding MCLs (data not shown). Interviewee from Tract 349 Mutual Water Co., November 18 and 21, 2024 101 Ibid 102 Based on the document submitted by Tract 349 Mutual Water Co., December 14, 2024 47 )L/gu( tnuomA Manganese Content, Well 03 Sampling Date The source of water for the two wells is the groundwater from the Central Basin.103 Manganese is prevalent throughout this basin and it has been present from the time of the formation of Tract 349 in 1912. PFOS and PFOA have been detected in the Central Basin beginning in the late 2010s and were detected in Tract 349’s wells in or about April 2024.104 Tract 349 is drafting a plan to remedy the manganese problem. As part of this plan, they wrote a grant to seek funding from the state of California for the water treatment to remove manganese in Well #4.105
F24: The level of nitrates in some of the wells being used by Valley Water Co. (PWSID: CA1910166; located in La Canada Flintridge) is approaching the MCL (see Finding Figure 24.1). The same can be said about the overall treated water coming from the four wells. 12 10 8 6 4 2 0 Finding Figure 24.1. Nitrate contamination of wells in Valley Water Company. Ibid 104 Ibid 105 Interviewee from Tract 349 Mutual Water Co., November 18 and 21, 2024 48 )L/gm( tnuomA Nitrate Content, Well 04 12 10 8 6 4 2 0 Sampling Date )L/gm( tnuomA 50 45 40 35 30 25 20 15 10 5 0 4/30/20246/21/2024 4/30/20246/21/2024 MCL Finding Figure 23.2. PFOS and PFOA contamination of one of the wells of Tract 349 Mutual Water Company. Nitrate Content, Wells 1, 2, 3, 4 Effluent Sampling Date )L/gn( tnuomA PFOS (in solid black) and PFOA (in white) Contents, Well 03 Sampling Date Bromodichloromethane, one of the volatile organic compounds, is also found in the water of Valley Water (see Finding Figure 24.2). The MCL set goal by the EPA for this chemical is zero (see Table 4). 14 12 10 8 6 4 2 0 Finding Figure 24.2. Bromodichloromethane contamination of wells in Valley Water Company. According to Valley Water, the possible source of the contamination is a site that Jet Propulsion Laboratory used to utilize; no superfund site is involved.106 They have been dealing with the contamination issue for more than 20 years. The water district has installed a filtration system to remove the contaminants before water distribution.107
F25: At some point of in 2023 and 2024, some of the wells being used by GSWC - South San Gabriel (PWSID: CA1910223) were contaminated by nitrates and some volatile organic compounds (including PFOS, PFOA, and tetrachloroethylene) at levels above the MCL. Based on the effluent data available, GSWC is treating the water to reduce the contaminants and the treatment procedure appears to be working (see Finding Figures 25.1 and 25.2). Interviewee from Valley Water Co., November 13, 2024 107 Ibid 49 )L/gu( tnuomA Bromodichloromethane Content, Well 02 14 12 10 8 6 4 2 0 Sampling Date )L/gu( tnuomA Bromodichloromethane Content, Well 03 Sampling Date 12 10 8 6 4 2 0 Finding Figure 25.1. Nitrate content of contaminated well (upper panel) and treated water (lower panel) in GSWC - South San Gabriel. Finding Figure 25.2. PFOS and PFOA contents of contaminated wells and treated water in GSWC - South San Gabriel. 50 )L/gm( tnuomA Nitrate Content, Well 02 Sampling Date 12 10 8 6 4 2 0 )L/gm( tnuomA 3202/3/1 3202/32/1 3202/7/2 3202/12/2 3202/6/3 3202/3/4 3202/42/4 3202/8/5 3202/03/5 3202/31/6 3202/5/7 3202/71/7 3202/13/7 3202/41/8 3202/5/9 3202/81/9 3202/2/01 3202/6/11 3202/72/21 4202/8/1 4202/42/1 4202/7/2 4202/22/2 4202/4/3 4202/81/3 4202/1/4 4202/51/4 4202/92/4 4202/41/5 4202/82/5 4202/11/6 4202/42/6 4202/8/7 4202/22/7 Nitrate Content, Treated (Effluent) Sampling Date 35 30 25 20 15 10 5 0 )L/gn( tnuomA PFOS Content in Well 01 (black bars), Well 02 (white bars), and treated water (bar w/ diagonal) 16 14 12 10 8 6 4 2 0 Sampling Date )L/gn( tnuomA PFOA Content in Well 01 (black bars),Well 02 (white bars), and treated water (bar w/ diagonal) Sampling Date
F26: Three wells in Land Projects Mutual Water Company (PWSID: CA1910246; 25 located in Lancaster) contains arsenic 20 15 levels that are above the maximum 10 contaminant level. This is highlighted in 5 Finding Figure 26.1. The wells also 0 contain nitrates but at a level below MCL (data not shown). Land Projects is using the three wells in rotation as a source of water. To remedy the arsenic problem, Land Projects also installed a 4th well with water treatment capability (i.e., absorption treatment).108 This will serve as the primary source of treated water. The water from the other wells will be blended in with the primary source to dilute the amount of arsenic. This way the blended water will meet the EPA standard of having arsenic level below the MCL threshold. The installation is almost done and will be operational by March or April 2025 Finding Figure 26.1. Arsenic contamination after inspection by the State Water of the water wells in Land Projects Mutual Board.109 Water Co. Interviewee from Land Projects Mutual Water Co., November 20, 2024 109 Ibid, February 3, 2025 51 )L/gu( tnuomA Arsenic Content, Well 01 Sampling Date 25 20 15 10 5 0 )L/gu( tnuomA Arsenic Content, Well 03 Sampling Date 25 20 15 10 5 0 )L/gu( tnuomA Arsenic Content, Well 08 Sampling Date
F27: Some of the wells being used by GSWC – 160 Florence/Graham Water 140 120 District (PWSID: 100 80 CA1910077; located in 60 40 Santa Fe Springs) are 20 contaminated with volatile 0 organic compounds including trichloroethylene and tetrachloroethylene. Based on the 2023-2024 analyses, trichloroethylene and tetrachloroethylene were detected at about 10X- 25X and 1.2X-2.4X their MCL (5 ug/L), respectively (see Finding Figures 27.1 and 27.2). The same reports also indicate that GSWC – Florence/Graham is treating the waters. However, such treatment was only effective in reducing the trichloroethylene for Finding Figure 27.1. Trichloroethylene contamination of wells and treated water in GSWC-Florence/Graham Water several months in 2023 or District. in early 2024. There was no reported data about the tetrachloroethylene content in treated water. Finding Figure 27.2. Tetrachloroethylene contamination of well #1 in GSWC- Florence/Graham Water District. 52 )L/gu( tnuomA 3202/4/1 3202/6/2 3202/4/4 3202/6/6 3202/01/7 3202/01/7 3202/6/9 3202/6/11 3202/4/21 4202/2/1 4202/8/2 4202/1/4 4202/7/5 4202/3/6 4202/1/7 LCM Trichloroethylene Content, Converse Well 01 Sampling Date 14 12 10 8 6 4 2 0 )L/gu( tnuomA 3202/4/1 3202/11/1 3202/71/1 3202/32/1 4202/8/2 4202/72/2 4202/8/3 4202/21/3 4202/91/3 4202/52/3 4202/1/4 4202/9/4 4202/51/4 4202/22/4 4202/2/5 4202/7/5 4202/41/5 4202/02/5 4202/82/5 4202/3/6 4202/11/6 4202/71/6 4202/42/6 4202/1/7 LCM Trichloroethylene Content, Treated (Effluent, Converse Well 1) Sampling Date 12 10 8 6 4 2 0 )L/gu( tnuomA 3202/1/2 3202/31/2 3202/31/3 3202/72/3 3202/11/4 3202/42/4 3202/6/6 3202/91/6 3202/5/7 3202/81/7 3202/2/8 3202/41/8 3202/82/8 3202/21/9 3202/81/9 3202/9/01 3202/6/11 3202/72/11 3202/11/21 3202/82/21 4202/8/1 4202/32/1 4202/7/2 4202/72/2 4202/11/3 4202/52/3 4202/9/4 4202/22/4 4202/7/5 4202/02/5 LCM Trichloroethylene Content, Treated (Effluent, Nadeau Plant) Sampling Date 14 12 10 8 6 4 2 0 )L/gu( tnuomA 3202/4/1 3202/6/2 3202/4/4 3202/6/6 3202/01/7 3202/01/7 3202/6/9 3202/6/11 3202/4/21 4202/2/1 4202/8/2 4202/1/4 4202/7/5 4202/3/6 4202/1/7 LCM Tetrachloroethylene Content, Converse Well 01 Sampling Date
F28: Some of the water wells being used by the City of Alhambra Water District (PWSID: CA1910001) are contaminated with nitrates and some volatile organic compounds (e.g., trichloroethylene). Results of water analysis conducted in 2023- 2024 indicate that they were present above the respective contaminant MCL. Based on the available effluent data, the City of Alhambra appears to be treating the water from these wells. The level of the contaminants is significantly reduced (see Finding Figure 28.1 for nitrate and Finding Figure 28.2 for trichloroethylene). 25 20 15 10 5 0 Finding Figure 28.2. Trichloroethylene content of contaminated well (upper panel) and treated water (lower panel) in City of Alhambra Water District. 53 )L/gu( tnuomA Trichloroethylene Content, Well 09 Sampling Date 6 5 4 3 2 1 0 )L/gu( tnuomA 14 12 10 8 6 4 2 0 Finding Figure 28.1. Nitrate content of contaminated well (upper panel) and treated water (lower panel) in City of Alhambra Water District. Trichloroethylene Content, Effluent (Treated) Sampling Date eltiT sixA 3202/41/11 4202/7/2 4202/4/6 4202/2/7 3202/4/1 3202/7/2 3202/9/3 3202/9/3 3202/4/4 3202/2/5 3202/6/6 3202/6/7 3202/2/8 3202/6/9 3202/3/01 3202/7/11 3202/6/21 4202/71/1 4202/7/2 4202/2/4 4202/7/5 4202/4/6 4202/2/7 LCM Nitrate Content, Well 07 (bars in solid black)& Well 09 (bars in white) Axis Title 12 10 8 6 4 2 0 )L/gm( tnuomA Nitrate Content, Treated (Effluent) Sampling Date
F29: The water wells of Valley County Water District (PWSID: CA1910009; located in Baldwin Park) are contaminated with a number of organic compounds including tetrachloroethylene and trichloroethylene, the levels of which were detected either at 10X or 5X, respectively, based on the district’s 2023 analysis (see Finding Figures 29.1 and 29.2). 60 50 40 30 20 10 0 Finding Figure 29.1. Tetrachloroethylene contamination of water sources of Valley County Water District. Finding Figure 29.2. Trichloroethylene contamination of water sources of Valley County Water District. Aside from the above organic chemicals, the wells contain PFOS and PFOA (data not shown). Valley County Water Mutual is also monitoring the following VOCs: perchlorate, N-Nitrosodimethylamine, and 1,4-dioxane. They also found nitrates which are usually produced by nearby dairy farms.111 110 Interviewee from Valley County Water District, October 25, 2024 111 Ibid 54 )L/gu( tnuomA Tetracholoethylene Content, Well SA1-4 60 50 40 30 20 10 0 Sampling Date )L/gu( tnuomA Tetrachloroethylene Content, Well 07 Sampling Date 30 25 20 15 10 5 0 )L/gu( tnuomA Trichloroethylene Content, Well SA1-4 30 25 20 15 10 5 0 Sampling Date )L/gu( tnuomA Trichloroethyle Content, Well 07 Sampling Date According to Valley County Water Mutual, the water from their wells is 6 pumped into a single line which then 5 is blended prior to treatment.112 The 4 results of the treatment of blended 3 water showed that the level of 2 contaminants is significantly reduced 1 as highlighted in Finding Figure 29.3 0 4/25/2023 4/13/2023 4/13/2023 4/25/2023 MCL for tetrachloroethylene. Finding Figure 29.3. Reduction of tetrachloroethylene after treatment of blended The source of the contamination is a water in Valley County Water District. superfund site affecting the aquifer and the district’s water wells.113 The original contaminators were sued by the EPA and have been paying to clean up the site for years. The clean-up is being done through WQA who installed an activated carbon filter to flush the aquifer. They also sell their treated water to other water districts.114 They claim to test the water before and after pumping and the water is 100% according to EPA standards. In addition, they file an annual report with the state water board that lists all complaints they receive from consumers.
F30: The water wells being used by Monterey Park City Water Dept. (PWSID: CA1910092) are contaminated with a number of volatile organic compounds, including PFOS and PFOA, arsenic, and nitrates. In 2024, Wells #3, #5, #10, and #12 had levels of PFOS about 10X and about 2.5X the MCL, respectively (see upper panel of Finding Figure 30.1; data for #3 and #10 are not shown). The same wells had levels of PFOA at about 3.5X and about 2.5X the MCL (see upper panel of Finding Figure 30.2). Ibid 113 Ibid 114 Ibid 55 )L/gu( tnuomA Tetrachloroethyle Content, After Treatment Sampling Date 50.00 45.00 40.00 35.00 30.00 25.00 20.00 15.00 10.00 5.00 0.00 Finding Figure 30.1. PFOS contamination of water wells and treated water in Monterey Park City Water Dept. Finding Figure 30.2. PFOA contamination of water wells and treated water in Monterey Park City Water Dept. 56 )L/gn( tnuomA PFOS Content, Well 05 50.00 45.00 40.00 35.00 30.00 25.00 20.00 15.00 10.00 5.00 0.00 Sampling Date )L/gn( tnuomA PFOS Content, Well 12 Sampling Date 18.00 16.00 14.00 12.00 10.00 8.00 6.00 4.00 2.00 0.00 )L/gn( tnuomA PFOS Content, Treated Water (Effluent) Sampling Date 16.00 14.00 12.00 10.00 8.00 6.00 4.00 2.00 0.00 )L/gn( tnuomA PFOA Content, Well 05 16.00 14.00 12.00 10.00 8.00 6.00 4.00 2.00 0.00 Sampling Date )L/gn( tnuomA PFOA Content, Well 12 Sampling Date 12.00 10.00 8.00 6.00 4.00 2.00 0.00 )L/gn( tnuomA PFOA Content, Treated Water (Effluent) Sampling Date Monterey Park City Water Dept. is treating the water from the contaminated wells. However, based on the 2023-24 analysis, the treated water still contains PFOS and PFOA at levels about 4X and 2.5X the MCL (see lower panels in Finding Figure 30.1 and 30.2). Some of the wells were also contaminated with tetrachloroethylene at about 8X to 10X the set MCL (see Finding Figure 30.3). 60.00 50.00 40.00 30.00 20.00 10.00 0.00 Finding Figure 30.3. Tetrachloroethylene contamination of water wells in Monterey Park City Water Dept. The treatment of water appears to be working in reducing tetrachloroethylene, arsenic, and nitrate contaminants. For example, some wells had originally contained arsenic that is 1.7X – 2X the MCL (see upper panels in Finding Figure 30.3). After treatment, the arsenic level was significantly reduced below the MCL (see lower panel of Finding Figure 30.3). The level of tetrachloroethylene was significantly reduced as well (see Finding Figure 30.4). However, in the case of tetrachloroethylene, data for treated water was only available for 2023 but not for 2024. According to Monterey Park City Water Dept., this omission was due to delays in laboratory processing. The updated effluent analysis data for 2024 has been uploaded to CLIP since the matter was brought to their attention by the Jury.115 115 Based on the response letter provided to the Jury by interviewee from Monterey Park City Water Dept., February 13, 2025 57 )L/gu( tnuomA Tertrachloroethylene Content, Well 12 60.00 50.00 40.00 30.00 20.00 10.00 0.00 Sampling Date )L/gu( tnuomA Tetrachloroethylene Content, Well 15 sampling Date 20.00 18.00 16.00 14.00 12.00 10.00 8.00 6.00 4.00 2.00 0.00 Finding Figure 30.3. Arsenic contamination of water wells and treated water in Monterey Park City Water Dept. Finding Figure 30.4. Reduction of tetrachloroethylene after treatment in Monterey Park City Water Dept. Monterey Park City Water Dept. attributed the presence of arsenic in the wells primarily due to the natural occurrence of this element in the San Gabriel Groundwater Basin.116 They have been monitoring arsenic since the 2000s. On the other hand, the presence of tetrachloroethylene, PFOS and PFOA are attributed to the contaminated aquifers (superfund sites) in the San Gabriel Water Basin that is managed by Water Quality Authority.117 116 Ibid 117 Ibid 58 )L/gu( tnuomA Arsenic Content, Fern Well 30.00 25.00 20.00 15.00 10.00 5.00 0.00 7/25/202311/7/202312/7/20232/5/2024 4/1/2024 7/1/2024 MCL Sampling Date )L/gu( tnuomA Arsenic Content, Well 09 Sampling Date 12.00 10.00 8.00 6.00 4.00 2.00 0.00 )L/gu( tnuomA 3202/3/1 3202/71/1 3202/13/1 3202/41/2 3202/82/2 3202/41/3 3202/72/3 3202/11/4 3202/52/4 3202/9/5 3202/22/5 3202/6/6 3202/6/7 3202/8/8 3202/32/8 3202/6/9 3202/91/9 3202/3/01 3202/32/01 3202/41/11 3202/4/21 3202/91/21 4202/9/1 4202/32/1 4202/21/2 4202/72/2 4202/21/3 4202/62/3 4202/9/4 4202/03/4 4202/31/5 4202/92/5 4202/11/6 4202/52/6 4202/9/7 4202/32/7 LCM Arsenic Content, Combined Water -Treated Sampling Date 60.00 50.00 40.00 30.00 20.00 10.00 0.00 )L/gu( tnuomA Tetrachloroethylene Content, Influent (Before Treatment) 6.00 5.00 4.00 3.00 2.00 1.00 0.00 Sampling Date )L/gu( tnuomA Tetrachloroethylene Content, Effluent (Treated) Sampling Date The City of Monterey Park Water Dept. is evaluating and implementing advanced treatment technologies (e.g., granular activated carbon and ion exchange systems) to mitigate the contamination due to PFOS and PFOA.118
F31: 1 ...................................................................................................... 59
F32: In 2019, a resolution was passed by the Los Angeles County Board Supervisors supporting clean and safe water within the Sativa Water District and across California.127 The first provision in the resolution is the establishment of a Sativa Water System Special Fund in the electronic Countywide Accounting and Purchasing System to account for the former district’s accounting and budgetary activities as the Successor Agency for the dissolved water district. The Special Fund provides for the operation and maintenance of a reliable and high-quality water distribution system. The Jury looked at the financial records related to the Special Fund and the details are shown in Finding Table 32.1. Since its creation until the end of 2024, the Special Fund has received $29.609 million (highlighted in green), which include the following sources:128, 129 • “Transfers In” from Los Angeles Department of Public Works General Fund - $10.27 million • Proceeds from the sale of water rights - $10.68 million • Water Sales and Other Service Charges - $4.709 million • Interest earnings - $1.06 million • Grants from the State of California - $1.73 million • Other Water Revenues - $398,734 • Federal government - $17,034 Since the creation of the Special Fund in 2019 until 2024, the Los Angeles County Department of Public Works used the Fund for the following:130 127 Source: https://file.lacounty.gov/SDSInter/bos/supdocs/135510.pdf. Accessed: December 16, 2024 128 Based on the documents provided by interviewee from Los Angeles County Department of Public Works (DPW), December 5, 2024 129 Interviewee from DPW, January 29, 2025 130 Based on the documents provided by interviewee from Los Angeles County Department of Public Works (DPW), December 5, 2024 62 • Services and Supplies - $15.279 million • Other charges - $2.557 million (representing payments of County Loan and Bank bond) • “Transfers Out” to Los Angeles Department of Public Works General Fund - $3.0 million Among the items included in the “Services and Supplies” category are various expenses related to: (1) General and Administrative ($3.824 million); (2) Water System Operations ($5.414 million); and (3) Infrastructures and Capital ($6.041 million, which includes, among others, $0.706 million for Repair Pipeline Break, $1.129 million for Well Rehab/Hydropneumatics Tank Reconditioning, and $4.027 million for Manganese Treatment System).131 Hence, the total amount spent so far is about $17.836 million ($20.836 million, amount highlighted in red in Finding Table 32.1, minus the $3 million transferred out to DPW General Fund). This amount does not include the $8.925 million allotted for 2024-25, of which $8.335 million is meant for additional expense for manganese treatment system.132 131 Ibid 132 Ibid 63 .dnuF laicepS avitaS fo stroper laicnanif fo yrammuS .1.23 elbaT gnidniF 52-4202 -buS yrogetaC 42-3202 )lautcA( 32-2202 22-1202 12-0202 02-9102 91-8102 snoitcejorP( eht ot pU( latoT ****** )lautcA( ***** **** )lautcA( *** )lautcA( ** )lautcA( * )lautcA( detpodA morf )4202 fo dne )tegduB secnaniF fo secruoS yrogetaC 00.000,277,8 $ $ 00.000,109,3 $ 00.000,843,2 $ 00.000,751,1 $ 00.000,131,1 $ ta ecnalaB dnuF elbaliavA 00.000,232,41 raey fo gninnigeb eht 00.688,758 $ 00.066,091 $ 00.212,67 $ 00.404,512 $ 00.590,561 $ 00.515,012 $ dnuF detagilbO lecnaC ecnalaB 00.000,351 $ 04.405,419 $ 97.171,865 $ 95.037,772 $ 62.749,71 $ 99.794,21 $ 32.928,73 $ 45.723 $ tseretnI 00.0 $ 00.818,037,1 $ 27.440,032 $ 82.377,005,1 $ tnarG etatS 02.430,71 $ 02.430,71 $ 91-divoC - tnarG laredeF 00.0 $ 95.716,337,4 $ 95.123,261 $ 06.276,605 $ 25.554,612,1 $ 64.738,072,1 $ 25.576,442,1 $ 09.456,233 $ rehtO dna selaS retaW segrahC ecivreS 17.903,486,01 $ 17.903,486,01 $ sthgiR retaW fo elaS 00.000,272,01 $ 00.000,463,2 $ 00.000,773,1 $ 00.000,992,2 $ 00.000,230,3 $ 00.000,002,1 $ )FGWP morf( nI srefsnarT 00.0 $ 21.437,893 $ 40.407,893 $ 00.31 $ 80.61 $ 00.1 $ euneveR retaW rehtO 00.000,529,8 $ mus( M 906.92 $ $ 26.289,930,81 $ 43.036,296,6 $ 54.134,409,4 $ 57.910,656,5 $ 44.289,235,1 $ ylraeY secruoS ecnaniF )evoba eht fo 24.758,155,51 latoT yrogetaC serutidnepxE 00.000,529,8 $ 84.604,972,51 $ 13.749,977,3 $ 70.582,577,1 $ 05.832,626,2 $ 66.605,383,2 $ 10.457,213,4 $ 39.476,104 $ seilppuS dna secivreS 43.578,655,2 $ 30.948,230,2 $ 66.332,561 $ 94.082,271 $ 61.215,681 $ segrahC rehtO 00.525 $ 00.525 $ - stessA latipaC erutcurtsarfnI 00.000,000,3 $ 00.000,000,3 $ )FGWP ot( tuO srefsnarT 00.000,529,8 $ mus( M 638.02 $ 13.749,977,6 $ 01.431,808,3 $ 61.274,197,2 $ 51.213,655,2 $ 71.662,994,4 $ 39.476,104 $ ylraeY serutidnepxE evoba eht fo latoT )pxE 00.0 $ 11.019,177,8 $ 25.848,132,41 $ 81.851,109,3 $ 03.911,843,2 $ 85.357,651,1 $ 15.703,131,1 $ ecnalaB teN ylraeY dnuF 46 :)5202 ,13 yraunaJ :desseccA – woleb detic secruos lla( 1.23 elbaT gnidniF ot setontooF )/tegdub-0202-9102/vog.ytnuocal.oec//:sptth( tegduB detpodA ytnuoC selegnA soL 02-9102 fo 623 egap :ecruoS - * )/tegdub-1202-0202/vog.ytnuocal.oec//:sptth( tegduB detpodA ytnuoC selegnA soL 12-0202 fo 923 egap :ecruoS - ** )/tegdub-2202-1202/vog.ytnuocal.oec//:sptth( tegduB detpodA ytnuoC selegnA soL 22-1202 fo 533 egap :ecruoS - *** )/tegdub-3202-2202/vog.ytnuocal.oec//:sptth( tegduB detpodA ytnuoC selegnA soL 32-2202 fo 633 egap :ecruoS - **** )/tegdub-4202-3202/vog.ytnuocal.oec//:sptth( tegduB detpodA ytnuoC selegnA soL 42-3202 fo 243 egap :ecruoS - ***** -AL/21/4202/sdaolpu/tnetnoc-pw/vog.ytnuocal.oec//:sptth( tegduB detpodA laniF ytnuoC selegnA soL 52-4202 fo 143 egap :ecruoS - ****** )fdp.kooB-tegduB-laniF-52-4202-ytnuoC 56
F33: Between 1978 and 2006, Department of Water and Power (DWP; PWSID: CA1910067) cleaned and cement-lined approximately 2,600 miles of pipes in the City of Los Angeles.133 In addition, starting in 1998, DWP replaced low-lead water meters with lead-free water meters.134 These measures were taken to control corrosion and minimize lead exposures. In addition, DWP regularly took water samples for analysis of lead contamination, from different sites along the water distribution pipeline within the City of Los Angeles (see Finding Figure 33.1). To determine if lead is present in these pipelines, the Jury examined water analysis data provided by DWP to the Jury. Results of the analysis in 2024 are shown in Finding Table 33.1. The approximate location of the sampling sites are overlaid in Finding Figure 33.1. Overall, there was no detectable lead in the water samples taken from the distribution pipelines within Los Angeles city in 2024. Similar analyses performed in 2020 to 2023 had indicated no detectable levels of lead as well (data no shown). Finding Table 33.1. Results of Lead analysis from different sampling points in Los Angeles City water pipeline conducted by Los Angeles Department of Water and Power in 2024. Note: ND in the Result column means Not Detectable. Code in Finding Location Code Sampling Date Analyte Result Figure 33.1 BROOKMOT 2/19/2024 Lead ND A BROOKMOT 5/20/2024 Lead ND BROOKMOT 8/19/2024 Lead ND ROCKGLEN 2/19/2024 Lead ND B ROCKGLEN 5/24/2024 Lead ND ROCKGLEN 8/23/2024 Lead ND 055ST 1/15/2024 Lead ND C 055ST 4/17/2024 Lead ND ALMAR 2/20/2024 Lead ND D ALMAR 5/22/2024 Lead ND ALMAR 8/21/2024 Lead ND E ALMETZ 3/22/2024 Lead ND BEVGLEN 1/21/2024 Lead ND F BEVGLEN 4/21/2024 Lead ND DS074 2/25/2024 Lead ND 133 Source: of the 2023 Drinking Water Quality Report available at https://www.ladwp.com/who-we-are/water-system/las-drinking-water-quality-report. Accessed: December 16, 2024) 134 Ibid 66 Code in Finding Location Code Sampling Date Analyte Result Figure 33.1 G DS074 5/24/2024 Lead ND DS074 8/25/2024 Lead ND H DS049 3/23/2024 Lead ND I CUMBRE 3/18/2024 Lead ND DENNI 1/18/2024 Lead ND J DENNI 4/15/2024 Lead ND K FRAMPTON 3/23/2024 Lead ND BYPIN 1/15/2024 Lead ND L BYPIN 4/15/2024 Lead ND M HERSHEY 3/21/2024 Lead ND HOBART 1/18/2024 Lead ND N HOBART 4/18/2024 Lead ND KIRKCOLM 2/22/2024 Lead ND O KIRKCOLM 5/21/2024 Lead ND KIRKCOLM 8/21/2024 Lead ND VENICE 1/17/2024 Lead ND P VENICE 4/19/2024 Lead ND Q DS131 3/23/2024 Lead ND PDLMR985 2/21/2024 Lead ND PDLMR985 5/20/2024 Lead ND R PDLMR985 8/22/2024 Lead ND PAXTON 2/19/2024 Lead 0.62 PAXTON 5/25/2024 Lead ND S PAXTON 8/20/2024 Lead ND DS077 2/25/2024 Lead ND T DS077 5/24/2024 Lead ND DS077 8/25/2024 Lead ND RSCBCL 1/15/2024 Lead ND U RSCBCL 4/15/2024 Lead ND V SANRAFL 3/18/2024 Lead ND DS066 1/18/2024 Lead ND W DS066 4/17/2024 Lead ND X HARPER 3/24/2024 Lead ND Y DS111 3/22/2024 Lead ND DS048 1/15/2024 Lead ND Z DS048 4/17/2024 Lead 0.51 DS078 2/19/2024 Lead ND DS078 5/20/2024 Lead ND Z2 DS078 8/19/2024 Lead ND ZEPHYR 2/21/2024 Lead ND ZEPHYR 5/20/2024 Lead ND Z3 ZEPHYR 8/19/2024 Lead ND 67 Finding Figure 33.1. Map of the City of Los Angeles showing the overlay of the sampling sites within the water distribution system of DWP. Illustration map was provided by the Los Angeles Department of Water and Power (DWP). Overlaying of the location letter codes was done by the Jury using the Canva software available online (https://www.canva.com/). 68
F34: In 2023, DWP implemented a lead and copper survey in the City of Los Angeles as part of its compliance with the Federal Lead and Copper Rule.135,136 DWP looked for volunteer customers who were residing in single family homes that were built between 1982 and 1987. Tap water from these homes was collected and analyzed for lead and copper. The result for lead is summarized in Finding Figure 34.1.137 The survey revealed that three out of 105 (90%) had lead content exceeding the actionable level (AL) of 15 ppb set by EPA. One sample contained lead at 5X the AL. According to DWP, these customers were advised by DWP to take the proper action to remediate lead contamination in their plumbing system.138 80 70 60 50 40 30 20 10 0 Finding Figure 34.1. Lead contamination in some households surveyed and analyzed by Department of Water and Power. Note: The actual locations indicated in the sampling locations are not included in the graph for privacy reason. The Actionable Level (AL) is represented by the bar on the right. Source: https://www.epa.gov/ground-water-and-drinking-water/revised-lead-and-copper-rule. Accessed: December 16, 2024 136 See: Footnote “e” in Table 1 (Cont’d), of the 2023 Drinking Water Quality Report available at https://www.ladwp.com/who-we-are/water-system/las-drinking-water-quality-report. Accessed: December 16, 2024 137 Based on data downloaded from CSWBRB; also consistent with the data provided to the Jury by the LA Department of Water and Power, September 20, 2024 138 Interviewee from Los Angeles Department of Water and Power, November 6, 2024 69 )L/gu( tnuomA Lead Analysis of Tap Water in Some Old Houses in Los Angeles City, 2023 Residential Sample Location
F35: The Better Watts Initiative produced a report resulting from a study by Hoague et al. (2024)139 showing that tap waters are contaminated with lead in some of the residential houses in the Watts neighborhood. The results were provided to the Jury140 and these are shown in Finding Table 35.1. The source locations of tap waters samples are approximately mapped out in Finding Figure 35.1. Finding Table 35.1. Number of samples with lead contamination taken from residential homes in the Watts area of Los Angeles. (See also corresponding map in Finding Figure 34.1). Neighborhood Block Highlighted Number of Lead Under Lead Above Area in Samples * 15 ppb 15 ppb Figure 34.1 Between E 97th St (s) & E 92nd St (n) A 22 0 0 S Alameda St (e) and Grape St (w) Jordan Downs: E 97th St (n) and E B 30 2 0 103rd St (s) S Alameda St (e) and Grape St (w) E 92nd St (n) and E 103rd St (s) C 98 3 1 Grape St (e) and Graham Ave (w) Nickerson Gardens: E 111th St (n) and D 122 3 2 Imperial Hwy (s) S Central Ave (w) and Compton Ave (e) E 103rd St (n) and E 108th St (s) E 76 4 0 Graham Ave (w) and Croesus Ave (e) Imperial Courts: Santa Ana Blvd (n) and F 42 1 0 E 117th St (s) Croesus Ave(w) and Mona Blvd (e) E 92nd St (n) and E 102nd St (s), G 78 2 0 Success Ave (w) and Grandee Ave (e) E 108th St (n) and E 111th St (s) H 41 1 2 Avalon Blvd (w) and McKinley Ave (e) * - Total number of samples analyzed with known addresses = 530 139 Hoague et al., 2024 (Unpublished). Dark Waters Project: The Assessment of the Presence of Heavy Metal Contaminants in the Tap Water of Watts Residences, and Public Perceptions of Water Infrastructure in Los Angeles. Interviewee from Better Watts Initiative, August 23, 2024 70 In the news article published by the Guardian and the Los Angeles Times regarding the above study, it was reported that the Watts area residents were “… blaming a nearby metal recycling plant, Atlas Iron and Metal, that regularly sends shards of metals zooming over its fence ...” 141, 142 The recycling plant facility is located adjacent to Jordan High School and Jordan Downs Housing Development (see map in Figure 35.1). A G C B E H D F Finding Figure 35.1. Approximate map locations of residential areas as sampling sites mentioned in Table 34.1 and their proximity to potential source of lead contamination (highlighted in red circle). Note: The indicated locations in the map are not exact and for illustration purposes only. Source of map: Google Maps. As of the writing of this report, the Los Angeles District Attorney is prosecuting the company (S&W Atlas Iron and Metal Corp.) and its two owners.143,144 “The indictment includes charges with 21 felony counts of knowingly disposing of hazardous waste with no permit and one felony count of deposit of hazardous waste.” The wastes contain hazardous substances like lead, zinc, chromium, nickel, selenium, antimony, copper, and/or cadmium.145 The Los Angeles District Attorney’s press release on September 26, 2024 says that soil samples taken from an area of Jordan High School showed excessive concentrations of lead 141 Source: https://www.theguardian.com/us-news/article/2024/aug/21/los-angeles-watts-tap- water-lead-contamination. Accessed: December 16, 2024 142 Source: https://www.latimes.com/environment/story/2024-08-29/mayor-bass-calls-for- investigation-of-lead-in-watts-drinking-water. Accessed December 16, 2024 143 Source: https://lacounty.gov/2024/09/26/district-attorney-gascon-announces-new-25-count- grand-jury-indictment-against-atlas-metal-owners/. Accessed: December 16, 2024 144 Source: https://www.latimes.com/california/story/2024-09-26/metal-recycling-plant-accused-of- exposing-watts-high-school-students-to-explosions-toxic-waste. Accessed: December 16, 2024 145 Source: Case No. 24CJCF05804, September 18, 2024 71 and zinc. Additional samples taken at the recycling plant contained excessive concentrations of some the aforementioned metals.
F36: In September 2024, the Los Angeles City of Department of Water and Power (DWP), in collaboration with the Housing Authority of the City of Los Angeles (HACLA), has initiated an extended analysis of tap water samples from HACLA- owned four housing developments (i.e., Jordan Downs, Imperial Courts, Nickerson Gardens, and Gonzague Village) and non-HACLA residential units located in the Watts neighborhood.146 Finding Table 36.1. Analysis of tap water samples taken from four HACLA-owned and non- HACLA residential units located in Los Angeles Watts neighborhood. HACLA Housing Units Non-HACLA Units Total No. of Samples 1,952 117 Analyzed No. of samples with no 1,133 (58.13%) 100 (85.47%) detectable lead No. of samples with lead content below State 786 (40.33%) 16 (13.68%) Reporting Limit (0.5 to 5 ppb) No. of samples with lead content above State 19 (0.97%) 1 (0.85%) Reporting Limit but under Federal Action level (5 to 15 ppb) No. of samples with lead 11 (0.56%) 0 (0.00%) content above the Federal Action Level (> 15 ppb) As of January 18, 2025, DWP has analyzed a total of 2,069 samples -- 1,952 samples from about 1,600 units of HACLA housing complexes and 117 samples from about 58 non-HACLA units. The results are summarized in Finding Table 36.1.147 About 11 samples collected from HACLA housing units have levels of lead detected above the Action Level (15 ppb). As of the end of January 2025, 146 Interviewees from HACLA (October 21, 2024) and DWP (October 31, 2024) 147 Data provided to the Jury by Interviewee from DWP, January 21, 2025 72 the project is still ongoing as DWP recruits more volunteers from non-HACLA units.148
F37: Most of the action items outlined by SCO and DWP (see Discussion section of this Report) concerning water quality issues, including possible financing mechanisms for small-scale water systems, have not been implemented.149 148 Interviewee from DWP, January 24, 2025 149 Interviewees from Los Angeles County Chief Sustainability Office (January 27, 2025) and Department of Public Works (January 29, 2025) 73
Recomendaciones adicionales 15

No vinculadas a hallazgos específicos.

R1: The Board of Supervisors should rejuvenate the Health Agency originally approved by the BOS in 2015, empowering it to make binding decisions regarding collaboration and integration projects involving health-related County Departments, including the Departments of Health Services, Public Health, Mental Health and Aging and Disabilities, especially including CalAIM participation and the operation of the Restorative Care Villages. (In implementing this Recommendation, the BOS should read Dr. Katz’s memorandum, attached as Exhibit A.)
R2: 1 The City and/or County should require, and plan for, healthcare facilities as necessary to any development proposals for new communities and housing developments, in order to provide for the projected increase in population and medical needs.
R3: 1 The City and the County should plant more trees.
R4: 1 ....................................................................................... 74
R5: 1 X BREATHE that the BOS chooses for their own policy reasons should be part of any success metrics by which to analyze such programs, if any. BOS should disclose the amount of money paid by quarter to date: (a) to the University of Pennsylvania to run and administer the R 5.2 BREATHE programs; (b) the amounts paid X to the treatment group (those paid, as opposed to the control group); and (c) administrative costs incurred by the County. toliP s'ytnuoC selegnA soL & emocnI cisaB deetnarauG fo sisylanA nA - EHTAERB OT MOOR sevitaitinI srosivrepuS fo draoB .oC selegnA soL eciffO evitucexE feihC .oC selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses In the interest of local health and the City's and reputation as a worldwide tourist destination, the Creek's soft bottom segment must be abated to prevent it from R 6.1 becoming a breeding ground for the primary X vectors for transmission of West Nile or Dengue Fever. BOS coordinated clean up, and vector control against predicted dengue fever. City of Compton explore alternative money management such as a trustee appointment R 6.2 for general fund disbursement and city service moneys or more seriously, file for Federal bankruptcy protection. X In the interest of local health and the City's and reputation as a worldwide tourist destination, the Creek's soft bottom segment must be abated to prevent it from R 6.1 becoming a breeding ground for the primary X vectors for transmission of West Nile or Dengue Fever. BOS coordinate clean up, and vector control against predicted dengue fever. City of Compton explore alternative money management such as a trustee appointment R 6.2 for general fund disbursement and city services moneys or more seriously, file for Federal bankruptcy protection. X Regarding the City of Compton, prioritize the cleanup of the water and sewer infrastructure and especially prioritize R 6.3 Compton Creek. Explore the possibility to assigning a Trustee to fulfil the project objectives of bringing the creek up to excellent standards. X )TON( wolF ti teL ,wolF tI teL ,wolF tI teL - REVIR SELEGNA SOL htlaeH cilbuP fo .tpeD .oC selegnA soL skroW cilbuP fo .tpeD .oC selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses eht laeH yaB City of Compton should explore how Heal the Bay (and any other interested R 6.4 X environmental/other civic-oriented group) can restart volunteer cleanup activities. In the interest of local health and the City's and reputation as a worldwide tourist destination, the Creek's soft bottom segment must be abated to prevent it from R 6.1 becoming a breeding ground for the primary vectors for transmission of West Nile or Dengue Fever. BOS coordinate clean up, and vector control against predicted dengue fever. X City of Compton explore alternative money management such as a trustee appointment R 6.2 for general fund disbursement and city service moneys or more seriously, file for Federal bankruptcy protection. X City of Compton should explore how Heal the Bay (and any other interested R 6.4 X environmental/other civic-oriented group) can restart volunteer cleanup activities. Leadership in the City of Compton should explore appointing a non-biased Trustee to R 6.5 navigate issues with funding and frastructure. X hcaeB gnoL fo ytiC In the interest of local health and the City's and reputation as a worldwide tourist destination, the Creek's soft bottom segment must be abated to prevent it from R 6.1 becoming a breeding ground for the primary X X vectors for transmission of West Nile or Dengue Fever. BOS coordinate clean up, and vector control against predicted dengue fever. )TON( wolF ti teL ,wolF tI teL ,wolF tI teL - REVIR SELEGNA SOL notpmoC fo ytiC eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses In the interest of local health and the City's and reputation as a worldwide tourist destination, the Creek's soft bottom segment must be abated to prevent it from R 6.1 becoming a breeding ground for the primary X vectors for transmission of West Nile or Dengue Fever. BOS coordinate clean up, and vector control against predicted dengue fever. City of Compton explore alternative money management such as a trustee appointment R 6.2 for general fund disbursement and city X service moneys or more seriously, file for Federal bankruptcy protection. Regarding the City of Compton, prioritize the cleanup of the water and sewer infrastructure and especially prioritize R 6.3 Compton Creek. Explore the possibility to X assigning a Trustee to fulfil the project objectives of bringing the creek up to excellent standards. City of Compton should explore how Heal the Bay (and any other interested R 6.4 X environmental/other civic-oriented group) can restart volunteer cleanup activities. In the interest of local health and the City's and reputation as a worldwide tourist destination, the Creek's soft bottom segment must be abated to prevent it from R 6.1 becoming a breeding ground for the primary X vectors for transmission of West Nile or Dengue Fever. BOS coordinate clean up, and vector control against predicted dengue fever. City of Compton should explore how Heal the Bay (and any other interested R 6.4 X environmental/other civic-oriented group) can restart volunteer cleanup activities. )TON( wolF ti teL ,wolF tI teL ,wolF tI teL - REVIR SELEGNA SOL srosivrepuS fo draoB .oC selegnA soL evitucexE feihC fo eciffO .oC selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses The BOS and Chief Executive Officer should create capital outlay plans for replacing or relocating the entire DME complex R 7.3 X containing the Medical Examiner's current facility to a larger facility with state-of-the-art equipment and disruptive toxicological labs. Regardless of how or why the existing facilities are deteriorating, the concern of seismic retrofit safety has to be addressed R 7.5 X promptly, both on a global and granular level for the good of the employees and the general public. The DME is housed (since 1972) in an antiquated building complex constructed in R 7.10 the 1920's that doesn't meet today's minimal X X earthquake safety standards. Must relocate to a larger facility. DENIMAXE TEG SRENIMAXE EHT srosivrepuS fo draoB .oC selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses The BOS and Chief Executive Officer should create capital outlay plans for replacing or relocating the entire DME complex R 7.3 X containing the Medical Examiner's current facility to a larger facility with state-of-the-art equipment and disruptive toxicological labs. Regardless of how or why the existing facilities are deteriorating, the concern of seismic retrofit safety has to be addressed R 7.5 X promptly, both on a global and granular level for the good of the employees and the general public. The DME is housed (since 1972) in an antiquated building complex constructed in R 7.10 the 1920's that doesn't meet today's minimal X X earthquake safety standards. Must relocate to a larger facility. DENIMAXE TEG SRENIMAXE EHT reciffO evitucexE feihC .oC selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses DME should eliminate the critical issues which are preventing achievement of full accreditation by the National Board of Medical Examiners, including: i) 90% of the R 7.1 autopay reports completed in ninety days or X less. ii) 90% of the autopsies and exams performed within seventy-two hours. iii) DME needs to promptly submit the latest DME's Annual Report for 2023. Continue to develop additional facilities for Medical Examiner investigators in north, R 7.4 valley, and south portions of the County to X improve efficiency, prompt response, and to demonstrate coverage of the DME fieldwork. Regardless of how or why the existing facilities are deteriorating, the concern of seismic retrofit safety has to be addressed R 7.5 X promptly, both on a global and granular level for the good of the employees and the general public. DENIMAXE TEG SRENIMAXE EHT srenimaxE lacideM fo .tpeD .oC selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses When the ME relocates to new quarters, the building should be designed with the purpose of housing the activities of the R 7.9 X X ODA, with consideration being given to moving those functions from the hospital into the Department of the DME. The DME is housed (since 1972) in an antiquated building complex constructed in R 7.10 the 1920's that doesn't meet today's minimal X earthquake safety standards. Must relocate to a larger facility. DME should ensure adequate qualified staffing in the Medical Examiners' three satellite offices to relieve the workload off of R 7.11 X HQ. This may facilitate support of the need a major disaster or a catastrophic earthquake bring. ODA & DME jointly consult with the publisher of the VertiQ case management software to see if the two agencies could share various common forms and the R 7.12 X practical simplicity of output. In addition, the publisher would "detect" the "path" of processing decedents to see similarities in tracking. DENIMAXE TEG SRENIMAXE EHT srenimaxE lacideM fo .tpeD .oC selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses DHS should provide additional staffing for ODA attendants, aids, and crematory operators, and transport vans [preferably R 7.2 electric]; Hire more transport drivers so that X three drivers are on duty twenty-four seven to account for the fact that a death occurs at any time. The fee the Public Administrator charges for claiming the cremated remains of a decedent should be reviewed, with the intent R 7.7 X X to increase them for the services & convenience rendered to make them more representative of actual costs. The ODA should explore the possibility of R 7.8 using the same VertiQ case management X system that is already in use by the DME. When the ME relocates to new quarters, the building should be designed with the purpose of housing the activities of the R 7.9 X ODA, with consideration being given to moving those functions from the hospital into the Department of the DME. ODA & DME jointly consult with the publisher of the VertiQ case management software to see if the two agencies could share various common forms and the R 7.12 X practical simplicity of output. In addition, the publisher would "detect" the "path" of processing decedents to see similarities in tracking. DENIMAXE TEG SRENIMAXE EHT sriaffA tnadnecseD .tpeD .oC selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses DHS should provide additional staffing for ODA attendants, aids, and crematory operators, and transport vans [preferably R 7.2 electric]; Hire more transport drivers so that X three drivers are on duty twenty-four seven to account for the fact that a death occurs at any time. DHS should ensure that future ceremonies for unclaimed dead are widely publicized R 7.6 prior to the event and ensure as many X private citizens are allowed to attend as possible. DENIMAXE TEG SRENIMAXE EHT htlaeH fo .tpeD .oC selegnA soL secivreS eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses The City and County of Los Angeles should R 8.1 review and consider raising Quimby fees to X purchase more park land. LAC & LA City Park Dept. should consider issuing bonds and measures for park acquisitions and development like the Land and Water Conservation Funds, which was established in 1964 at no cost to the R 8.2 X taxpayer, the Outdoors Equity Program, Los Angeles County Measure A, and the California Parks, Environment, Energy, and Water Bond Measure, so help areas that are park-poor. The City of Los Angeles should consider R 8.3 using the funds available from Quimby and X other fees to purchase park space. LAC and LA development should not be approved in areas that are park poor until R 8.4 X enough land is acquired in those areas before more development is approved. LAC and LA City should complete a study and target areas that are park-poor to R 8.5 X evaluate the reason why these areas are park poor and develop remedies. LAC and LA City should consider issuing bonds in addition to charging developers R 8.6 X Quimby fees to purchase land for park development. LAC and LA City should realign land use R 8.7 X zoning to increase available land for parks. LAC and LA City should consider exploring R 8.8 options to make more timely use of available X Quimby funds. tnempoleveD dna seeF kraP gniknihteR - SEEF KRAP YBMIUQ srosivrepuS fo draoB .oC selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses The City and County of Los Angeles should R 8.1 review and consider raising Quimby fees to X purchase more park land. LAC & LA City Park Dept. should consider issuing bonds and measures for park acquisitions and development like the Land and Water Conservation Funds, which was established in 1964 at no cost to the R 8.2 X taxpayer, the Outdoors Equity Program, Los Angeles County Measure A, and the California Parks, Environment, Energy, and Water Bond Measure, so help areas that are park-poor. The City of Los Angeles should consider R 8.3 using the funds available from Quimby and X other fees to purchase park space. LAC and LA development should not be approved in areas that are park poor until R 8.4 X enough land is acquired in those areas before more development is approved. LAC and LA City should complete a study and target areas that are park-poor to R 8.5 X evaluate the reason why these areas are park poor and develop remedies. LAC and LA City should consider issuing bonds in addition to charging developers R 8.6 X Quimby fees to purchase land for park development. LAC and LA City should realign land use R 8.7 X zoning to increase available land for parks. LAC and LA City should consider options to R 8.8 X make more timely use of Quimby funds tnempoleveD dna seeF kraP gniknihteR - SEEF KRAP YBMIUQ evitucexE feihC fo eciffO .oC selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses The City and County of Los Angeles should R 8.1 review and consider raising Quimby fees to purchase more park land. X LAC & LA City Park Dept. should consider issuing bonds and measures for park acquisitions and development like the Land and Water Conservation Funds, which was established in 1964 at no cost to the R 8.2 X taxpayer, the Outdoors Equity Program, Los Angeles County Measure A, and the California Parks, Environment, Energy, and Water Bond Measure, so help areas that are park-poor. The City of Los Angeles should consider R 8.3 using the funds available from Quimby and X other fees to purchase park space. LAC and LA development should not be approved in areas that are park poor until R 8.4 enough land is acquired in those areas before more development is approved. X LAC and LA City should complete a study and target areas that are park-poor to R 8.5 X evaluate the reason why these areas are park poor and develop remedies. LAC and LA City should consider issuing bonds in addition to charging developers R 8.6 X Quimby fees to purchase land for park development. LAC and LA City should realign land use R 8.7 zoning to increase available land for parks. X LAC and LA City should consider exploring R 8.8 options to make more timely use of available X Quimby funds. tnempoleveD dna seeF kraP gniknihteR - SEEF KRAP YBMIUQ royaM - selegnA soL fo ytiC eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses The City and County of Los Angeles should R 8.1 review and consider raising Quimby fees to purchase more park land. X LAC & LA City Park Dept. should consider issuing bonds and measures for park acquisitions and development like the Land and Water Conservation Funds, which was established in 1964 at no cost to the R 8.2 X taxpayer, the Outdoors Equity Program, Los Angeles County Measure A, and the California Parks, Environment, Energy, and Water Bond Measure, so help areas that are park-poor. The City of Los Angeles should consider R 8.3 using the funds available from Quimby and X other fees to purchase park space. LAC and LA development should not be approved in areas that are park poor until R 8.4 X enough land is acquired in those areas before more development is approved. LAC and LA City should complete a study and target areas that are park-poor to R 8.5 X evaluate the reason why these areas are park poor and develop remedies. LAC and LA City should consider issuing bonds in addition to charging developers R 8.6 X Quimby fees to purchase land for park development. LAC and LA City should realign land use R 8.7 X zoning to increase available land for parks. LAC and LA City should consider exploring R 8.8 options to make more timely use of available X Quimby funds. tnempoleveD dna seeF kraP gniknihteR - SEEF KRAP YBMIUQ licnuoC ytiC selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses The City and County of Los Angeles should R 8.1 review and consider raising Quimby fees to X purchase more park land. LAC & LA City Park Dept. should consider issuing bonds and measures for park acquisitions and development like the Land and Water Conservation Funds, which was established in 1964 at no cost to the R 8.2 X taxpayer, the Outdoors Equity Program, Los Angeles County Measure A, and the California Parks, Environment, Energy, and Water Bond Measure, so help areas that are park-poor. The City of Los Angeles should consider R 8.3 using the funds available from Quimby and X other fees to purchase park space. LAC and LA development should not be approved in areas that are park poor until R 8.4 X enough land is acquired in those areas before more development is approved. LAC and LA City should complete a study and target areas that are park-poor to R 8.5 X evaluate the reason why these areas are park poor and develop remedies. LAC and LA City should consider issuing bonds in addition to charging developers R 8.6 X Quimby fees to purchase land for park development. LAC and LA City should realign land use R 8.7 X zoning to increase available land for parks. X LAC and LA City should consider exploring R 8.8 options to make more timely use of available X Quimby funds. tnempoleveD dna seeF kraP gniknihteR - SEEF KRAP YBMIUQ noitaerceR dna skraP fo .tpeD - .oC selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses The City and County of Los Angeles should R 8.1 review and consider raising Quimby fees to X purchase more park land. LAC & LA City Park Dept. should consider issuing bonds and measures for park acquisitions and development like the Land and Water Conservation Funds, which was established in 1964 at no cost to the R 8.2 taxpayer, the Outdoors Equity Program, Los Angeles County Measure A, and the California Parks, Environment, Energy, and Water Bond Measure, so help areas that are park-poor. X The City of Los Angeles should consider R 8.3 using the funds available from Quimby and X other fees to purchase park space. LAC and LA development should not be approved in areas that are park poor until R 8.4 X enough land is acquired in those areas before more development is approved. LAC and LA City should complete a study and target areas that are park-poor to R 8.5 X evaluate the reason why these areas are park poor and develop remedies. LAC and LA City should consider issuing bonds in addition to charging developers R 8.6 Quimby fees to purchase land for park development. X LAC and LA City should realign land use R 8.7 zoning to increase available land for parks. X LAC and LA City should consider exploring R 8.8 options to make more timely use of available X Quimby funds. tnempoleveD dna seeF kraP gniknihteR - SEEF KRAP YBMIUQ skraP dna noitaerceR fo .tpeD - ytiC selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses The City and County of Los Angeles should R 8.1 review and consider raising Quimby fees to X purchase more park land. LAC & LA City Park Dept. should consider issuing bonds and measures for park acquisitions and development like the Land and Water Conservation Funds, which was established in 1964 at no cost to the R 8.2 X taxpayer, the Outdoors Equity Program, Los Angeles County Measure A, and the California Parks, Environment, Energy, and Water Bond Measure, so help areas that are park-poor. The City of Los Angeles should consider R 8.3 using the funds available from Quimby and X other fees to purchase park space. LAC and LA development should not be approved in areas that are park poor until R 8.4 X enough land is acquired in those areas before more development is approved. LAC and LA City should complete a study and target areas that are park-poor to R 8.5 X evaluate the reason why these areas are park poor and develop remedies. LAC and LA City should consider issuing bonds in addition to charging developers R 8.6 X Quimby fees to purchase land for park development. LAC and LA City should realign land use R 8.7 X zoning to increase available land for parks. LAC and LA City should consider exploring R 8.8 options to make more timely use of available X Quimby funds. tnempoleveD dna seeF kraP gniknihteR - SEEF KRAP YBMIUQ gninnalP lanoigeR .oC selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses The DPH should evaluate the current system for capturing visits to the WBC's R 10.1 (REDcap) to see if the system is appropriate X and can be improved, or if it needs to be replaced. Relevant Data Analysis metrics need to be R 10.2 X developed by the Program Director. Measures of success or outcomes need to be developed in cooperation with stakeholders, especially with administration R 10.3 X of the high schools with WBC's. These measures must be collected and reported from the beginning of the program. The Program Director should develop standards describing accountability for the R 10.4 X practices in use for the WBC's in high schools. The Program, Director should make a R 10.5 survey of programs used to evaluate the X effectiveness of the Wellbeing Centers. The Department. of Public Health needs to develop a process to consistently distribute R 10.6 Wellbeing Center Reports, and ensure X information is shared across all schools that host a Wellbeing Center. Other Healthcare providers should be R 10.7 considered to provide student related X services for any future Wellbeing Centers sloohcS ytnuoC selegnA soL nI - SRETNEC GNIEBLLEW srosivrepuS fo draoB .oC selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses The DPH should evaluate the current system for capturing visits to the WBC's R 10.1 (REDcap) to see if the system is appropriate X and can be improved, or if it needs to be replaced. Relevant Data Analysis metrics need to be R 10.2 X developed by the Program Director. Measures of success or outcomes need to be developed in cooperation with stakeholders, especially with administration R 10.3 X of the high schools with WBC's. These measures must be collected and reported from the beginning of the program. The Program Director should develop standards describing accountability for the R 10.4 X practices in use for the WBC's in high schools. The Program, Director should make a R 10.5 survey of programs used to evaluate the X effectiveness of the Wellbeing Centers. The Department. of Public Health needs to develop a process to consistently distribute R 10.6 Wellbeing Center Reports, and ensure X information is shared across all schools that host a Wellbeing Center. Other Healthcare providers should be R 10.7 considered to provide student related X services for any future Wellbeing Centers sloohcS ytnuoC selegnA soL nI - SRETNEC GNIEBLLEW evitucexE feihC eht fo eciffO .oC selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses The DPH should evaluate the current system for capturing visits to the WBC's R 10.1 (REDcap) to see if the system is appropriate X and can be improved, or if it needs to be replaced. Relevant Data Analysis metrics need to be R 10.2 X developed by the Program Director. Measures of success or outcomes need to be developed in cooperation with stakeholders, especially with administration R 10.3 X of the high schools with WBC's. These measures must be collected and reported from the beginning of the program. The Program Director should develop standards describing accountability for the R 10.4 X practices in use for the WBC's in high schools. The Program, Director should make a R 10.5 survey of programs used to evaluate the X effectiveness of the Wellbeing Centers. The Department. of Public Health needs to develop a process to consistently distribute R 10.6 Wellbeing Center Reports, and ensure X information is shared across all schools that host a Wellbeing Center. Other Healthcare providers should be R 10.7 considered to provide student related X services for any future Wellbeing Centers sloohcS ytnuoC selegnA soL nI - SRETNEC GNIEBLLEW htlaeH cilbuP fo .tpeD .oC selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses Measures of success or outcomes need to be developed in cooperation with stakeholders, especially with administration R 10.3 X of the high schools with WBC's. These measures must be collected and reported from the beginning of the program. The Program Director should develop standards describing accountability for the R 10.4 X practices in use for the WBC's in high schools. The Department. of Public Health needs to develop a process to consistently distribute R 10.6 Wellbeing Center Reports, and ensure X information is shared across all schools that host a Wellbeing Center. Measures of success or outcomes need to be developed in cooperation with stakeholders, especially with administration R 10.3 X of the high schools with WBC's. These measures must be collected and reported from the beginning of the program. The Program Director should develop standards describing accountability for the R 10.4 X practices in use for the WBC's in high schools. The Department. of Public Health needs to develop a process to consistently distribute R 10.6 Wellbeing Center Reports, and ensure X information is shared across all schools that host a Wellbeing Center. sloohcS ytnuoC selegnA soL nI - SRETNEC GNIEBLLEW noitacudE fo eciffO .oC selegnA soL tcirtsiD loohcS deifinU selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses Measures of success or outcomes need to be developed in cooperation with stakeholders, especially with administration R 10.3 X of the high schools with WBC's. These measures must be collected and reported from the beginning of the program. The Program Director should develop standards describing accountability for the R 10.4 X practices in use for the WBC's in high schools. The Department. of Public Health needs to develop a process to consistently distribute R 10.6 Wellbeing Center Reports, and ensure X information is shared across all schools that host a Wellbeing Center. Measures of success or outcomes need to be developed in cooperation with stakeholders, especially with administration R 10.3 X of the high schools with WBC's. These treasures must be collected and reported from the beginning of the program. The Program Director should develop standards describing accountability for the R 10.4 X practices in use for the WBC's in high schools. The Department. of Public Health needs to develop a process to consistently distribute R 10.6 Wellbeing Center Reports, and ensure X information is shared across all schools that host a Wellbeing Center. sloohcS ytnuoC selegnA soL nI - SRETNEC GNIEBLLEW tcirtsiD loohcS deifinU ollebetnoM tcirtsiD loohcS deifinU doownnyL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses fo draoB .oC selegnA soL srosivrepuS Both LAPD and LASD should implement findings of the Study of traffic stops which was published in the Proceedings of the R 11.3 National Academy of Science in May 2023. X "The First 45 Words" specifies what law enforcement should say when they initially make a traffic stop of a driver in LA County. fo eciffO .oC selegnA soL evitucexE feihC eht Both LAPD and LASD should implement findings of the Study of traffic stops which was published in the Proceedings of the R 11.3 National Academy of Science in May 2023. X "The First 45 Words" specifies what law enforcement should say when they initially make a traffic stop of a driver in LA County. gnitaeB a toN ,taeB a ekaT - NOITALACSE-ED eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses LASD has tested a new App relating to traffic stops for drivers. This App is called "SafeStop". A recommendation is made for LASD and LAPD to advertise on their websites this App to enable drivers in LA R 11.1 County to add it to their cell phones. The App will assist drivers to have a dialogue with the officers or deputies who initiated the stop, thus alleviate potential adverse situations. X LASD and LAPD should provide pamphlets similar to the ones that Antelope Valley Sheriff's Department offers their citizens which gives guidance on what to do when you are involved in a traffic stop with a R 11.2 deputy sheriff. This pamphlet can be made available at all LASD and LAPD station. These pamphlets should also be placed at other traffic related locations such as car rental agencies, Automobile Association of America offices and Insurance Agencies. X gnitaeB a toN ,taeB a ekaT - NOITALACSE-ED .tpeD eciloP selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses Both LAPD and LASD should implement findings of the Study of traffic stops which was published in the Proceedings of the R 11.3 National Academy of Science in May 2023. X "The First 45 Words" specifies what law enforcement should say when they initially make a traffic stop of a driver in LA County. Direct LASD and LAPD to monitor and explore all new Artificial Intelligence (AI) R 11.4 currently being created to provide improved X training, augment their current policies and reporting. gnitaeB a toN ,taeB a ekaT - NOITALACSE-ED .tpeD eciloP selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses LASD has tested a new App relating to traffic stops for drivers. This App is called "SafeStop". A recommendation is made for LASD and LAPD to advertise on their websites this App to enable drivers in LA R 11.1 X County to add it to their cell phones. The App will assist drivers to have a dialogue with the officers or deputies who initiated the stop, thus alleviate potential adverse situations. LASD and LAPD should provide pamphlets similar to the ones that Antelope Valley Sheriff's Department offers their citizens which gives guidance on what to do when you are involved in a traffic stop with a R 11.2 deputy sheriff. This pamphlet can be made X available at all LASD and LAPD station. These pamphlets should also be placed at other traffic related locations such as car rental agencies, Automobile Association of America offices and Insurance Agencies. gnitaeB a toN ,taeB a ekaT - NOITALACSE-ED .tpeD s'ffirehS selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses Both LAPD and LASD should implement findings of the Study of traffic stops which was published in the Proceedings of the R 11.3 National Academy of Science in May 2023. X "The First 45 Words" specifies what law enforcement should say when they initially make a traffic stop of a driver in LA County. Direct LASD and LAPD to monitor and explore all new Artificial Intelligence (AI) R 11.4 currently being created to provide improved X training, augment their current policies and reporting. a toN ,taeB a ekaT - NOITALACSE-ED gnitaeB .tpeD s'ffirehS selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses The LAPD and the LASD should use training officers who have a more inclusive attitude toward other ethnic minorities and dissuade patrol training officers from passing on R 12.1 outdated and racially bias procedures. a) X LAPD should source creative strategies and anti-racist curriculum for training officers. b) LASD should source creative strategies and anti-racist curriculum for training officers. LACY LE agencies should make a more concerted effort to recruit officers who live in or near areas they are assigned to patrol. R 12.3 X LASD should collect racial data on officers to include for consideration when assigning officer patrol locations. R 12.5 REC Not in final report R 12.6 REC Not in final report All LACY LE agencies and departments should follow California Assembly Bill 748 to the letter of the law. LACY LE oversight R 12.2 X authorities should stop allowing LE to do whatever they please when it comes to releasing BWV. LACY LE agencies should make a more concerted effort to recruit officers who live in or near areas they are assigned to patrol. R 12.3 X LASD should collect racial data on officers to include for consideration when assigning officer patrol locations. R 12.5 REC Not in final report R 12.6 REC Not in final report saiB laicaR gnivlovnI - ECROF FO ESU TNEMECROFNE WAL feihC eht fo eciffO .oC selegnA soL srosivrepuS fo draoB .oC selegnA soL evitucexE eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses The LAPD and the LASD should use training officers who have a more inclusive attitude toward other ethnic minorities and dissuade patrol training officers from passing on R 12.1 outdated and racially bias procedures. a) X LAPD should source creative strategies and anti-racist curriculum for training officers. b) LASD should source creative strategies and anti-racist curriculum for training officers. All LACY LE agencies and departments should follow California Assembly Bill 748 to the letter of the law. LACY LE oversight R 12.2 X authorities should stop allowing LE to do whatever they please when it comes to releasing BWV. LACY LE agencies should make a more concerted effort to recruit officers who live in or near areas they are assigned to patrol. R 12.3 X LASD should collect racial data on officers to include for consideration when assigning officer patrol locations. R 12.5 REC Not in final report R 12.6 REC Not in final report saiB laicaR gnivlovnI - ECROF FO ESU TNEMECROFNE WAL selegnA soL fo ytiC eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses The LAPD and the LASD should use training officers who have a more inclusive attitude toward other ethnic minorities and dissuade patrol training officers from passing on R 12.1 outdated and racially bias procedures. a) X LAPD should source creative strategies and anti-racist curriculum for training officers. b) LASD should source creative strategies and anti-racist curriculum for training officers. All LACY LE agencies and departments should follow California Assembly Bill 748 to the letter of the law. LACY LE oversight R 12.2 X authorities should stop allowing LE to do whatever they please when it comes to releasing BWV. LE oversight entities should do their jobs and be outraged at their own failing to hold LE officers and their commanders R 12.4 X accountable for continued unwanted missuses of authority and to deprive citizens of fair treatment under the law. R 12.5 REC Not in final report R 12.6 REC Not in final report saiB laicaR gnivlovnI - ECROF FO ESU TNEMECROFNE WAL licnuoC ytiC selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses The LAPD and the LASD should use training officers who have a more inclusive attitude toward other ethnic minorities and dissuade patrol training officers from passing on R 12.1 outdated and racially bias procedures. a) X LAPD should source creative strategies and anti-racist curriculum for training officers. b) LASD should source creative strategies and anti-racist curriculum for training officers. All LACY LE agencies and departments should follow California Assembly Bill 748 to the letter of the law. LACY LE oversight R 12.2 X authorities should stop allowing LE to do whatever they please when it comes to releasing BWV. LACY LE agencies should make a more concerted effort to recruit officers who live in or near areas they are assigned to patrol. R 12.3 X LASD should collect racial data on officers to include for consideration when assigning officer patrol locations. LE oversight entities should do their jobs and be outraged at their own failing to hold LE officers and their commanders R 12.4 X accountable for continued unwanted missuses of authority and to deprive citizens of fair treatment under the law. R 12.6 REC Not in final report saiB laicaR gnivlovnI - ECROF FO ESU TNEMECROFNE WAL .tpeD eciloP selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses The LAPD and the LASD should use training officers who have a more inclusive attitude toward other ethnic minorities and dissuade patrol training officers from passing on R 12.1 outdated and racially bias procedures. a) X LAPD should source creative strategies and anti-racist curriculum for training officers. b) LASD should source creative strategies and anti-racist curriculum for training officers. X All LACY LE agencies and departments should follow California Assembly Bill 748 to the letter of the law. LACY LE oversight R 12.2 X authorities should stop allowing LE to do whatever they please when it comes to releasing BWV. LACY LE agencies should make a more concerted effort to recruit officers who live in or near areas they are assigned to patrol. R 12.3 LASD should collect racial data on officers to include for consideration when assigning officer patrol locations. X LE oversight entities should do their jobs and be outraged at their own failing to hold LE officers and their commanders R 12.4 accountable for continued unwanted missuses of authority and to deprive citizens of fair treatment under the law. X R 12.6 REC Not in final report saiB laicaR gnivlovnI - ECROF FO ESU TNEMECROFNE WAL noissimmoC eciloP selegnA soL ,lareneG rotcepsnI eht fo eciffO eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses The LAPD and the LASD should use training officers who have a more inclusive attitude toward other ethnic minorities and dissuade patrol training officers from passing on R 12.1 outdated and racially bias procedures. a) X LAPD should source creative strategies and anti-racist curriculum for training officers. b) LASD should source creative strategies and anti-racist curriculum for training officers. All LACY LE agencies and departments should follow California Assembly Bill 748 to the letter of the law. LACY LE oversight R 12.2 X authorities should stop allowing LE to do whatever they please when it comes to releasing BWV. LACY LE agencies should make a more concerted effort to recruit officers who live in or near areas they are assigned to patrol. R 12.3 X LASD should collect racial data on officers to include for consideration when assigning officer patrol locations. LE oversight entities should do their jobs and be outraged at their own failing to hold LE officers and their commanders R 12.4 X accountable for continued unwanted missuses of authority and to deprive citizens of fair treatment under the law. R 12.6 REC Not in final report saiB laicaR gnivlovnI - ECROF FO ESU TNEMECROFNE WAL .tpeD s'ffirehS selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses The LAPD and the LASD should use training officers who have a more inclusive attitude toward other ethnic minorities and dissuade patrol training officers from passing on R 12.1 outdated and racially bias procedures. a) X LAPD should source creative strategies and anti-racist curriculum for training officers. b) LASD should source creative strategies and anti-racist curriculum for training officers. All LACY LE agencies and departments should follow California Assembly Bill 748 to the letter of the law. LACY LE oversight R 12.2 X authorities should stop allowing LE to do whatever they please when it comes to releasing BWV. LACY LE agencies should make a more concerted effort to recruit officers who live in or near areas they are assigned to patrol. R 12.3 X LASD should collect racial data on officers to include for consideration when assigning officer patrol locations. LE oversight entities should do their jobs and be outraged at their own failing to hold LE officers and their commanders R 12.4 X accountable for continued unwanted missuses of authority and to deprive citizens of fair treatment under the law. R 12.6 REC Not in final report saiB laicaR gnivlovnI - ECROF FO ESU TNEMECROFNE WAL lareneG rotcepsnI eht fo eciffO .oC selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses All LACY LE agencies and departments should follow California Assembly Bill 748 to the letter of the law. LACY LE oversight R 12.2 X authorities should stop allowing LE to do whatever they please when it comes to releasing BWV. R 12.5 REC Not in final report R 12.6 REC Not in final report R 12.5 REC Not in final report R 12.6 REC Not in final report FO ESU TNEMECROFNE WAL saiB laicaR gnivlovnI - ECROF soL tcirtsiD .oC selegnA soL selegnA yenrottA ytiC eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses Increase the number of EV Charging Stations at all large parking facilities that R 13.1a currently have less than ten percent of their X total parking spaces set up as EV charging stations Request that funding from BOS for the EV Charging Infrastructure be tripled to six R 13.1b X million dollars annually at LAC controlled parking facilities. At the entrance of each large parking facility, install the following signage: "Follow green R 13.2 line to EV Charging Stations" as well as X install a green line from each entrance of the parking facilities to charging station. Install an EV-Only sign and paint the ground R 13.3 "EV-Charging Only" at each charging X station. Train parking personnel to regularly monitor EV Charging Stations and report broken or R 13.4 X missing signs and missing or problematic QR codes to ISD management. Refresh EV-Only ground signs when they R 13.5 X are difficult to read. Enforcement policy of EV Only laws need to be done on a case by case basis. Train parking personnel to recognize that if no EVCS are available, we recommend a paper warning sign be place under the windshield R 13.6 wiper of the gas powered vehicle stating that X their vehicle is in violation of the EV Charging statutes. If an EV is not connected to charging station, then a similar notice should be placed under the windshield wiper of the EV not charging. yrotS "gnikcohS" ehT - .oC selegnA soL NI GNIGRAHC VE kroW cilbuP fo .tpeD & ,.tpeD secivreS lanretnI ,eciffO evitucexE feihC ,srosivrepuS fo draoB selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses It is recommended that after paper warning been placed on a specific vehicle for violation of the EV statute, the next offense R 13.7 X should be enforced with a $100 ticket or that their car be towed or that a boot be placed on the vehicle tire. ISD management to train parking personnel R 13.8 X on parking enforcement protocols. It is recommended that a Wi-Fi extender (strengthens Wi-Fi signal) be placed in areas where repeated Wi-Fi issues occur. R 13.9a X The optimal solution is to install a Wi-Fi booster or repeater to increase Wi-Fi strength to those areas with poor reception. It is recommended that the EV-Optional signs be placed in areas of the weakest Wi- Fi signal for those parking facilities that have R 13.9b X reversible signs reading EV-Optional on one side and the 4 hr. limit with the violation codes on the other side. ISD to examine the feasibility placing Wi-Fi R 13.9c boosters or repeaters in areas with poor X reception. It is recommended that when a charging project is slated to begin that data be collected and recorded on an excel spread sheet. The following information would facilitate incremental improvements to the installation process: a) Actual start date of R 13.10 EV charger project at (address of location). X b) Actual completion date of installation of charging stations. c) Actual date the charging stations come online and are available for charging. d) Actual date when wall signs are installed. e) Actual date when ground signs are installed. yrotS "gnikcohS" ehT - .oC selegnA soL NI GNIGRAHC VE kroW cilbuP fo .tpeD & ,.tpeD secivreS lanretnI ,eciffO evitucexE feihC ,srosivrepuS fo draoB selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses It is recommended that a contract be established with at least one to three reliable repair contractors so that an independent R 13.11 X service provider can respond to a problem if PowerFlex is not able to respond within 48 hours. It is recommended that all DC fast chargers in publicly accessed parking facilities to removed and replaced Level 2 chargers. The DC Fast Chargers should be used R 13.12 X primarily for emergency response electric vehicles, police electric vehicles, public transportation electric vehicles and the LAC Sheriff's electric vehicles. Education is needed for the EV owner to understand how to use the EVCSs. A QR code could be created for EV owners to R 13.13 X provide them with the education that they need to make their EV driving and charging experience seamless and enjoyable. At 145 Broadway, Los Angeles, (Parking Lot 10, the Committee recommends that either R 13.14a the wall and ground signs be remove d or X additional chargers be installed to replace the ones that have been removed. At 11705 Alameda St in Lynwood. Either R 13.14b install EV Chargers where the signs are or X remove the signs At 8300 S Vermont, Los Angeles. Install an R 13.14c X additional 10-20 EVCS. ISD & DPW work together to include EV CS R 13.15 when new or upgraded parking facilities are X being planned. yrotS "gnikcohS" ehT - .oC selegnA soL NI GNIGRAHC VE kroW cilbuP fo .tpeD & ,.tpeD secivreS lanretnI ,eciffO evitucexE feihC ,srosivrepuS fo draoB selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses soL NI GNIGRAHC VE ehT - .oC selegnA yrotS "gnikcohS" fo draoB selegnA soL evitucexE feihC ,srosivrepuS secivreS lanretnI ,eciffO Training of parking facilities managers by ISD is recommended. This training would include: Things to watch for like broken or damaged signs, pealing QR codes on EV R 13.16 Chargers, EVs parked at charging stations X but not charging their vehicle, gas vehicles parked in EV Charging spots. All problems should be reported to parking management who in turn report to ISD management. BOS direct CEO to find funding to meet R 14.1a X staffing needs of DA&C DA&R should report to BOS and CEO with staffing requirements; with special R 14.1b consideration towards creating foundational X program infrastructure and accounting for future opportunities for the Department. DA&C should use sole source contracts to R 14.3 rehire those Creative Strategists with X incomplete and easily revived projects. BOS should direct CEO to find funding for R 14.4a unaddressed strategies outlined in the X Countywide Cultural Policy Strategic Plan. BOS should direct CEO to find remaining funding for partially-funded Strategies R 14.4b X outlined in the Countrywide Cultural Policy Strategic Plan. BOS should direct all Department Heads to engage DA&C to incorporate Countywide R 14.4c Cultural Policy goals, such as, but not X limited to, allocating resources to engage Creative Strategies and other programs strA-non gnitroppuS tsigetartS evitaerC - GNIKAMECALP CIVIC DNA TSITRA snoitcnuF tnemnrevoG srosivrepuS fo draoB .oC selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses BOS should direct all Department Heads to explore incorporating Cultural Policy goals, and especially Creative Strategist, into their operations or service models. Internal R 14.5a X surveys, open calls and program evaluations can help make this determination for allocating departmental resources to engage DA&C programming. BOS should direct all Department Heads to engage with DA&C for guidance, recommendations and development during this exploratory period. BOS direct CEO R 14.5b X and DA&C to designate anticipated staffing and funding needs to properly interface with other Departments regarding the Countywide Cultural Policy. DA&C should create necessary infrastructure (program availability, educational materials, vendor lists, compliance blueprints, and inter- R 14.5c X departmental relations person). We recognized this recommendation cannot be implemented unless DA&C received additional staff positions. BOS should direct CEO to find funding to meet staffing needs for DA&C's cross-sector R 14.7a X work to enable the necessary infrastructure to be set in place. DA&C report to BOS and CEO with staffing requirements to fully-support the cross- R 14.7b sector division; ensure special consideration X regarding potential opportunities for future expansion. BOS and CEO should refer to Strategy 15 in R 14.7c DA&C's 2022 Countrywide Cultural Strategic X Plan for funding and staffing considerations. BOS should direct CEO to find funding to R 14.8 X adopt DA&C's Strategic Plan Strategy 15. snoitcnuF tnemnrevoG strA-non gnitroppuS tsigetartS evitaerC - GNIKAMECALP CIVIC DNA TSITRA srosivrepuS fo draoB .oC selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses BOS and CEO assist Departments in reallocating funding and resources to engage a Creative Strategist in their priority R 14.9a X projects. Direct Departments to find outside sources, if necessary, with consultation with DA&C. Our Committee understands that fully funding of the Strategic Plan and/or the Creative Strategist Program cannot happen overnight. In the interim, BOS direct CEO to R 14.10a X find funding to rehire via sole source contract process Creative Strategist identified by DA&C whose projects would benefit from expansion into all five districts. BOS should direct CEO to find funding for a non-arts grant writer staff position. Much of the Countywide Cultural Policy situates R 14.11 X DA&C in the role of arts facilitator or cultural programing administrator, not as a creative entity itself. BOS and DA&C should direct LACAC to assemble a working group to explore potential outside financial opportunities; fundraising, fund-matching, grant partners, R 14.12 X etc. Commissioners can utilize their professional experience working in the County's creative economy to guide the Department towards guaranteed sources. BOS should direct CEO to find funding for R 14.13 X cross-sector continuity Staffing position. snoitcnuF tnemnrevoG strA-non gnitroppuS tsigetartS evitaerC - GNIKAMECALP CIVIC DNA TSITRA srosivrepuS fo draoB .oC selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses srosivrepuS fo draoB .oC selegnA soL Regarding DA&C's need for an entrepreneurial pivot, BOS should directs all Departments to consult with DA&C to evaluate whether a Creative Strategist shall be utilized or engaged for any and all proposed third-party consulting contracts. R 14.16 Adding an artist would provide grassroots, X people-focused engagement as a compliment to the top-down, analytical lens of a FUSE Fellow's report recommendations. Their pairing would directly support the Cultural Policy's robust vision for the future of County governance. BOS to direct CEO to find funding to meet R 14.1a X staffing needs of DA&C DA&R should report to BOS and CEO with staffing requirements; with special R 14.1b consideration towards creating foundational X program infrastructure and accounting for future opportunities for the Department. DA&R should use sole source contracts to R 14.3 rehire those Creative Strategists with X incomplete and easily revived projects. BOS should direct CEO to find funding for R 14.4a unaddressed strategies lined in the X Countywide Cultural Policy Strategic Plan. BOS should direct CEO to find remaining funding for partially-funded Strategies R 14.4b X outlined in the Countrywide Cultural Policy Strategic Plan. BOS should direct all Department Heads to engage DA&C to incorporate Countywide R 14.4c Cultural Policy goals, such as, but not X limited to, allocating resources to engage Creative Strategies and other programs. snoitcnuF tnemnrevoG strA-non gnitroppuS tsigetartS evitaerC - GNIKAMECALP CIVIC DNA TSITRA reciffO evitucexE feihC .oC selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses DA&C should create necessary infrastructure (program availability, educational materials, vendor lists, compliance blueprints, and inter- R 14.5c X X departmental relations person). We recognized this recommendation cannot be implemented unless DA&C received additional staff positions. BOS should direct CEO to find funding to meet the staffing needs for DA&C's cross- R 14.7a X sector work to enable the necessary infrastructure to be set in place. DA&C report to BOS and CEO with staffing requirements to fully-support the cross- R 14.7b sector division; ensure special consideration X regarding potential opportunities for future expansion. BOS and CEO should refer to Strategy 15 in R 14.7c DA&C's 2022 Countrywide Cultural Strategic X Plan for funding and staffing considerations. BOS should direct CEO to find funding to R 14.8 X adopt DA&C's Strategic Plan Strategy 15. BOS and CEO assist Departments in reallocating funding and resources to engage a Creative Strategist in their priority R 14.9a X projects. Direct Departments to find outside sources, if necessary, with consultation with DA&C. Our Committee understands that fully funding of the Strategic Plan and/or the Creative Strategist Program cannot happen overnight. In the interim, BOS direct CEO to R 14.10a X find funding to rehire via sole source contract process Creative Strategist identified by DA&C whose projects would benefit from expansion into all five districts. snoitcnuF tnemnrevoG strA-non gnitroppuS tsigetartS evitaerC - GNIKAMECALP CIVIC DNA TSITRA reciffO evitucexE feihC .oC selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses BOS should direct CEO to find funding for a non-arts grant writer staff position. Much of the Countywide Cultural Policy situates R 14.11 X DA&C in the role of arts facilitator or cultural programing administrator, not as a creative entity itself. BOS and DA&C should direct LACAC to assemble a working group to explore potential outside financial opportunities; fundraising, fund-matching, grant partners, R 14.12 X etc. Commissioners can utilize their professional experience working in the County's creative economy to guide the Department towards guaranteed sources. BOS should direct CEO to find funding for R 14.13 X cross-sector continuity Staffing position. DA&R should report to BOS and CEO with staffing requirements; with special 14.1b consideration towards creating foundational X program infrastructure and accounting for future opportunities for the Department. DA&C should use sole source contracts to R 14.3 rehire those Creative Strategists with X incomplete and easily revived projects. BOS should direct all Department Heads to engage DA&C to incorporate Countywide R 14.4c Cultural Policy goals, such as, but not X limited to, allocating resources to engage Creative Strategies and other programs. DA&C should create necessary infrastructure (program availability, educational materials, vendor lists, compliance blueprints, and inter- R 14.5c X departmental relations person). We recognized this recommendation cannot be implemented unless DA&C received additional staff positions. snoitcnuF tnemnrevoG strA-non gnitroppuS tsigetartS evitaerC - GNIKAMECALP CIVIC DNA TSITRA reciffO evitucexE feihC .oC selegnA soL erutluC & strA fo .tpeD eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses DA&C should expand preparatory period timelines from six to twelve months, given the project's scope. Build in clause to allow R 14.6 X for additional time if necessary, recognizing that Creative Strategists should be engaged for a minimum of two years. BOS should direct CEO to find funding to meet the staffing needs for DA&C's cross- R 14.7a X sector work to enable the necessary infrastructure to be set in place. DA&C report to BOS and CEO with staffing requirements to fully-support the cross- R 14.7b sector division; ensure special consideration X regarding potential opportunities for future expansion. BOS and CEO should refer to Strategy 15 in R 14.7c DA&C's 2022 Countrywide Cultural Strategic X Plan for funding and staffing considerations. BOS and CEO assist Departments in reallocating funding and resources to engage a Creative Strategist in their priority R 14.9a X projects. Direct Departments to find outside sources, if necessary, with consultation with DA&C. Our Committee understands that fully funding the Strategic Plan and/or the Creative Strategist program cannot happen R 14.10b overnight. In the interim, DA&C should X review the completed Creative Strategist residencies and assess which projects could be re-implemented. BOS should direct CEO to find funding for a non-arts grant writer staff position. Much of the Countywide Cultural Policy situates R 14.11 X DA&C in the role of arts facilitator or cultural programing administrator, not as a creative entity itself. snoitcnuF tnemnrevoG strA-non gnitroppuS tsigetartS evitaerC - GNIKAMECALP CIVIC DNA TSITRA erutluC & strA fo .tpeD eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses BOS and DA&C should direct LACAC to assemble a working group to explore potential outside financial opportunities; fundraising, fund-matching, grant partners, R 14.12 X etc. Commissioners can utilize their professional experience working in the County's creative economy to guide the Department towards guaranteed sources. BOS should direct CEO to find funding for R 14.13 X cross-sector continuity Staffing position. DA&C should build out a paid "item menu" of specialized services (ex. Cross-sector R 14.15a local jurisdictional exchange); including but X not limited to expansion of impact and grant- matching. DA&C should direct LACAC to investigate R 14.15b alternative funding sources (Galas, benefits, X bond measures, percentage tax allocations). Regarding DA&C's need for an entrepreneurial pivot, BOS should directs all Departments to consult with DA&C to evaluate whether a Creative Strategist shall be utilized or engaged for any and all proposed third-party consulting contracts. R 14.16 Adding an artist would provide grassroots, X people-focused engagement as a compliment to the top-down, analytical lens of a FUSE Fellow's report recommendations. Their pairing would directly support the Cultural Policy's robust vision for the future of County governance. snoitcnuF tnemnrevoG strA-non gnitroppuS tsigetartS evitaerC - GNIKAMECALP CIVIC DNA TSITRA erutluC & strA fo .tpeD eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses County should draft an ordinance for R 15.1 X retrofitting soft-story first floor buildings. County should extend the proposed non- R 15.2 ductile retro-fit to buildings of every height, X not just those over 75 feet. All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.6 X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. LAC CEO should develop and earthquake R 15.7 X recovery/resilience plan. The Medical Examiner should make/update their emergency plans to include no ground access to the Antelope Valley (Lancaster, Palmdale). Where will autopsies and exams R 15.12 X be done? Where will mutual and volunteers from other medical examiners work, eat, park their vehicles? How can people work without water or electricity? !"enO" giB eht evivruS ot woH - SSENIDAER YTEFAS EKAUQHTRAE srosivrepuS fo draoB .oC selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses County should draft an ordinance for R 15.1 X retrofitting soft-story first floor buildings. County should extend the proposed non- R 15.2 ductile retro-fit to buildings of every height, X not just those over 75 feet. Once the cost estimate is complete LAC PW should develop a Request for Proposal (RFP) to gain detailed cost estimates. Once R 15.6 X the RFP is complete LAC CEO should solicit bids for Hall of Administration retrofit project and chose winning bidder. LAC CEO should develop and earthquake R 15.7 X recovery/resilience plan. The Medical Examiner should make/update their emergency plans to include no ground access to the Antelope Valley (Lancaster, Palmdale). Where will autopsies and exams R 15.12 X be done? Where will mutual and volunteers from other medical examiners work, eat, park their vehicles? How can people work without water or electricity? !"enO" giB eht evivruS ot woH - SSENIDAER YTEFAS EKAUQHTRAE renimaxE lacideM fo .tpeD ,.oC selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses County should draft an ordinance for R 15.1 X retrofitting soft-story first floor buildings. County should extend the proposed non- R 15.2 ductile retro-fit to buildings of every height, X not just those over 75 feet. LAC PW should complete design phase for R 15.3 earthquake safety retrofit for Hall of X Administration. Once the design phase for the earthquake safety/seismic retrofit is complete for the R 15.4 X Hall of Administration LAC PW should develop a project schedule. Once the design phase for the Hall of R 15.5 Administration is complete LAC PW should X obtain a cost estimate. Once the cost estimate is complete LAC PW should develop a Request for Proposal (RFP) to gain detailed cost estimates. Once R 15.6 X the RFP is complete LAC CEO should solicit bids for Hall of Administration retrofit project and chose winning bidder. !"enO" giB eht evivruS ot woH - SSENIDAER YTEFAS EKAUQHTRAE skroW cilbuP fo .tpeD eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses lanretnI fo .oC selegnA soL .tpeD secivreS The County should buy enough radio or satellite phones so that each agency and city referenced in the Responses section has at least two phones. ISD should track who the phones are assigned to, provide R 15.13 X video or written training for how to use the phones, and ask that the agency or city use them in their annual ShakeOut Drill as well as export their success/failure to ISD each year. eriF .oC selegnA soL tnemtrapeD The Medical Examiner should make/update their emergency plans to include no ground access to the Antelope Valley (Lancaster, Palmdale). Where will autopsies and exams R 15.12 X be done? Where will mutual and volunteers from other medical examiners work, eat, park their vehicles? How can people work without water or electricity? selegnA soL fo troP The LA and Long Beach ports should make/update plans for cargo that needs to be moved, especially perishables, when R 15.14 roads and railways out of the county may be X damaged. They also need to create/update their plans for damage in their harbors, including things that could possibly fall over. hcaeB gnoL fo troP The LA and Long Beach ports should make/update plans for cargo that needs to be moved, especially perishables, when R 15.14 roads and railways out of the county may be X X damaged. They also need to create/update their plans for damage in their harbors, including things that could possibly fall over. !"enO" giB eht evivruS ot woH - SSENIDAER YTEFAS EKAUQHTRAE eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses selegnA soL fo ytiC The City of Los Angeles is requested to commend on each of its 18 goals in their "Resilience By Design Plan" as to any R 15.8 misunderstandings the Civil Grand Jury may X have had as well as progress that has been made that was not mentioned. This is meant to help those who build on this in the future. selegnA soL & retaW fo .tpeD rewoP The City of Los Angeles's DWP should continue to work on water transport and R 15.9 X storage, especially in regards to putting out fires. Long Beach, Santa Clarita, Glendale, Lancaster, and Palmdale should inventory their buildings to determine if they have R15.10 X enough need in their city for retrofitting buildings of certain types. If So, create appropriate ordinances. If there is a lot of damage to building, more building inspectors would be needed. Plan for how temporary inspectors will be obtained and how they will be assigned, R 15.15 X keeping in mind that businesses in the medical field should be inspected first, followed by those who were enrolled in the Back to Business program. !"enO" giB eht evivruS ot woH - SSENIDAER YTEFAS EKAUQHTRAE hcaeB gnoL fo ytiC eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses Long Beach, Santa Clarita, Glendale, Lancaster, and Palmdale should inventory their buildings to determine if they have R 15.10 X enough need in their city for retrofitting buildings of certain types. If So, create appropriate ordinances. If there is a lot of damage to building, more building inspectors would be needed. Plan for how temporary inspectors will be obtained and how they will be assigned, R 15.15 X keeping in mind that businesses in the medical field should be inspected first, followed by those who were enrolled in the Back to Business program. Long Beach, Santa Clarita, Glendale, Lancaster, and Palmdale should inventory their buildings to determine if they have R 15.10 X enough need in their city for retrofitting buildings of certain types. If So, create appropriate ordinances. If there is a lot of damage to building, more building inspectors would be needed. Plan for how temporary inspectors will be obtained and how they will be assigned, R 15.15 X keeping in mind that businesses in the medical field should be inspected first, followed by those who were enrolled in the Back to Business Program. !"enO" giB eht evivruS ot woH - SSENIDAER YTEFAS EKAUQHTRAE atiralC atnaS fo ytiC eladnelG fo ytiC eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses Long Beach, Santa Clarita, Glendale, Lancaster, and Palmdale should inventory their buildings to determine if they have R 15.10 X enough need in their city for retrofitting buildings of certain types. If So, create appropriate ordinances. If there is a lot of damage to building, more building inspectors would be needed. Plan for how temporary inspectors will be obtained and how they will be assigned, R 15.15 X keeping in mind that businesses in the medical field should be inspected first, followed by those who were enrolled in the Back to Business Program. If there is a lot of damage to buildings, more building inspectors would be needed. Plan for how temporary inspectors will be obtained and how they will be assigned, R 15.10 X keeping in mind that businesses in the medical field should be inspected first, followed by those who were enrolled in the Back to Business Program If there is a lot of damage to building, more building inspectors would be needed. Plan for how temporary inspectors will be obtained and how they will be assigned, R 15.15 X keeping in mind that businesses in the medical field should be inspected first, followed by those who were enrolled in the Back to Business Program. !"enO" giB eht evivruS ot woH - SSENIDAER YTEFAS EKAUQHTRAE retsacnaL fo ytiC eladmlaP fo ytiC eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses The Cities of Industry and Vernon should consider having a Back to Business R 15.11 program to benefit the large number of X businesses in their cities and to help the economy recover. If there is a lot of damage to building, more building inspectors would be needed. Plan for how temporary inspectors will be obtained and how they will be assigned, R 15.15 X keeping in mind that businesses in the medical field should be inspected first, followed by those who were enrolled in the Back to Business program. The Cities of Industry and Vernon should consider having a Back to Business R 15.11 program to benefit the large number of X X businesses in their cities and to help the economy recover. If there is a lot of damage to building, more building inspectors would be needed. Plan for how temporary inspectors will be obtained and how they will be assigned, R 15.15 X keeping in mind that businesses in the medical field should be inspected first, followed by those who were enrolled in the Back to Business program. !"enO" giB eht evivruS ot woH - SSENIDAER YTEFAS EKAUQHTRAE yrtsudnI fo ytiC nonreV fo ytiC eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses .tpeD eriF arbmahlA All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. .tpeD eriF aidacrA All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. !"enO" giB eht evivruS ot woH - SSENIDAER YTEFAS EKAUQHTRAE eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses .tpeD eriF slliH ylreveB All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. .tpeD eriF knabruB All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. !"enO" giB eht evivruS ot woH - SSENIDAER YTEFAS EKAUQHTRAE eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses .tpeD eriF notpmoC All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English . Add "refresher" classes for those that were previously trained. When responding please indicate the 15.16 X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO) The Dept. of Sustainability should include this information in their annual reports. .tpeD eriF yenwoD All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. !"enO" giB eht evivruS ot woH - SSENIDAER YTEFAS EKAUQHTRAE eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses .tpeD eriF eladnelG All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. .tpeD eriF hcaeB gnoL All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When R 15.16 responding please indicate the languages X that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. !"enO" giB eht evivruS ot woH - SSENIDAER YTEFAS EKAUQHTRAE eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses .tpeD eriF selegnA soL All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. .tpeD eriF ollebetnoM All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. !"enO" giB eht evivruS ot woH - SSENIDAER YTEFAS EKAUQHTRAE eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses .tpeD eriF yeretnoM All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English . Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X languages that would be included. By august 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO) The Dept. of Sustainability should include this information in their annual reports. .tpeD eriF anedasaP All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. !"enO" giB eht evivruS ot woH - SSENIDAER YTEFAS EKAUQHTRAE eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses .tpeD eriF hcaeB odnodeR All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. .tpeD eriF acinoM atnaS All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. !"enO" giB eht evivruS ot woH - SSENIDAER YTEFAS EKAUQHTRAE eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses .tpeD eriF erdaM arreiS All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. .tpeD eriF anedasaP htuoS All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. !"enO" giB eht evivruS ot woH - SSENIDAER YTEFAS EKAUQHTRAE eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses .tpeD eriF ecnarroT All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. .tpeD eriF anivoC tseW All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. !"enO" giB eht evivruS ot woH - SSENIDAER YTEFAS EKAUQHTRAE DETENTION COMMITTEE DUTIES Each fiscal year, as mandated by the California Penal Code, section 919 article (b), every Civil Grand Jury must inquire into the condition and management of the public detention centers, jails, and courthouse holding provisions within the County of its purview. Per section 921 of the California Penal Code, the Civil Grand Jury is entitled to free access at all reasonable times to these facilities. It is the responsibility of the Detention Committee to ensure that the Civil Grand Jury makes a good faith effort to visit each of the detention facilities within the County of Los Angeles (County), and makes a record of each facility visited. ACTIVITIES In order to ensure that all detention facilities in the County could be visited, the Detention Committee must assign Civil Grand Jury members to groups, each group consisting of at least two members, and then assign each group to a subset of detention facilities within the County. A spreadsheet containing all such facilities was made, and was used to generate a list of facilities for each group. In addition, the same spreadsheet kept track of all facilities that were visited, the dates of visitations, and the group members who participated in each visit. The 2024-2025 Los Angeles County Civil Grand Jury Members formed seven groups. Each group was comprised of at least two jurors, and was responsible for visiting a subset of the detention centers within the County. In order to minimize travel requirements for individuals, each group represented a particular area of the County, and members were chosen for each group based on the proximity of their homes to the areas visited by the group. For example, the group that visited several detention facilities in the southern reaches of the County was comprised of jurors from Long Beach and San Pedro. Wednesdays were set aside as the day of the week on which detention facilities would be visited. On those Wednesdays that facilities were visited, each group was able to visit between four and six detention sites. Thus, between 28 and 42 sites could be visited each week. Over a period of weeks beginning August 21, 2024 and continuing until September 18, 2024, the Civil Grand Jury was able to physically 1 arrive at 128 detention locations, though not all could be visited. Some sites are no longer in use, and some are closed due to issues that preclude the housing of detainees for the present time. The table below lists the detention facilities and stations visited by the 2024-2025 Los Angeles County Civil Grand Jury. For the purpose of ease of reading, the table begins on the following page. Facility Agency Visited Date Visited 77th Street Community Station LAPD Yes 8/21/2024 7600 S Broadway Los Angeles, CA 90003 (323) 786-5075 Alfred J. McCourtney Juvenile Justice LASD Yes 8/28/2024 Center 1040 W Avenue J Lancaster, CA 93534 (661) 945-6354 Alhambra Courthouse LASD Yes 8/21/2024 150 W Commonwealth Ave Alhambra, CA 91801 (626) 293-2100 Alhambra Police Station City PD Yes 8/21/2024 211 1st St Alhambra, CA 91801 (626) 570-5151 Altadena Station LASD Yes 9/18/2024 780 E Altadena Drive Altadena, CA 91001 (626) 798-1131 Arcadia Police Station City PD Yes 8/28/2024 250 W Huntington Drive Arcadia, CA 91007 (626) 574-5151 Avalon Station LASD Yes 9/11/2024 215 Sumner Ave Avalon, CA 90704 (310) 510-0174 Azusa Police City PD Yes 8/28/2024 725 N Akaneda Ave Azusa, CA 91702 (626) 812-3200 Baldwin Park Police City PD Yes 9/4/2024 14403 E Pacific Ave Baldwin Park, CA 91706 (626) 960-1955 Barry J Nidorf Juvenile Hall LASD Yes 8/21/2024 16350 Filbert St Sylmar, CA 91342 (818) 364-2011 Bell Gardens Police City PD Yes 9/4/2024 7100 Garfield Ave Bell Gardens, CA 90201 (562) 806-7700 3 Facility Agency Visited Date Visited Bell Police City PD Yes 8/28/2024 6326 Pine Ave Remodel in Bell, CA 90201 process (323) 585-1245 Bellflower Courthouse LASD Yes 8/21/2024 10025 Flower St Bellflower, CA 90706 (562) 345-3300 Beverly Hills Courthouse LASD Not in Use 8/21/2024 9555 Burton Way #191 Beverly Hills, CA 90210 (310) 288-1279 Beverly Hills Police City PD Yes 8/28/2024 464 N Rexford Drive Beverly Hills, CA 90210 (310) 550-4951 Burbank Courthouse LASD Yes 9/11/2024 300 E Olive St Burbank, CA 91502 (818) 260-8498 Burbank Police Station City PD Yes 9/11/2024 200 N Third St Burbank, CA 91502 (818) 238-3333 Camp Clinton B Afflerbaugh Probation Yes 9/4/2024 6621 N Stephens Ranch Rd La Verne, CA 91750 (909) 593-4926 Camp Glenn Rockey Probation Yes 9/18/2024 1900 Sycamore Canyon San Dimas, CA 91773 (909) 599-2391 Camp Joseph Paige Probation Yes 9/4/2024 6601 Stephens Ranch Rd La Verne, CA 91750 (909) 593-4921 Camp Vernon Kilpatrick Probation Yes 9/4/2024 427 S Encinal Canyon Rd Malibu, CA 90265 (818) 899-1353 Carson Station LASD Yes 8/21/2024 21356 S Avalon Blvd Carson, CA 90745 (310) 485-3294 4 Facility Agency Visited Date Visited Central Arraignment Courthouse LASD Yes 9/11/2024 429 Bauchet St Los Angeles, CA 90012 (213) 974-6068 Central Community Station LAPD Yes 9/11/2024 215 E 6th St Los Angeles, CA 90014 (213) 486-6606 Central Juvenile Hall LASD No 1605 Eastvale Ave Closed Los Angeles, CA 90033 (323) 226-8611 Century Regional Correction Facility LASD Yes 8/28/2024 11705 S Alameda St 9/4/2024 Lynwood, CA 90262 (323) 568-4500 Cerritos Station LASD Yes 8/21/2024 18135 Bloomfield Ave Cerritos, CA 90703 (562) 860-0044 City of Industry LASD Yes 9/18/2024 150 N Hudson St City of Industry, CA 91744 (626) 330-3322 Clara Shortridge-Foltz Criminal Justice LASD Yes 9/11/2024 Center 210 W Temple St Los Angeles, CA 90012 (213)628-7900 Claremont Police City PD Yes 9/4/2024 570 W Bonita Ave Claremont, CA 91711 (909) 399-5411 Compton Courthouse LASD Yes 8/28/2024 200 W Compton Blvd Compton, CA 90220 (310) 761-4300 Covina Police Department City PD Yes 9/4/2024 444 N Citrus Ave Covina, CA 91733 (626) 331-3391 Crescenta Valley Station LASD Yes 9/18/2024 4554 N Briggs Ave La Crescenta, CA 91214 (818) 248-3464 5 Facility Agency Visited Date Visited Culver City Police City PD Yes 8/21/2024 4040 Duquesne Ave Culver City, CA 90232 (310) 253-6208 Devonshire Community Station LAPD Yes 8/28/2024 10250 Etiwanda Ave Northridge, CA 91325 (818) 832-0622 Dodger Stadium Security Office LAPD Yes 9/11/2024 1000 Elysian Park Los Angeles, CA 90012 (323) 224-2611 Dorothy Kirby Center LASD Yes 9/18/2024 1500 S McDonnell Ave Los Angeles, CA 90022 (323) 981-4301 Downey Courthouse LASD Yes 8/21/2024 7500 Imperial Hwy Downey, CA 90242 (562) 658-0500 Downey Police City PD Yes 8/21/2024 10911 Brookshire Drive #2700 Downey, CA 91502 (562) 861-0771 East Los Angeles Courthouse LASD Yes 9/11/2024 4848 Civic Center Way Los Angeles, CA 90022 (323) 780-2025 Ed Edelman Children’s Court LASD Yes 9/4/2024 201 Centre Plaza Drive #2700 Monterey Park, CA 91754 (323) 307-8098 El Monte Courthouse LASD Yes 8/21/2024 11234 E Valley Blvd El Monte, CA 91731 (626) 401-2298 El Monte Police City PD Yes 8/21/2024 11333 Valley Blvd El Monte, CA 91731 (626) 580-2100 El Segundo Police Station City PD Yes 8/21/2024 348 Main St El Segundo, CA 90245 (310) 524-2200 6 Facility Agency Visited Date Visited Foothill Community Station LAPD Yes 8/21/2024 12670 Osborne St Pacoima, CA 91331 (818) 756-8861 Gardena Police City PD Yes 8/21/2024 1718 162nd St Gardena, CA 90247 (310) 217-9670 George Deukmejian Courthouse LASD Yes 9/4/2024 275 Magnolia Ave Long Beach, CA 90802 (562) 256-3100 Glendale Courthouse LASD Yes 8/28/2024 600 E Broadway Ave Glendale, CA 91206 (818) 265-6400 Glendale Police City PD Yes 8/28/2024 131 N Isabel St Glendale, CA 91206 (818) 548-4840 Glendora Police City PD Yes 8/28/2024 150 S Glendora Ave Glendora, CA 91741 (626) 914-8250 Harbor Community Station LAPD Yes 8/28/2024 2175 John Gibson Blvd San Pedro, CA 90731 (310) 726-7700 Hawthorne Police Station City PD Yes 8/21/2024 12501 Hawthorne Blvd Hawthorne, CA 90250 (310) 675-4444 Hermosa Beach Police City PD Yes 8/21/2024 540 Pier Ave Hermosa Beach, CA 90254 (310) 318-0360 Hollenbeck Community Station LASD Yes 9/11/2024 2111 E 1st St Los Angeles, CA 90033 (323) 342-4100 Hollywood Community Station LAPD Yes 9/11/2024 1358 Wilcox Ave Los Angeles, CA 90028 (213) 972-2971 7 Facility Agency Visited Date Visited Huntington Park Police Station City PD Yes 8/28/2024 6542 Miles Ave Huntington Park, CA 90255 (323) 584-6524 Inglewood Courthouse LASD Yes 8/28/2024 1 E Regent St Inglewood, CA 90301 (310) 419-5132 Inglewood Juvenile Court LASD Yes 8/28/2024 110 E Regent St Inglewood, CA 90301 (310) 419-5255 Inglewood Police Department City PD Yes 8/28/2024 1 W Manchester Ave Inglewood, CA 90301 (310) 412-5211 Inmate Reception Center LASD Yes 9/11/2024 450 Bauchet St Los Angeles, CA 90012 (213) 893-5875 Irwindale Police Station City PD Closed 8/28/2024 505 N Irwindale Ave Irwindale, CA 91706 (626) 430-2244 LA County Fairgrounds Holding Facility Pomona No 9/4/2024 101 W McKinley Ave PD Seasonally Pomona, CA 91768 Open? La Verne Police Department City PD Storage 9/4/2024 2061 3rd St Only? La Verne, CA 91750 (909) 596-1913 LA General Hospital Jail Ward LASD Yes 9/11/2024 2051 Marengo St Los Angeles, CA 90033 (323) 409-1000 Lakewood Police Station LASD Yes 8/21/2024 5130 N Clark Ave Lakewood, CA 90712 (562) 623-3500 Lancaster Sheriff’s Station LASD Yes 8/28/2024 501 W Lancaster Blvd Lancaster, CA 93534 (661) 948-8466 8 Facility Agency Visited Date Visited LAX Courthouse LASD Yes 8/21/2024 11701 S La Cienega Blvd Los Angeles, CA 90045 (310) 725-3000 Lomita Station LASD Yes 8/28/2024 26123 Narbonne Ave Lomita, CA 90717 (310) 539-1661 Long Beach Police Department City PD Yes 9/4/2024 400 W Broadway Long Beach, CA 90802 (562) 570-7260 Los Angeles Airport Police Facility Airport Yes 8/28/2024 9160 Loyola Blvd PD Los Angeles, CA 90045 (424) 646-6100 Los Padrinos Juvenile Hall LASD Yes 8/21/2024 7285 Quill Drive Downey, CA 90242 (562) 940-8681 Lost Hills Station LASD Yes 8/28/2024 27050 Agoura Rd Calabasas, CA 91301 (818) 878-1808 Manhattan Beach Police Facility City PD Yes 8/21/2024 420 15th St Manhattan Beach, CA 90266 (310) 802-5140 Marina Del Rey Station LASD Yes 8/21/2024 13851 Fiji Way Marina Del Rey, CA 90292 (310) 482-6000 Men’s Central Jail LASD Yes 9/11/2024 441 Bauchet St Los Angeles, CA 90012 (213) 974-4921 Mental Health Courthouse LASD Yes 9/11/2024 5925 Hollywood Blvd Los Angeles, CA 90028 (323) 441-1898 Metropolitan Courthouse LASD Yes 9/11/2024 1945 S Hill St Los Angeles, CA 90007 (213) 745-3202 9 Facility Agency Visited Date Visited Metropolitan Detention Center LAPD Yes 9/11/2024 180 N Los Angeles St Los Angeles, CA 90012 (213) 485-0439 Michael D Antonovich Antelope Valley LASD Yes 8/28/2024 Courthouse 42011 4th St Lancaster, CA 93534 (661) 974-7200 Mission Hills Community Station LAPD Yes 8/28/2024 11121 N Sepulveda Blvd Mission Hills, CA 91345 (818) 838-9800 Monrovia Police City PD Yes 8/28/2024 140 E Lime Ave Monrovia, CA 91016 (626) 256-8000 Monterey Park Police City PD Yes 9/4/2024 320 W Newmark Ave Monterey Park, CA 91754 (662) 573-1311 Newton Community Station LAPD Station 8/28/2024 3400 S Central Ave Closed 9/11/2024 Los Angeles, CA 90011 Plumbing (323) 846-6547 Problems North County Correctional Facility LASD Yes 9/4/2024 29340 The Old Road Castaic, CA 91384 (661) 295-7810 North Hollywood Community Station LAPD Yes 9/4/2024 11640 Burbank Blvd North North Hollywood, CA 91601 (818) 623-4016 Northeast Community Station LAPD Yes 9/4/2024 3353 San Fernando Rd Los Angeles, CA 90065 (323) 561-3218 Norwalk Courthouse LASD Yes 9/4/2024 12720 Norwalk Blvd Norwalk, CA 90650 (562) 345-3700 Norwalk Station LASD Yes 9/4/2024 12335 Civic Center Drive Norwalk, CA 90650 (562) 863-8711 10 Facility Agency Visited Date Visited Olympic Community Station LAPD Yes 8/21/2024 1130 S Vermont Ave Los Angeles, CA 90006 (213) 382-9102 Pacific Community Station LAPD Yes 8/21/2024 12312 Culver Blvd Los Angeles, CA 90066 (310) 482-63334 Palmdale Sheriff’s Station LASD Yes 8/28/2024 750 East Ave Q Palmdale, CA 93550 (661) 272-2400 Palos Verdes Police City PD Yes 8/28/2024 340 Palos Verdes Drive Palos Verdes, CA 90274 (310) 378-4211 Pasadena Courthouse LASD Yes 8/28/2024 300 E Walnut St Pasadena, CA 91101 (626) 396-3300 Pasadena Police City PD Yes 8/28/2024 207 N Garfield Ave Pasadena, CA 91101 (626) 744-4501 Pico Rivera Station LASD Yes, 9/4/2024 6631 Passons Blvd Station Pico Rivera, CA 90660 Visited, (562) 848-2421 Jail Closed Pitchess Detention Center East Facility LASD Yes 9/4/2024 29330 The Old Road Castaic, CA 91384 (661) 295-7810 Pitchess Detention Center North Facility LASD Yes 9/4/2024 29320 The Old Road Castaic, CA 91384 (661) 295-8840 Pitchess Detention Center South Facility LASD Yes 9/4/2024 29330 The Old Road Castaic, CA 91384 (661) 295-8840 Pomona Courthouse LASD Yes 9/4/2024 400 W Mission Blvd Pomona, CA 91766 (909) 802-1100 11 Facility Agency Visited Date Visited Pomona Police City PD Yes 9/4/2024 490 W Mission Blvd Pomona, CA 91766 (909) 620-2155 Rampart Community Station LAPD Yes 8/21/2024 1401 W 6th Street Los Angeles, CA 90017 (213) 484-3400 Redondo Beach Police City PD Yes 8/28/2024 401 Diamond St Redondo Beach, CA 90277 (310) 379-2477 San Fernando Courthouse LASD Yes 8/21/2024 900 3rd Street San Fernando, CA 91340 (818) 256-1800 San Fernando Police City PD Yes 8/21/2024 910 1st Street San Fernando, CA 91340 (818) 898-1267 San Gabriel Police City PD Closed. 8/21/2024 625 Del Mar Ave San Gabriel, CA 91776 (626) 308-2828 San Marino Police City PD Yes 8/28/2024 2200 Huntington Drive San Marino, CA 91108 (626) 399-0720 Santa Clarita Courthouse LASD Yes 9/4/2024 23747 W Valencia Blvd Valencia, CA 91355 (661) 253-5600 Santa Clarita Sheriff’s Station LASD Yes 9/4/2024 26201 Golden Valley Road Santa Clarita, CA 91350 (661) 260-4000 Santa Clarita Valley Station LASD Yes 9/11/2024 23740 W Magic Mountain Pkwy Valencia, CA 91355 (661) 253-5699 Santa Monica Courthouse LASD Closed. 8/21/2024 1725 Main St #114 Santa Monica, CA 90401 (310) 260-3515 12 Facility Agency Visited Date Visited Santa Monica Police Station City PD Yes 8/21/2024 333 Olympic Dr. Santa Monica, CA 90401 (323) 395-9931 Sierra Madre Police City PD Yes 8/28/2024 242 W Sierra Madre Blvd Sierra Madre, CA 91024 (626) 355-1414 Signal Hill Police City PD Yes 9/4/2024 2745 Walnut Ave Signal Hill, CA 90755 (562) 989-7200 South Gate Police City PD Yes 8/28/2024 8620 California Ave South Gate, CA 90280 (323) 563-5436 South Pasadena Police City PD Yes 8/28/2024 1422 Mission St South Pasadena, CA 91030 (626) 403-7270 Southwest Community Station LAPD Yes 8/21/2024 1546 Martin Luther King Jr Blvd Los Angeles, CA 90062 (213) 972-7828 Temple City Station LASD Yes 8/21/2024 8838 Las Tunas Drive Temple City, CA 91780 (626) 285-7171 Topanga Community Station LAPD Yes 8/28/2024 21501 Schoenborn St Canoga Park, CA 91304 (818) 756-4800 Torrance Courthouse LASD Yes 8/28/2024 825 Maple Ave Torrance, CA 90503 (310) 787-3700 Torrance Police City PD Yes 8/28/2024 3300 Civic Center Drive Torrance, CA 90503 (310) 328-3456 Twin Towers LASD Yes 9/11/2024 450 Bauchet St Los Angeles, CA 90012 (213) 893-5100 13 Facility Agency Visited Date Visited Van Nuys Community Station LAPD Yes 9/11/2024 6240 Sylmar Ave Van Nuys, CA 91401 (818) 374-9500 Van Nuys Courthouse West LASD Yes 9/11/2024 14400 Erwin St Mall Van Nuys, CA 91401 (818) 989-6900 West Hollywood Station LASD Yes 9/4/2024 780 N San Vicente Blvd West Hollywood 90089 (310) 855-8850 West LA Community Station LAPD Yes 8/21/2024 1663 Butler Ave Los Angeles, CA 90025 (310) 444-0702 West Valley Community Station LAPD Yes 8/28/2024 19020 Vanowen St Reseda, CA 91335 (818) 374-7611 Whittier Police City PD Yes 9/4/2024 13200 Penn St Whittier, CA 90602 (562) 567-9200 Wilshire Community Station LAPD Yes 8/21/2024 4861 W Venice Blvd Los Angeles, CA 90019 (213) 473-0476 14 ACRONYMS Jury 2024 -2025 Los Angeles County Civil Grand Jury LASD Los Angeles County Sheriff’s Department LAPD Los Angeles Police Department City PD For cities within the County other than Los Angeles which have their own police force, the local police department County County of Los Angeles COMMITTEE MEMBERS William Allen, Committee Chair Ken Jefferson, Committee Co-chair Terry Maynes, Committee Secretary Lee Jenkins 15 16 EDIT COMMITTEE REPORT According to California Penal Code 933 (a), each Civil Grand Jury shall submit a Final Report to the Presiding Judge of the Los Angeles Superior Court, which includes the findings, investigations, and the recommendations that concern the Los Angeles County government during the calendar year. DUTIES The 2024-2025 Los Angeles County Civil Grand Jury (Jury) is charged with thoroughly examining the submitted written contents of each Investigative and Standing Committee report before it is submitted to the Edit Committee for potential corrections. The Jury must approve the overall content of the report by a supermajority of its membership. Jury members are encouraged to submit their suggestions for grammatical, factual, and stylistic revisions to the Edit Committee once the content has been approved. The Edit Committee works with Jury members – at the Jury members’ requests – to solve any problems encountered in writing their reports. Once the document has been approved by the Jury, the Edit Committee meets with the committee that produced the original document to discuss any problems encountered during editorial review. The Edit Committee makes suggestions for changes to the written report in order to improve the presentation, but such changes are approved by the committee that created the report. All reports are compiled into the Final Report by the Publication Committee, which creates the layout for the printed proof of the Final Report. The report is submitted to the Presiding Judge of the Los Angeles Superior Court for final approval. For this publication, including this report, the Edit Committee has reviewed and edited every Investigative and Standing Committee report. ACRONYM Jury 2024-2025 Los Angeles County Civil Grand Jury COMMITTEE MEMBERS Bob Nathan, Committee Chair Jenalea Smith, Committee Co-chair Lee Jenkins, Committee Secretary Bill Allen Michele McKinley Margaret Hatfield Jesse Rhines 2 HOSPITALITY COMMITTEE REPORT EXECUTIVE SUMMARY The Hospitality Committee is made up of six members of the Civil Grand Jury. The Hospitality Committee organized social events, provided beverages and supplies, and promoted collegiality among the members which allowed for a general feeling of togetherness and a friendly working environment. By general vote and agreement of the Grand Jury, the Committee established a monthly contribution amount for the general fund. The monies collected were used to buy needed supplies, monthly birthday celebrations and incidentals. Members of the Civil Grand Jury were assigned in teams of two, on rotation, for weekly clean-up duties. Holiday lunches were catered or celebrated in a local establishment. Birthday celebrations were marked with assorted bakery items and/or ice cream brought into the office lunch area. COMMITTEE MEMBERS Lynn Gidlow Co-Chair Margaret Hatfield Co-Chair Wayne Metcalf Co-Treasurer Terry Maynes Co-Treasurer Joel Floyd 1 2 INFORMATION TECHNOLOGY DUTIES The members of the 2024-2025 Los Angeles County Civil Grand Jury (CGJ) were provided touch-screen laptop computing devices, primarily for performing research using the global Internet, creating content to be shared within the CGJ, and creating, editing, and reviewing reports generated by the investigations carried out by the CGJ. The Information Technology Committee (IT) is a small collection of individuals who are experienced in the use of, and interaction with, the programs and operating system provided to the CGJ, and is responsible for assisting the Jury in using the platform and software. That is, IT has NO responsibility for implementing or maintaining information and networking systems, firewalls, databases, virtual private networks, computer hardware or operating system configuration, as one might be misled to expect given the common usage of the acronym IT. The basic responsibilities of IT are to explain things like how to store created content in appropriate locations on the server, how to save and retrieve information downloaded from the Internet, and how to integrate created content with content provided from other sources. In addition, IT was responsible for ensuring that all information stored on the local shared server is backed up on a regular basis. Finally, IT created the templates, agreed upon by the entire Jury, to ensure reports conform to an accepted format, so that the final publication has a uniform appearance. ACTIVITIES In the preceding section, we noted that content shared on the local server must be backed up regularly. IT chose to perform daily backups starting August 6, 2024. Lacking automation software, the backups are performed by copying from the server onto multi-terabyte USB hard drives. There is a complete backup of content and data that is accessible to Jury members for every day that the Jury was in session. IT began by backing up every afternoon, but as the time to back up the server increased beyond fifteen minutes per day, IT began coming in early and backing up before the Jury opened the daily session. This saved the previous day’s work, and did not sacrifice any part of the session during the day. To provide uniformity to reports, IT created templates for Microsoft Word documents that are inserted – by IT – into the Microsoft Word Templates subfolder within each juror’s Documents folder. The templates specify fonts, margins, spacing, and other formatting rules that were agreed upon by a super- majority of jurors. Templates for Standing Committee Reports, and for Investigative Reports were created and provided to Jury members before the writing of reports was begun. Most remaining activities consisted of instructive presentations, assistance to jurors with the usage of laptops and Microsoft Office software, and methodology for documents accepted by the Jury and submitted to the Edit Standing Committee. It was also the job of IT to recognize problems created by faulty hardware, and submit the information to CGJ administrators. RECOMMENDATIONS In order to obscure visibility to content supporting and created for Jury Investigations, the IT committee felt there should be a server volume that is exclusively available to the members of the Jury, and a separate volume that is used to share information between members of the Jury and the administrative staff. This provided a more effective method of keeping research and investigations confidential to the Jury. The new Microsoft SharePoint server was extremely helpful to providing a method that allowed external agencies to get information to the Jury in a way that is confidential and fast. We would ask the administration to consider using the SharePoint portal in a complementary way. SharePoint can be used to create a temporary location, available over the Internet, where an external agent, or external agents, may provide temporary login credentials to access files in the temporary location. This can be used to implement a method for getting documents to informants and agencies that is more secure than electronic mail, faster than postal mail, and in many cases more expedient and cheaper than hand delivery. Finally, on November 5, 2024, IT made a request to Grand Jury administration that the site http://grandjury.co.la.ca.us/ be replaced with a SSL secured site. We include a copy of the request in an appendix. The next Civil Grand Jury might follow-up on this request if it is of interest. ACRONYMS IT The Information Technology Committee CGJ 2024-2025 Los Angeles County Civil Grand Jury Jury 2024 -2025 Los Angeles County Civil Grand Jury USB Universal Serial Bus COMMITTEE MEMBERS William Allen, Committee Chair Nestor Apuya, Co-chair 3
R6: 5 Improve communication and coordination between Medical Center staff, security personnel, and the Sheriff's Department to ensure a consistent and effective response.
R7: LA General and LA Care, in consultation with DHS, should work together to develop a written plan that maximizes LA General’s impact in qualifying eligible Medi-Cal beneficiaries for ECM.
R8: LA General, as an ECM provider, should work with LA Care to generate a study on the effective recruitment of ECM eligible beneficiaries for the purpose of increasing the current 30% success rate in enrolling ECM eligible beneficiaries. 83
R9: The Board of Supervisors should direct DHS to conduct a detailed study of the incremental costs of DHS’s current and anticipated participation in CalAIM as an ECM provider, and the resulting financial benefits to the County and the State.
R10: The Board of Supervisors should direct DHS to conduct a detailed study of the incremental costs of LA General’s anticipated participation in CalAIM as an ECM provider, and the resulting financial and operational benefits to both the County and the State.
R11: LA General and LA Care, in consultation with DHS, should work together to develop strategies to obtain and analyze available data, including data generated by LA General’s ECM patients, for the purpose of evaluating the impact of the CalAIM program on beneficiary well-being and cost reduction.
R12: 11 County of Los Angeles Chief R12.1, R12.2, R12.3, R12.4, R12.5, Executive Office R12.6, R12.7, R12.8, R12.9, R12.10,
R13: The Board of Supervisors should direct the Hospitals and Health Delivery Commission to investigate the potential benefits and structural challenges of the LA County Restorative Care Villages, and make recommendations regarding their organization, management, coordination and operation for the purposes of maximizing high quality care for County patients, especially focusing on: (1) the importance of establishing centralized control and management over each Restorative Care Village, (2) the benefits of each Restorative Care Village effectively communicating and coordinating with its associated County Hospital, (3) the Restorative Care Village’s effective participation in CalAIM, especially in coordination with providers of Community Supports, and (4) the apparent lack of 84 a County-wide vision for the Restorative Care Villages; and the Board of Supervisors should review and respond to such recommendations. 85
R14: 1a X staffing needs of DA&C DA&R should report to BOS and CEO with staffing requirements; with special
R15: 10 X enough need in their city for retrofitting buildings of certain types. If So, create appropriate ordinances. If there is a lot of damage to building, more building inspectors would be needed. Plan for how temporary inspectors will be obtained and how they will be assigned, R 15.15 X keeping in mind that businesses in the medical field should be inspected first, followed by those who were enrolled in the Back to Business program. !"enO" giB eht evivruS ot woH - SSENIDAER YTEFAS EKAUQHTRAE hcaeB gnoL fo ytiC eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses Long Beach, Santa Clarita, Glendale, Lancaster, and Palmdale should inventory their buildings to determine if they have R 15.10 X enough need in their city for retrofitting buildings of certain types. If So, create appropriate ordinances. If there is a lot of damage to building, more building inspectors would be needed. Plan for how temporary inspectors will be obtained and how they will be assigned, R 15.15 X keeping in mind that businesses in the medical field should be inspected first, followed by those who were enrolled in the Back to Business program. Long Beach, Santa Clarita, Glendale, Lancaster, and Palmdale should inventory their buildings to determine if they have R 15.10 X enough need in their city for retrofitting buildings of certain types. If So, create appropriate ordinances. If there is a lot of damage to building, more building inspectors would be needed. Plan for how temporary inspectors will be obtained and how they will be assigned, R 15.15 X keeping in mind that businesses in the medical field should be inspected first, followed by those who were enrolled in the Back to Business Program. !"enO" giB eht evivruS ot woH - SSENIDAER YTEFAS EKAUQHTRAE atiralC atnaS fo ytiC eladnelG fo ytiC eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses Long Beach, Santa Clarita, Glendale, Lancaster, and Palmdale should inventory their buildings to determine if they have R 15.10 X enough need in their city for retrofitting buildings of certain types. If So, create appropriate ordinances. If there is a lot of damage to building, more building inspectors would be needed. Plan for how temporary inspectors will be obtained and how they will be assigned, R 15.15 X keeping in mind that businesses in the medical field should be inspected first, followed by those who were enrolled in the Back to Business Program. If there is a lot of damage to buildings, more building inspectors would be needed. Plan for how temporary inspectors will be obtained and how they will be assigned, R 15.10 X keeping in mind that businesses in the medical field should be inspected first, followed by those who were enrolled in the Back to Business Program If there is a lot of damage to building, more building inspectors would be needed. Plan for how temporary inspectors will be obtained and how they will be assigned, R 15.15 X keeping in mind that businesses in the medical field should be inspected first, followed by those who were enrolled in the Back to Business Program. !"enO" giB eht evivruS ot woH - SSENIDAER YTEFAS EKAUQHTRAE retsacnaL fo ytiC eladmlaP fo ytiC eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses The Cities of Industry and Vernon should consider having a Back to Business R 15.11 program to benefit the large number of X businesses in their cities and to help the economy recover. If there is a lot of damage to building, more building inspectors would be needed. Plan for how temporary inspectors will be obtained and how they will be assigned, R 15.15 X keeping in mind that businesses in the medical field should be inspected first, followed by those who were enrolled in the Back to Business program. The Cities of Industry and Vernon should consider having a Back to Business R 15.11 program to benefit the large number of X X businesses in their cities and to help the economy recover. If there is a lot of damage to building, more building inspectors would be needed. Plan for how temporary inspectors will be obtained and how they will be assigned, R 15.15 X keeping in mind that businesses in the medical field should be inspected first, followed by those who were enrolled in the Back to Business program. !"enO" giB eht evivruS ot woH - SSENIDAER YTEFAS EKAUQHTRAE yrtsudnI fo ytiC nonreV fo ytiC eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses .tpeD eriF arbmahlA All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. .tpeD eriF aidacrA All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. !"enO" giB eht evivruS ot woH - SSENIDAER YTEFAS EKAUQHTRAE eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses .tpeD eriF slliH ylreveB All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. .tpeD eriF knabruB All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. !"enO" giB eht evivruS ot woH - SSENIDAER YTEFAS EKAUQHTRAE eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses .tpeD eriF notpmoC All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English . Add "refresher" classes for those that were previously trained. When responding please indicate the 15.16 X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO) The Dept. of Sustainability should include this information in their annual reports. .tpeD eriF yenwoD All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. !"enO" giB eht evivruS ot woH - SSENIDAER YTEFAS EKAUQHTRAE eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses .tpeD eriF eladnelG All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. .tpeD eriF hcaeB gnoL All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When R 15.16 responding please indicate the languages X that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. !"enO" giB eht evivruS ot woH - SSENIDAER YTEFAS EKAUQHTRAE eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses .tpeD eriF selegnA soL All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. .tpeD eriF ollebetnoM All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. !"enO" giB eht evivruS ot woH - SSENIDAER YTEFAS EKAUQHTRAE eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses .tpeD eriF yeretnoM All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English . Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X languages that would be included. By august 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO) The Dept. of Sustainability should include this information in their annual reports. .tpeD eriF anedasaP All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. !"enO" giB eht evivruS ot woH - SSENIDAER YTEFAS EKAUQHTRAE eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses .tpeD eriF hcaeB odnodeR All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. .tpeD eriF acinoM atnaS All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. !"enO" giB eht evivruS ot woH - SSENIDAER YTEFAS EKAUQHTRAE eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses .tpeD eriF erdaM arreiS All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. .tpeD eriF anedasaP htuoS All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. !"enO" giB eht evivruS ot woH - SSENIDAER YTEFAS EKAUQHTRAE eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses .tpeD eriF ecnarroT All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. .tpeD eriF anivoC tseW All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. !"enO" giB eht evivruS ot woH - SSENIDAER YTEFAS EKAUQHTRAE
Hallazgos & Recomendaciones 39 hallazgos
F1: When developing new communities and housing projects, little consideration is paid to the healthcare needs of the increasing local population. Water, sewer, roads, electrical, and other utilities are mandated to be part of the development plan that is submitted to the city and/or County.
F1A: State Mandated Service Reimbursement Rates make it difficult for Regional Centers and their contracted service providers to hire and retain qualified staff.
F1B: The difficulty outlined in Finding #1A is compounded by the large numbers of multi-lingual Regional Center consumers which necessitates the hiring of multi- lingual case workers. In Los Angeles County, according to the US Census, non- English and bilingual speakers make up 56% of the population.40
F2: There is no organized exchange of best practices among the major medical centers, even though they all face similar problems with crowding and APOT.84 84 In-person meeting with ED Medical, ED Nursing, and ED Public Health staff of LA General, November 13, 2024. 24
F3: The length of the contract made between the County and EMT Companies is negotiated for a period of ten years. It is difficult to project increased costs for such a long period of time.
F4: The City and County have Advanced Responder Transports, which include a Nurse Practitioner in the Paramedic Ambulances. The County and City Fire Departments initiated these programs on a trial basis, and reported that they were effective and life-saving. Unfortunately no statistics were available to determine the true efficacy of these programs.
F5: The discharge process is lengthy and complicated, particularly for individuals with special needs. The ED operates on a 24/7 basis, but many other departments and supporting services do not. The discharge process includes assisting individuals with special needs, e.g. elderly patients, mental illness, and those who are unhoused.
F6: A discharge lounge for patients without special needs helps to accelerate the discharge process for such patients. Such patients can be fast-tracked for a more speedy discharge.
F7: Harbor-UCLA Medical Center ED has adopted the practice of having a nurse accompany an ER patient through a course of diagnostic procedures to expedite the collection of patient data for the eventual attending physician. This keeps the patient engaged in their own well-being and lessens the number of patients who leave without being seen. Studies have shown that patients who leave without being seen by a physician contribute to ER Crowding, and thus to extended APOT. 25
F8: Ambulance emergency medical technicians are precluded from working within a hospital. However, County EMS indicated that Emergency Medical Technicians can be hired to work in the ER.
F9: When an ED adds an additional triage station during peak hours, it helps to alleviate ER crowding later in the day and evening.85
F10: Physician or Surgeon assisted triage helps to optimize walk-in and trauma patients’ visits to the ER. Low severity walk-in patients can often be referred to an urgent care center after appropriate stabilization, and Physician assisted triage helps to optimize patient throughput. 85 https://www.sciencedirect.com/science/article/pii/S1755599X24000946, Accessed January 2, 2025 26
F11: Based on the 2023 and 2024 water analyses 30 data reported by 25 California Water Service 20 Company - Leona Valley 15 (PWSID: CA1910243), 10 5 the waters from their 0 several sources were being blended and treated. However, the treated water still had Finding Figure 11.1. Bromodichloromethane contamination of several organic the water source of California Water Service Company - Leona compounds including Valley. bromodichloromethane (see Finding Figure 11.1). Note that the recommended MCLG set by the EPA for this compound is zero. Other volatile organic compounds were also detected at levels below the recommended MCL (data not shown). The Jury inquired as to the possible source of bromodichloromethane and what treatment California Water Service is doing for its removal or reduction. Representative from the district returned the call and informed the Jury that somebody would call to answer the question.76 The Jury did not receive a call back. Calls on November 19 and 20, 2024 34 )L/gn( tnuomA Bromodichloromethane, Treated Water Sampling Date
F12: The well source of Amarillo Mutual Water 70 Company (PWSID: 60 CA1910002; located in 50 Rosemead) is 40 contaminated with a 30 20 number of volatile organic 10 compounds including 0 tetrachloroethylene (see Finding Figure 12.1). Amarillo Mutual has acknowledged that there Finding Figure 12.1. Tetrachloroethylene contamination of have been problems with water source in Amarillo Mutual Water Company. the water quality from its source for several years now. They draw their water from Well #1 which is pulled from the aquifer that is shared by several users. Well #1 is located near where the contaminants are concentrated. Since the water is contaminated, Amarillo Mutual purchases water from the San Gabriel water district for distribution to its customers.77 A superfund called the El Monte superfund was established to clean up the site of the contamination several years ago. It is called the El Monte superfund and is managed by San Gabriel Basin Water Quality Authority (WQA).78 The aquifer is swept by WQA periodically and the contaminants get moved to the North East end of the aquifer.77 Amarillo Mutual has installed an activated carbon filter to absorb the problematic chemicals from the water and it is working to bring down the numbers to an undetectable level.79 This costs the water district more than $1 million. Amarillo Mutual has applied for reimbursement from the California State Water Board but their application was denied.80 77 Interviewee from Amarillo Mutual Water Company, October 24, 2024 78 Source: https://wqa.com/about/, Accessed: December 16, 2024 79 Based on the water analysis data provided by Interviewee from Amarillo Mutual Water Co., November 4, 2024 80 Interviewee from Amarillo Mutual Water Co., October 24, 2024 35 )L/gu( tnuomA Tetrachloroethylene Content, Well 01 Sampling Date
F13: In 2023, the treated water from California State Polytechnic 40 University – Pomona (PWSID: 35 30 CA1910022) water district was 25 20 contaminated with 15 bromodichloromethane (see 10 5 Finding Figure 13.1), whose 0 MCLG is set to zero by the EPA. In addition, the total trihalomethanes (TTHM) content in Finding Figure 13.1. Bromodichloromethane the treated water was above the contamination of treated water in California State 80 ug/L MCL (see Finding Figure Polytechnic University – Pomona. 13.2). Other organic compounds were also detected but were below the MCL. The Jury reached out to CSU- Pomona but the call was not returned.81 Finding Figure 13.2. Total trihalomethane detected in the treated water in California State Polytechnic University – Pomona.
F14: Results from water analysis submitted by Crescenta Valley Water District (CWD; PWSID: CA1910028) in 2023 and 2024 indicate that some of the water wells being used by CWD were contaminated with a number of chemicals including PFOS, PFOA, and nitrate. These are highlighted in Finding Figures 14.1 to 14.3. The MCL for both PFOS and PFOA is 4 ng/L, and for nitrate is 10 mg/L. Call placed on November 15, 2024 36 )L/gu( tnuomA Bromodichloromethane Content, DBPR Sample Sampling Date 120 100 80 60 40 20 0 )L/gu( tnuomA Trihalomethane Content, DBPR Sample Sampling Date 25 20 15 10 5 0 Finding Figure 14.1. PFOS contamination of wells #8 and #9 of Crescenta Valley Water District. Finding Figure 14.2. PFOA contamination of wells #1 and #8 of Crescenta Valley Water District. Finding Figure 14.3. Nitrate contamination of wells #2 and #5 of Crescenta Valley Water District. CWD mentioned that the possible source of the volatile organic compounds is a superfund site.82 However, while the source of contamination for nitrates is unknown CWD suspects that it is coming from either failing septic tanks or from accumulated fire retardants used in fighting fires or both.83 In addition, CWD mentioned the area was an agricultural area which may have too many nitrates. Interviewee from Crescenta Valley CWD, December 2, 2024 83 Ibid 37 )L/gn( tnuomA PFOS Content, Well 08 6 5 4 3 2 1 0 Sampling Date )L/gn( tnuomA PFOS Content, Well 09 Sampling Date 12 10 8 6 4 2 0 )L/gn( tnuomA PFOA Content, Well 01 25 20 15 10 5 0 Sampling Date )L/gn( tnuomA PFOA Content, Well 08 Sampling Date 12 10 8 6 4 2 0 )L/gm( tnuomA Nitrate Content, Well 02 14 12 10 8 6 4 2 0 Sampling Date )L/gm( tnuomA Nitrate Content, Well 05 Sampling Date For immediate remediation, CWD is purchasing water from Metropolitan Water District and blending it with water from their well to dilute the contaminants. Results of the analysis indicate that the levels of contaminants contained in the blended water are below the specified MCL. They are also testing a pilot plan to treat water using granulated activated carbon or ion exchange to remove the contaminants permanently.84
F15: El Monte City Water District (PWSID: CA1910038) has six wells as sources of water for distribution; five are contaminated with tetrachloroethylene, also known as PCE. In Finding Figure 15.1, four of the wells are highlighted. The levels of PCE were above MCL as indicated in the 2023 and early 2024 analyses. In the case of well #12, the PCE level was about 6.5X of the MCL. 35 30 25 20 15 10 5 0 Finding Figure 15.1. Tetrachloroethylene contamination of some of the water wells of El Monte City Water District. (Note: The y-axes for all graphs are adjusted to be of the same scale.) Other organic compounds, including trichloroethylene, were also detected above the MCL level (see Finding Figure 15.2). Ibid 38 )L/gu( tnuomA Tetrachloroethylene Content, Well 03 35 30 25 20 15 10 5 0 Sampling Date )L/gu( tnuomA Tetrachloroethylene Content, Well 12 Sampling Date 35 30 25 20 15 10 5 0 )L/gu( tnuomA Tetrachloroethylene Content, Well 15 35 30 25 20 15 10 5 0 Sampling Date )L/gu( tnuomA Tetrachloroethylele Content, Well 16 Sampling Date The source of contamination appears to be the superfund site that is being managed by the San Gabriel Basin Water Quality Authority (WQA).85 El Monte City Water District installed a granular activated carbon treatment system to filter the water before it enters the supply lines. The treated water has reduced levels of contaminants.86 This is evident in Finding Figure 15.3. El Monte City Water District applied for reimbursement from the EPA funds through WQA. 70 60 50 40 30 20 10 0 Finding Figure 15.2. Trichloroethylene contamination of some of the water wells of El Monte City Water District. Finding Figure 15.3. Reduction of trichloroethylene contamination after water treatment in El Monte City Water District. Interviewee from El Monte City Water District, December 2, 2024 86 Ibid 39 )L/gu( tnuomA Trichloroethylene Content, Well 02 14 12 10 8 6 4 2 0 Sampling Date )L/gu( tnuomA Trichloroethylene Content, Well 14 Sampling Date 14 12 10 8 6 4 2 0 )L/gu( tnuomA Trichloroethylene Content, Well 15 40 35 30 25 20 15 10 5 0 Sampling Date )L/gu( tnuomA Trichloroethylene Content, Well 16 Sampling Date 7.00 6.00 5.00 4.00 3.00 2.00 1.00 0.00 )L/gu( tnuomA Trichloroethylene Content, Effluent (Treated Water) Sampling Date
F16: Nitrate, perchlorate, carbon tetrachloride, and volatile organic compounds are found to be present in the water sources used by Lincoln Avenue Water Co. (PWSID: CA1910063; located in Altadena). In 2023 and 2024 analyses, the levels of these contaminants were below MCL (data not shown). Lincoln Avenue Water is using appropriate steps to resolve the problem. Treatment facilities were installed (ionic exchanger and granular activated carbon) to remove the VOCs.87 Hence, water being distributed by Lincoln Avenue Water to its consumers is up to the EPA and California standards. A possible source of the volatile organic compounds that are present in the district’s water wells is NASA JPL site.88 This has been considered a superfund site since the 1980s.89
F17: There are three wells currently 1 2 8 0 16 being used by 14 12 10 Lynwood Park 8 6 4 Mutual Water 2 0 Co. (PWSID: CA1910081; located in Compton) as Finding Figure 17.1. PFOS contamination of water wells of sources of Lynwood Park Mutual Water Co. water for their customers. Based on 2023 and 2024 analyses, the wells contained PFOS (see Finding Figure 17.1) and PFOA (see Finding Figure 17.2) that were above the MCL (4 ng/L for both PFOS and PFOA). In the case of PFOS, it was about 4X the MCL standard. Other volatile organic compounds 87 Interviewee from Lincoln Avenue Water Co., November 13, 2024 88 Ibid 89 Ibid 40 )L/gn( tnuomA PFOS Content, Well 01 20 18 16 14 12 10 8 6 4 2 0 Sampling Date )L/gn( tnuomA PFOS Content, Well 02 Sampling Date 20 18 16 14 12 10 8 6 4 2 0 )L/gn( tnuomA PFOS Content, Well 03 Sampling Date (e.g., tetrachloroethylene and trichloroethylene) were also detectable but below MCL (data not shown). Lynwood Park Mutual does not know the 8 7 source of the contamination. As far as 6 5 they know, no superfund site is 4 involved.90 They are developing a plan to 3 2 assess the source of the contamination. 1 0 As of this report writing, Lynwood Park is still in the process of drafting a plan and finding a suitable solution to install a treatment system that will remove the contaminants. Accordingly, the cost is quite prohibitive.91 There was no effluent or treated water analysis data submitted by Lynwood Park Mutual to California State Water Resources Control Board (CSWRCB). Finding Figure 17.2. PFOA contamination of water wells of Lynwood Park Mutual Water Co.
F18: PFOA and PFOS are two of the major contaminants found in the source wells being used by Pico Water District (PWSID: CA1910125; located in Pico Rivera) at a level way above their MCL (4 ng/L) set by the EPA. These are highlighted in Finding Figures 18.1 and 18.2. At some point in 2023 and 2024, the PFOA and PFOS levels were about 3X and 6X the MCL, respectively. Interviewee from Lynwood Park Mutual Water Co., November 19, 2024 91 Ibid, January 14, 2025 41 )L/gn( tnuomA PFOA Content, Well 01 Sampling Date 8 7 6 5 4 3 2 1 0 )L/gn( tnuomA PFOA Content, Well 02 Sampling Date 8 7 6 5 4 3 2 1 0 )L/gn( tnuomA PFOA Content, Well 03 Sampling Date 16 14 12 10 8 6 4 2 0 Finding Figure 18.1. PFOA contamination of some of the water wells of Pico Water District. Finding Figure 18.1. PFOS contamination of some of the water wells of Pico Water District. The amount of PFOA is above the Response Level (10 ng/L) set by California State Water Board, which triggered the Pico Water District to issue a notification to its customers about PFOA and its health effects (see Finding Figure 18.2). 42 )L/gn( tnuomA PFOA Content, Well 05 16 14 12 10 8 6 4 2 0 Sampling Date )L/gn( tnuomA PFOA Content, Well 08 Sampling Date 16 14 12 10 8 6 4 2 0 )L/gn( tnuomA PFOA Content, Well 10 16 14 12 10 8 6 4 2 0 Sampling Date )L/gn( tnuomA PFOA Content, Well 11 Sampling Date 30 25 20 15 10 5 0 )L/gn( tnuomA PFOS Content, Well 05 30 25 20 15 10 5 0 Sampling Date )L/gn( tnuomA PFOS Content, Well 08 Sampling Date 25 20 15 10 5 0 )L/gn( tnuomA PFOS Content, Well 10 20 18 16 14 12 10 8 6 4 2 0 Sampling Date )L/gn( tnuomA PFOS Content, Well 11 Sampling Date A possible source of the contaminants is not clear. Their wells are presumably near the location that used to be occupied by Northrop Corp.92 Pico Water District purchased three new treatment plants (ion exchangers) and these have been installed since 2023. These cost them millions of dollars. They applied for a permit to begin using the treatment plants. The district had been waiting for at least a year now for the Division of Drinking Water of the California State Resource Control Board to issue the permit.93 Finding Figure 18.2. Copy of the notification letter issued on June 22, 2024 by the Pico Water District (PWSID: CA1910125) to its customers as a result of PFOA reaching above the Response Level of 10 ng/L. Interviewee from Pico Water District, November 5, 2024 93 Ibid 43
F19: Nitrates appear to be ubiquitous in wells being used Cal/Am Water 12 Company - San Marino (PWSID: 10 CA1910139). In 2023 and 2024, 8 the nitrate content of one of its 6 4 wells was approaching the MCL 2 (Finding Figure 19.1). Based on 0 the water analysis they submitted to California State Water Resources Control Board (CSWRCB), the district appears Finding Figure 19.1. Nitrate content in one of the to be blending water from wells being used by Cal/Am Water Company - San Marino different wells to significantly reduce the amount of nitrates in water for distribution. The water analysis also indicates that bromodichloromethane was significantly higher than the recommended MCL for this chemical which is zero. Finding Figure 19.2. Bromodichloromethane content in water treatment in Cal/Am Water Company - San Marino. 44 )L/gm( tnuomA Nitrate Content, Winston Well Sampling Date 16 14 12 10 8 6 4 2 0 )L/gu( tnuomA 3202/42/2 3202/42/2 3202/42/2 3202/42/2 3202/62/5 3202/62/5 3202/62/5 3202/62/5 3202/22/8 3202/22/8 3202/22/8 3202/22/9 3202/12/11 3202/12/11 3202/12/11 3202/12/11 4202/32/2 4202/32/2 4202/32/2 4202/32/2 4202/42/5 4202/42/5 4202/42/5 LCM Bromodichloromethane Content, DBPR Sampling Date
F20: South Montebello Irrigation District (PWSID: CA1910153) has three wells as water 35 30 sources. Based on the results 25 of water analysis in 2023-2024, 20 15 all of the three wells were 10 contaminated with PFOS and 5 0 PFOA at about 5X and 3X the recommended MCL, respectively (see Finding Figures 20.1 and 20.2). Finding Figure 20.1. PFOS contamination in water wells of South Montebello Irrigation District. South Montebello Irrigation District (SMID) is aware of the presence of these chemicals.94 According to SMID, the aquifer associated with their wells are contaminated. They do not know the source of these contaminants but they suspect that the sources are the run-off from fire-fighting foam retardants Finding Figure 20.2. PFOA contamination in water used in the hills above wells of South Montebello Irrigation District. Montebello that washed into the Rio Hondo River and then into the aquifer. They have been told by the Fire Department that the current water retardants no longer have these chemicals. SMID has issued notification warning to their customers about these contaminants.95 They are drawing up plans to remediate the problem including installation of water treatment and creation of new wells and a new emergency generator. They believe that these plans will be implemented starting in 2026.96 94 Interviewee from South Montebello Irrigation District, February 5, 2025 95 Source: https://smid.specialdistrict.org/files/f11e9aa63/SMID+PFA+Notification+9-5-24.pdf. Accessed: February 5, 2025 96 Interviewee from South Montebello Irrigation District, February 5, 2025 45 )L/gn( tnuomA PFOS Content, Wells 03 (black), 05 (white), 07 (striped bars) Sampling Date 14 12 10 8 6 4 2 0 )L/gn( tnuomA PFOA Content, Wells 03 (black), 05 (white), 07 (striped bars) Sampling Date
F21: Based on their submitted water analysis report in 2023-2024, results indicate that one (Well #2) of the wells being used by the City of South Pasadena Water Department (PWSID: CA1910154) was contaminated with tetrachloroethylene (or PCE) at a level 3X the MCL (see Finding Figure 21.1, upper panel). In the previous years (2015 to 2022), this chemical was also detected above MCL in Well #2 (see lower panel of Finding Figure 21.1). The other wells also contained tetrachloroethylene that was below MCL (data not shown). There was no data 20 18 submitted to the California 16 14 State Water Resources 12 10 Control Board (CSWRCB) 8 6 4 regarding 2 0 tetrachloroethylene content in treated (effluent) water. According to the City of South Pasadena Water Department, water from this well is just being monitored but not being used for distribution to consumers. Hence, there is no treated water sample available from this well. The source of PCE in their Finding Figure 21.1. Tetrachloroethylene contamination water system is the San of Well #2 of City of South Pasadena Water Dept. from 2015 to 2024. Gabriel Water Basin, where a number of superfund sites are located. The Basin serves as the water source for some of the wells of City of South Pasadena Water Dept.98 Aside from PCE, the City has to monitor other organic compounds (e.g., trichloroethylene and 1,2,3-Trichloropropane).99 For this reason, the City had to install treatment facilities (e.g., granulated activated charcoal and ion-exchanger) in 2022 at a cost of about $11.2 million. Interviewee from City of South Pasadena Water Department, February 28, 2025 98 Ibid 99 Ibid 46 )L/gu( tnuomA Tetrachloroethylene Content, Well 02 (2023 -2024) Sampling Date 20 18 16 14 12 10 8 6 4 2 0 )L/gu( tnuomA 5102/6/1 5102/3/2 5102/62/2 5102/3/3 5102/7/4 5102/5/5 5102/02/5 5102/2/6 5102/7/7 5102/4/8 5102/02/8 5102/1/9 5102/1/01 6102/2/2 6102/22/2 6102/1/3 6102/5/4 6102/2/5 6102/9/5 6102/5/7 6102/2/8 6102/21/8 6102/4/01 6102/1/11 6102/12/11 2202/52/5 2202/5/01 2202/1/11 2202/5/21 2202/5/21 LCM Tetrachloroethylene, Well 02 (2015-16 and 2022) Sampling Date
F22: In the 2023-2024 the analysis indicated that nitrates and some volatile organic compounds were detected at some of the wells being used by Sunny Slope Water Company (PWSID: CA1910157) but they were below the corresponding MCL (data not shown). Analyses done in 2019 to 2022 indicated similar results. In addition, data regarding analysis of effluent samples indicates that Sunny Slope is performing treatment of water coming from these wells.
F23: There are two wells being used by Tract 349 Mutual Water Company (PWSID: CA1910160; located in Cudahy). One of them (Well #3) was contaminated with manganese (see Finding Figure 23.1) at 2X the MCL. In addition, the well had has high levels of PFOA (at 2X) and PFOS (at 11X) that are above MCL (see Finding Figure 23.2). Other VOCs were also present in the well but they were below the corresponding MCL (data not shown). Tract 349 was already notified by the State Water Regulatory Board about the high level of manganese in their water.100 However, they have not been notified about the presence of high levels of some VOCs.101 According to Tract 349, Well 120 #4 serves as the 100 water supply 80 source and Well 60 40 #3 is pumped for 20 sampling and for 0 monitoring purposes only and is not part of water supply.102 Finding Figure 23.1. Manganese contamination of one of the The levels of wells of Tract 349 Mutual Water Company manganese and VOCs in Well #4 are below their corresponding MCLs (data not shown). Interviewee from Tract 349 Mutual Water Co., November 18 and 21, 2024 101 Ibid 102 Based on the document submitted by Tract 349 Mutual Water Co., December 14, 2024 47 )L/gu( tnuomA Manganese Content, Well 03 Sampling Date The source of water for the two wells is the groundwater from the Central Basin.103 Manganese is prevalent throughout this basin and it has been present from the time of the formation of Tract 349 in 1912. PFOS and PFOA have been detected in the Central Basin beginning in the late 2010s and were detected in Tract 349’s wells in or about April 2024.104 Tract 349 is drafting a plan to remedy the manganese problem. As part of this plan, they wrote a grant to seek funding from the state of California for the water treatment to remove manganese in Well #4.105
F24: The level of nitrates in some of the wells being used by Valley Water Co. (PWSID: CA1910166; located in La Canada Flintridge) is approaching the MCL (see Finding Figure 24.1). The same can be said about the overall treated water coming from the four wells. 12 10 8 6 4 2 0 Finding Figure 24.1. Nitrate contamination of wells in Valley Water Company. Ibid 104 Ibid 105 Interviewee from Tract 349 Mutual Water Co., November 18 and 21, 2024 48 )L/gm( tnuomA Nitrate Content, Well 04 12 10 8 6 4 2 0 Sampling Date )L/gm( tnuomA 50 45 40 35 30 25 20 15 10 5 0 4/30/20246/21/2024 4/30/20246/21/2024 MCL Finding Figure 23.2. PFOS and PFOA contamination of one of the wells of Tract 349 Mutual Water Company. Nitrate Content, Wells 1, 2, 3, 4 Effluent Sampling Date )L/gn( tnuomA PFOS (in solid black) and PFOA (in white) Contents, Well 03 Sampling Date Bromodichloromethane, one of the volatile organic compounds, is also found in the water of Valley Water (see Finding Figure 24.2). The MCL set goal by the EPA for this chemical is zero (see Table 4). 14 12 10 8 6 4 2 0 Finding Figure 24.2. Bromodichloromethane contamination of wells in Valley Water Company. According to Valley Water, the possible source of the contamination is a site that Jet Propulsion Laboratory used to utilize; no superfund site is involved.106 They have been dealing with the contamination issue for more than 20 years. The water district has installed a filtration system to remove the contaminants before water distribution.107
F25: At some point of in 2023 and 2024, some of the wells being used by GSWC - South San Gabriel (PWSID: CA1910223) were contaminated by nitrates and some volatile organic compounds (including PFOS, PFOA, and tetrachloroethylene) at levels above the MCL. Based on the effluent data available, GSWC is treating the water to reduce the contaminants and the treatment procedure appears to be working (see Finding Figures 25.1 and 25.2). Interviewee from Valley Water Co., November 13, 2024 107 Ibid 49 )L/gu( tnuomA Bromodichloromethane Content, Well 02 14 12 10 8 6 4 2 0 Sampling Date )L/gu( tnuomA Bromodichloromethane Content, Well 03 Sampling Date 12 10 8 6 4 2 0 Finding Figure 25.1. Nitrate content of contaminated well (upper panel) and treated water (lower panel) in GSWC - South San Gabriel. Finding Figure 25.2. PFOS and PFOA contents of contaminated wells and treated water in GSWC - South San Gabriel. 50 )L/gm( tnuomA Nitrate Content, Well 02 Sampling Date 12 10 8 6 4 2 0 )L/gm( tnuomA 3202/3/1 3202/32/1 3202/7/2 3202/12/2 3202/6/3 3202/3/4 3202/42/4 3202/8/5 3202/03/5 3202/31/6 3202/5/7 3202/71/7 3202/13/7 3202/41/8 3202/5/9 3202/81/9 3202/2/01 3202/6/11 3202/72/21 4202/8/1 4202/42/1 4202/7/2 4202/22/2 4202/4/3 4202/81/3 4202/1/4 4202/51/4 4202/92/4 4202/41/5 4202/82/5 4202/11/6 4202/42/6 4202/8/7 4202/22/7 Nitrate Content, Treated (Effluent) Sampling Date 35 30 25 20 15 10 5 0 )L/gn( tnuomA PFOS Content in Well 01 (black bars), Well 02 (white bars), and treated water (bar w/ diagonal) 16 14 12 10 8 6 4 2 0 Sampling Date )L/gn( tnuomA PFOA Content in Well 01 (black bars),Well 02 (white bars), and treated water (bar w/ diagonal) Sampling Date
F26: Three wells in Land Projects Mutual Water Company (PWSID: CA1910246; 25 located in Lancaster) contains arsenic 20 15 levels that are above the maximum 10 contaminant level. This is highlighted in 5 Finding Figure 26.1. The wells also 0 contain nitrates but at a level below MCL (data not shown). Land Projects is using the three wells in rotation as a source of water. To remedy the arsenic problem, Land Projects also installed a 4th well with water treatment capability (i.e., absorption treatment).108 This will serve as the primary source of treated water. The water from the other wells will be blended in with the primary source to dilute the amount of arsenic. This way the blended water will meet the EPA standard of having arsenic level below the MCL threshold. The installation is almost done and will be operational by March or April 2025 Finding Figure 26.1. Arsenic contamination after inspection by the State Water of the water wells in Land Projects Mutual Board.109 Water Co. Interviewee from Land Projects Mutual Water Co., November 20, 2024 109 Ibid, February 3, 2025 51 )L/gu( tnuomA Arsenic Content, Well 01 Sampling Date 25 20 15 10 5 0 )L/gu( tnuomA Arsenic Content, Well 03 Sampling Date 25 20 15 10 5 0 )L/gu( tnuomA Arsenic Content, Well 08 Sampling Date
F27: Some of the wells being used by GSWC – 160 Florence/Graham Water 140 120 District (PWSID: 100 80 CA1910077; located in 60 40 Santa Fe Springs) are 20 contaminated with volatile 0 organic compounds including trichloroethylene and tetrachloroethylene. Based on the 2023-2024 analyses, trichloroethylene and tetrachloroethylene were detected at about 10X- 25X and 1.2X-2.4X their MCL (5 ug/L), respectively (see Finding Figures 27.1 and 27.2). The same reports also indicate that GSWC – Florence/Graham is treating the waters. However, such treatment was only effective in reducing the trichloroethylene for Finding Figure 27.1. Trichloroethylene contamination of wells and treated water in GSWC-Florence/Graham Water several months in 2023 or District. in early 2024. There was no reported data about the tetrachloroethylene content in treated water. Finding Figure 27.2. Tetrachloroethylene contamination of well #1 in GSWC- Florence/Graham Water District. 52 )L/gu( tnuomA 3202/4/1 3202/6/2 3202/4/4 3202/6/6 3202/01/7 3202/01/7 3202/6/9 3202/6/11 3202/4/21 4202/2/1 4202/8/2 4202/1/4 4202/7/5 4202/3/6 4202/1/7 LCM Trichloroethylene Content, Converse Well 01 Sampling Date 14 12 10 8 6 4 2 0 )L/gu( tnuomA 3202/4/1 3202/11/1 3202/71/1 3202/32/1 4202/8/2 4202/72/2 4202/8/3 4202/21/3 4202/91/3 4202/52/3 4202/1/4 4202/9/4 4202/51/4 4202/22/4 4202/2/5 4202/7/5 4202/41/5 4202/02/5 4202/82/5 4202/3/6 4202/11/6 4202/71/6 4202/42/6 4202/1/7 LCM Trichloroethylene Content, Treated (Effluent, Converse Well 1) Sampling Date 12 10 8 6 4 2 0 )L/gu( tnuomA 3202/1/2 3202/31/2 3202/31/3 3202/72/3 3202/11/4 3202/42/4 3202/6/6 3202/91/6 3202/5/7 3202/81/7 3202/2/8 3202/41/8 3202/82/8 3202/21/9 3202/81/9 3202/9/01 3202/6/11 3202/72/11 3202/11/21 3202/82/21 4202/8/1 4202/32/1 4202/7/2 4202/72/2 4202/11/3 4202/52/3 4202/9/4 4202/22/4 4202/7/5 4202/02/5 LCM Trichloroethylene Content, Treated (Effluent, Nadeau Plant) Sampling Date 14 12 10 8 6 4 2 0 )L/gu( tnuomA 3202/4/1 3202/6/2 3202/4/4 3202/6/6 3202/01/7 3202/01/7 3202/6/9 3202/6/11 3202/4/21 4202/2/1 4202/8/2 4202/1/4 4202/7/5 4202/3/6 4202/1/7 LCM Tetrachloroethylene Content, Converse Well 01 Sampling Date
F28: Some of the water wells being used by the City of Alhambra Water District (PWSID: CA1910001) are contaminated with nitrates and some volatile organic compounds (e.g., trichloroethylene). Results of water analysis conducted in 2023- 2024 indicate that they were present above the respective contaminant MCL. Based on the available effluent data, the City of Alhambra appears to be treating the water from these wells. The level of the contaminants is significantly reduced (see Finding Figure 28.1 for nitrate and Finding Figure 28.2 for trichloroethylene). 25 20 15 10 5 0 Finding Figure 28.2. Trichloroethylene content of contaminated well (upper panel) and treated water (lower panel) in City of Alhambra Water District. 53 )L/gu( tnuomA Trichloroethylene Content, Well 09 Sampling Date 6 5 4 3 2 1 0 )L/gu( tnuomA 14 12 10 8 6 4 2 0 Finding Figure 28.1. Nitrate content of contaminated well (upper panel) and treated water (lower panel) in City of Alhambra Water District. Trichloroethylene Content, Effluent (Treated) Sampling Date eltiT sixA 3202/41/11 4202/7/2 4202/4/6 4202/2/7 3202/4/1 3202/7/2 3202/9/3 3202/9/3 3202/4/4 3202/2/5 3202/6/6 3202/6/7 3202/2/8 3202/6/9 3202/3/01 3202/7/11 3202/6/21 4202/71/1 4202/7/2 4202/2/4 4202/7/5 4202/4/6 4202/2/7 LCM Nitrate Content, Well 07 (bars in solid black)& Well 09 (bars in white) Axis Title 12 10 8 6 4 2 0 )L/gm( tnuomA Nitrate Content, Treated (Effluent) Sampling Date
F29: The water wells of Valley County Water District (PWSID: CA1910009; located in Baldwin Park) are contaminated with a number of organic compounds including tetrachloroethylene and trichloroethylene, the levels of which were detected either at 10X or 5X, respectively, based on the district’s 2023 analysis (see Finding Figures 29.1 and 29.2). 60 50 40 30 20 10 0 Finding Figure 29.1. Tetrachloroethylene contamination of water sources of Valley County Water District. Finding Figure 29.2. Trichloroethylene contamination of water sources of Valley County Water District. Aside from the above organic chemicals, the wells contain PFOS and PFOA (data not shown). Valley County Water Mutual is also monitoring the following VOCs: perchlorate, N-Nitrosodimethylamine, and 1,4-dioxane. They also found nitrates which are usually produced by nearby dairy farms.111 110 Interviewee from Valley County Water District, October 25, 2024 111 Ibid 54 )L/gu( tnuomA Tetracholoethylene Content, Well SA1-4 60 50 40 30 20 10 0 Sampling Date )L/gu( tnuomA Tetrachloroethylene Content, Well 07 Sampling Date 30 25 20 15 10 5 0 )L/gu( tnuomA Trichloroethylene Content, Well SA1-4 30 25 20 15 10 5 0 Sampling Date )L/gu( tnuomA Trichloroethyle Content, Well 07 Sampling Date According to Valley County Water Mutual, the water from their wells is 6 pumped into a single line which then 5 is blended prior to treatment.112 The 4 results of the treatment of blended 3 water showed that the level of 2 contaminants is significantly reduced 1 as highlighted in Finding Figure 29.3 0 4/25/2023 4/13/2023 4/13/2023 4/25/2023 MCL for tetrachloroethylene. Finding Figure 29.3. Reduction of tetrachloroethylene after treatment of blended The source of the contamination is a water in Valley County Water District. superfund site affecting the aquifer and the district’s water wells.113 The original contaminators were sued by the EPA and have been paying to clean up the site for years. The clean-up is being done through WQA who installed an activated carbon filter to flush the aquifer. They also sell their treated water to other water districts.114 They claim to test the water before and after pumping and the water is 100% according to EPA standards. In addition, they file an annual report with the state water board that lists all complaints they receive from consumers.
F30: The water wells being used by Monterey Park City Water Dept. (PWSID: CA1910092) are contaminated with a number of volatile organic compounds, including PFOS and PFOA, arsenic, and nitrates. In 2024, Wells #3, #5, #10, and #12 had levels of PFOS about 10X and about 2.5X the MCL, respectively (see upper panel of Finding Figure 30.1; data for #3 and #10 are not shown). The same wells had levels of PFOA at about 3.5X and about 2.5X the MCL (see upper panel of Finding Figure 30.2). Ibid 113 Ibid 114 Ibid 55 )L/gu( tnuomA Tetrachloroethyle Content, After Treatment Sampling Date 50.00 45.00 40.00 35.00 30.00 25.00 20.00 15.00 10.00 5.00 0.00 Finding Figure 30.1. PFOS contamination of water wells and treated water in Monterey Park City Water Dept. Finding Figure 30.2. PFOA contamination of water wells and treated water in Monterey Park City Water Dept. 56 )L/gn( tnuomA PFOS Content, Well 05 50.00 45.00 40.00 35.00 30.00 25.00 20.00 15.00 10.00 5.00 0.00 Sampling Date )L/gn( tnuomA PFOS Content, Well 12 Sampling Date 18.00 16.00 14.00 12.00 10.00 8.00 6.00 4.00 2.00 0.00 )L/gn( tnuomA PFOS Content, Treated Water (Effluent) Sampling Date 16.00 14.00 12.00 10.00 8.00 6.00 4.00 2.00 0.00 )L/gn( tnuomA PFOA Content, Well 05 16.00 14.00 12.00 10.00 8.00 6.00 4.00 2.00 0.00 Sampling Date )L/gn( tnuomA PFOA Content, Well 12 Sampling Date 12.00 10.00 8.00 6.00 4.00 2.00 0.00 )L/gn( tnuomA PFOA Content, Treated Water (Effluent) Sampling Date Monterey Park City Water Dept. is treating the water from the contaminated wells. However, based on the 2023-24 analysis, the treated water still contains PFOS and PFOA at levels about 4X and 2.5X the MCL (see lower panels in Finding Figure 30.1 and 30.2). Some of the wells were also contaminated with tetrachloroethylene at about 8X to 10X the set MCL (see Finding Figure 30.3). 60.00 50.00 40.00 30.00 20.00 10.00 0.00 Finding Figure 30.3. Tetrachloroethylene contamination of water wells in Monterey Park City Water Dept. The treatment of water appears to be working in reducing tetrachloroethylene, arsenic, and nitrate contaminants. For example, some wells had originally contained arsenic that is 1.7X – 2X the MCL (see upper panels in Finding Figure 30.3). After treatment, the arsenic level was significantly reduced below the MCL (see lower panel of Finding Figure 30.3). The level of tetrachloroethylene was significantly reduced as well (see Finding Figure 30.4). However, in the case of tetrachloroethylene, data for treated water was only available for 2023 but not for 2024. According to Monterey Park City Water Dept., this omission was due to delays in laboratory processing. The updated effluent analysis data for 2024 has been uploaded to CLIP since the matter was brought to their attention by the Jury.115 115 Based on the response letter provided to the Jury by interviewee from Monterey Park City Water Dept., February 13, 2025 57 )L/gu( tnuomA Tertrachloroethylene Content, Well 12 60.00 50.00 40.00 30.00 20.00 10.00 0.00 Sampling Date )L/gu( tnuomA Tetrachloroethylene Content, Well 15 sampling Date 20.00 18.00 16.00 14.00 12.00 10.00 8.00 6.00 4.00 2.00 0.00 Finding Figure 30.3. Arsenic contamination of water wells and treated water in Monterey Park City Water Dept. Finding Figure 30.4. Reduction of tetrachloroethylene after treatment in Monterey Park City Water Dept. Monterey Park City Water Dept. attributed the presence of arsenic in the wells primarily due to the natural occurrence of this element in the San Gabriel Groundwater Basin.116 They have been monitoring arsenic since the 2000s. On the other hand, the presence of tetrachloroethylene, PFOS and PFOA are attributed to the contaminated aquifers (superfund sites) in the San Gabriel Water Basin that is managed by Water Quality Authority.117 116 Ibid 117 Ibid 58 )L/gu( tnuomA Arsenic Content, Fern Well 30.00 25.00 20.00 15.00 10.00 5.00 0.00 7/25/202311/7/202312/7/20232/5/2024 4/1/2024 7/1/2024 MCL Sampling Date )L/gu( tnuomA Arsenic Content, Well 09 Sampling Date 12.00 10.00 8.00 6.00 4.00 2.00 0.00 )L/gu( tnuomA 3202/3/1 3202/71/1 3202/13/1 3202/41/2 3202/82/2 3202/41/3 3202/72/3 3202/11/4 3202/52/4 3202/9/5 3202/22/5 3202/6/6 3202/6/7 3202/8/8 3202/32/8 3202/6/9 3202/91/9 3202/3/01 3202/32/01 3202/41/11 3202/4/21 3202/91/21 4202/9/1 4202/32/1 4202/21/2 4202/72/2 4202/21/3 4202/62/3 4202/9/4 4202/03/4 4202/31/5 4202/92/5 4202/11/6 4202/52/6 4202/9/7 4202/32/7 LCM Arsenic Content, Combined Water -Treated Sampling Date 60.00 50.00 40.00 30.00 20.00 10.00 0.00 )L/gu( tnuomA Tetrachloroethylene Content, Influent (Before Treatment) 6.00 5.00 4.00 3.00 2.00 1.00 0.00 Sampling Date )L/gu( tnuomA Tetrachloroethylene Content, Effluent (Treated) Sampling Date The City of Monterey Park Water Dept. is evaluating and implementing advanced treatment technologies (e.g., granular activated carbon and ion exchange systems) to mitigate the contamination due to PFOS and PFOA.118
F31: 1 ...................................................................................................... 59
F32: In 2019, a resolution was passed by the Los Angeles County Board Supervisors supporting clean and safe water within the Sativa Water District and across California.127 The first provision in the resolution is the establishment of a Sativa Water System Special Fund in the electronic Countywide Accounting and Purchasing System to account for the former district’s accounting and budgetary activities as the Successor Agency for the dissolved water district. The Special Fund provides for the operation and maintenance of a reliable and high-quality water distribution system. The Jury looked at the financial records related to the Special Fund and the details are shown in Finding Table 32.1. Since its creation until the end of 2024, the Special Fund has received $29.609 million (highlighted in green), which include the following sources:128, 129 • “Transfers In” from Los Angeles Department of Public Works General Fund - $10.27 million • Proceeds from the sale of water rights - $10.68 million • Water Sales and Other Service Charges - $4.709 million • Interest earnings - $1.06 million • Grants from the State of California - $1.73 million • Other Water Revenues - $398,734 • Federal government - $17,034 Since the creation of the Special Fund in 2019 until 2024, the Los Angeles County Department of Public Works used the Fund for the following:130 127 Source: https://file.lacounty.gov/SDSInter/bos/supdocs/135510.pdf. Accessed: December 16, 2024 128 Based on the documents provided by interviewee from Los Angeles County Department of Public Works (DPW), December 5, 2024 129 Interviewee from DPW, January 29, 2025 130 Based on the documents provided by interviewee from Los Angeles County Department of Public Works (DPW), December 5, 2024 62 • Services and Supplies - $15.279 million • Other charges - $2.557 million (representing payments of County Loan and Bank bond) • “Transfers Out” to Los Angeles Department of Public Works General Fund - $3.0 million Among the items included in the “Services and Supplies” category are various expenses related to: (1) General and Administrative ($3.824 million); (2) Water System Operations ($5.414 million); and (3) Infrastructures and Capital ($6.041 million, which includes, among others, $0.706 million for Repair Pipeline Break, $1.129 million for Well Rehab/Hydropneumatics Tank Reconditioning, and $4.027 million for Manganese Treatment System).131 Hence, the total amount spent so far is about $17.836 million ($20.836 million, amount highlighted in red in Finding Table 32.1, minus the $3 million transferred out to DPW General Fund). This amount does not include the $8.925 million allotted for 2024-25, of which $8.335 million is meant for additional expense for manganese treatment system.132 131 Ibid 132 Ibid 63 .dnuF laicepS avitaS fo stroper laicnanif fo yrammuS .1.23 elbaT gnidniF 52-4202 -buS yrogetaC 42-3202 )lautcA( 32-2202 22-1202 12-0202 02-9102 91-8102 snoitcejorP( eht ot pU( latoT ****** )lautcA( ***** **** )lautcA( *** )lautcA( ** )lautcA( * )lautcA( detpodA morf )4202 fo dne )tegduB secnaniF fo secruoS yrogetaC 00.000,277,8 $ $ 00.000,109,3 $ 00.000,843,2 $ 00.000,751,1 $ 00.000,131,1 $ ta ecnalaB dnuF elbaliavA 00.000,232,41 raey fo gninnigeb eht 00.688,758 $ 00.066,091 $ 00.212,67 $ 00.404,512 $ 00.590,561 $ 00.515,012 $ dnuF detagilbO lecnaC ecnalaB 00.000,351 $ 04.405,419 $ 97.171,865 $ 95.037,772 $ 62.749,71 $ 99.794,21 $ 32.928,73 $ 45.723 $ tseretnI 00.0 $ 00.818,037,1 $ 27.440,032 $ 82.377,005,1 $ tnarG etatS 02.430,71 $ 02.430,71 $ 91-divoC - tnarG laredeF 00.0 $ 95.716,337,4 $ 95.123,261 $ 06.276,605 $ 25.554,612,1 $ 64.738,072,1 $ 25.576,442,1 $ 09.456,233 $ rehtO dna selaS retaW segrahC ecivreS 17.903,486,01 $ 17.903,486,01 $ sthgiR retaW fo elaS 00.000,272,01 $ 00.000,463,2 $ 00.000,773,1 $ 00.000,992,2 $ 00.000,230,3 $ 00.000,002,1 $ )FGWP morf( nI srefsnarT 00.0 $ 21.437,893 $ 40.407,893 $ 00.31 $ 80.61 $ 00.1 $ euneveR retaW rehtO 00.000,529,8 $ mus( M 906.92 $ $ 26.289,930,81 $ 43.036,296,6 $ 54.134,409,4 $ 57.910,656,5 $ 44.289,235,1 $ ylraeY secruoS ecnaniF )evoba eht fo 24.758,155,51 latoT yrogetaC serutidnepxE 00.000,529,8 $ 84.604,972,51 $ 13.749,977,3 $ 70.582,577,1 $ 05.832,626,2 $ 66.605,383,2 $ 10.457,213,4 $ 39.476,104 $ seilppuS dna secivreS 43.578,655,2 $ 30.948,230,2 $ 66.332,561 $ 94.082,271 $ 61.215,681 $ segrahC rehtO 00.525 $ 00.525 $ - stessA latipaC erutcurtsarfnI 00.000,000,3 $ 00.000,000,3 $ )FGWP ot( tuO srefsnarT 00.000,529,8 $ mus( M 638.02 $ 13.749,977,6 $ 01.431,808,3 $ 61.274,197,2 $ 51.213,655,2 $ 71.662,994,4 $ 39.476,104 $ ylraeY serutidnepxE evoba eht fo latoT )pxE 00.0 $ 11.019,177,8 $ 25.848,132,41 $ 81.851,109,3 $ 03.911,843,2 $ 85.357,651,1 $ 15.703,131,1 $ ecnalaB teN ylraeY dnuF 46 :)5202 ,13 yraunaJ :desseccA – woleb detic secruos lla( 1.23 elbaT gnidniF ot setontooF )/tegdub-0202-9102/vog.ytnuocal.oec//:sptth( tegduB detpodA ytnuoC selegnA soL 02-9102 fo 623 egap :ecruoS - * )/tegdub-1202-0202/vog.ytnuocal.oec//:sptth( tegduB detpodA ytnuoC selegnA soL 12-0202 fo 923 egap :ecruoS - ** )/tegdub-2202-1202/vog.ytnuocal.oec//:sptth( tegduB detpodA ytnuoC selegnA soL 22-1202 fo 533 egap :ecruoS - *** )/tegdub-3202-2202/vog.ytnuocal.oec//:sptth( tegduB detpodA ytnuoC selegnA soL 32-2202 fo 633 egap :ecruoS - **** )/tegdub-4202-3202/vog.ytnuocal.oec//:sptth( tegduB detpodA ytnuoC selegnA soL 42-3202 fo 243 egap :ecruoS - ***** -AL/21/4202/sdaolpu/tnetnoc-pw/vog.ytnuocal.oec//:sptth( tegduB detpodA laniF ytnuoC selegnA soL 52-4202 fo 143 egap :ecruoS - ****** )fdp.kooB-tegduB-laniF-52-4202-ytnuoC 56
F33: Between 1978 and 2006, Department of Water and Power (DWP; PWSID: CA1910067) cleaned and cement-lined approximately 2,600 miles of pipes in the City of Los Angeles.133 In addition, starting in 1998, DWP replaced low-lead water meters with lead-free water meters.134 These measures were taken to control corrosion and minimize lead exposures. In addition, DWP regularly took water samples for analysis of lead contamination, from different sites along the water distribution pipeline within the City of Los Angeles (see Finding Figure 33.1). To determine if lead is present in these pipelines, the Jury examined water analysis data provided by DWP to the Jury. Results of the analysis in 2024 are shown in Finding Table 33.1. The approximate location of the sampling sites are overlaid in Finding Figure 33.1. Overall, there was no detectable lead in the water samples taken from the distribution pipelines within Los Angeles city in 2024. Similar analyses performed in 2020 to 2023 had indicated no detectable levels of lead as well (data no shown). Finding Table 33.1. Results of Lead analysis from different sampling points in Los Angeles City water pipeline conducted by Los Angeles Department of Water and Power in 2024. Note: ND in the Result column means Not Detectable. Code in Finding Location Code Sampling Date Analyte Result Figure 33.1 BROOKMOT 2/19/2024 Lead ND A BROOKMOT 5/20/2024 Lead ND BROOKMOT 8/19/2024 Lead ND ROCKGLEN 2/19/2024 Lead ND B ROCKGLEN 5/24/2024 Lead ND ROCKGLEN 8/23/2024 Lead ND 055ST 1/15/2024 Lead ND C 055ST 4/17/2024 Lead ND ALMAR 2/20/2024 Lead ND D ALMAR 5/22/2024 Lead ND ALMAR 8/21/2024 Lead ND E ALMETZ 3/22/2024 Lead ND BEVGLEN 1/21/2024 Lead ND F BEVGLEN 4/21/2024 Lead ND DS074 2/25/2024 Lead ND 133 Source: of the 2023 Drinking Water Quality Report available at https://www.ladwp.com/who-we-are/water-system/las-drinking-water-quality-report. Accessed: December 16, 2024) 134 Ibid 66 Code in Finding Location Code Sampling Date Analyte Result Figure 33.1 G DS074 5/24/2024 Lead ND DS074 8/25/2024 Lead ND H DS049 3/23/2024 Lead ND I CUMBRE 3/18/2024 Lead ND DENNI 1/18/2024 Lead ND J DENNI 4/15/2024 Lead ND K FRAMPTON 3/23/2024 Lead ND BYPIN 1/15/2024 Lead ND L BYPIN 4/15/2024 Lead ND M HERSHEY 3/21/2024 Lead ND HOBART 1/18/2024 Lead ND N HOBART 4/18/2024 Lead ND KIRKCOLM 2/22/2024 Lead ND O KIRKCOLM 5/21/2024 Lead ND KIRKCOLM 8/21/2024 Lead ND VENICE 1/17/2024 Lead ND P VENICE 4/19/2024 Lead ND Q DS131 3/23/2024 Lead ND PDLMR985 2/21/2024 Lead ND PDLMR985 5/20/2024 Lead ND R PDLMR985 8/22/2024 Lead ND PAXTON 2/19/2024 Lead 0.62 PAXTON 5/25/2024 Lead ND S PAXTON 8/20/2024 Lead ND DS077 2/25/2024 Lead ND T DS077 5/24/2024 Lead ND DS077 8/25/2024 Lead ND RSCBCL 1/15/2024 Lead ND U RSCBCL 4/15/2024 Lead ND V SANRAFL 3/18/2024 Lead ND DS066 1/18/2024 Lead ND W DS066 4/17/2024 Lead ND X HARPER 3/24/2024 Lead ND Y DS111 3/22/2024 Lead ND DS048 1/15/2024 Lead ND Z DS048 4/17/2024 Lead 0.51 DS078 2/19/2024 Lead ND DS078 5/20/2024 Lead ND Z2 DS078 8/19/2024 Lead ND ZEPHYR 2/21/2024 Lead ND ZEPHYR 5/20/2024 Lead ND Z3 ZEPHYR 8/19/2024 Lead ND 67 Finding Figure 33.1. Map of the City of Los Angeles showing the overlay of the sampling sites within the water distribution system of DWP. Illustration map was provided by the Los Angeles Department of Water and Power (DWP). Overlaying of the location letter codes was done by the Jury using the Canva software available online (https://www.canva.com/). 68
F34: In 2023, DWP implemented a lead and copper survey in the City of Los Angeles as part of its compliance with the Federal Lead and Copper Rule.135,136 DWP looked for volunteer customers who were residing in single family homes that were built between 1982 and 1987. Tap water from these homes was collected and analyzed for lead and copper. The result for lead is summarized in Finding Figure 34.1.137 The survey revealed that three out of 105 (90%) had lead content exceeding the actionable level (AL) of 15 ppb set by EPA. One sample contained lead at 5X the AL. According to DWP, these customers were advised by DWP to take the proper action to remediate lead contamination in their plumbing system.138 80 70 60 50 40 30 20 10 0 Finding Figure 34.1. Lead contamination in some households surveyed and analyzed by Department of Water and Power. Note: The actual locations indicated in the sampling locations are not included in the graph for privacy reason. The Actionable Level (AL) is represented by the bar on the right. Source: https://www.epa.gov/ground-water-and-drinking-water/revised-lead-and-copper-rule. Accessed: December 16, 2024 136 See: Footnote “e” in Table 1 (Cont’d), of the 2023 Drinking Water Quality Report available at https://www.ladwp.com/who-we-are/water-system/las-drinking-water-quality-report. Accessed: December 16, 2024 137 Based on data downloaded from CSWBRB; also consistent with the data provided to the Jury by the LA Department of Water and Power, September 20, 2024 138 Interviewee from Los Angeles Department of Water and Power, November 6, 2024 69 )L/gu( tnuomA Lead Analysis of Tap Water in Some Old Houses in Los Angeles City, 2023 Residential Sample Location
F35: The Better Watts Initiative produced a report resulting from a study by Hoague et al. (2024)139 showing that tap waters are contaminated with lead in some of the residential houses in the Watts neighborhood. The results were provided to the Jury140 and these are shown in Finding Table 35.1. The source locations of tap waters samples are approximately mapped out in Finding Figure 35.1. Finding Table 35.1. Number of samples with lead contamination taken from residential homes in the Watts area of Los Angeles. (See also corresponding map in Finding Figure 34.1). Neighborhood Block Highlighted Number of Lead Under Lead Above Area in Samples * 15 ppb 15 ppb Figure 34.1 Between E 97th St (s) & E 92nd St (n) A 22 0 0 S Alameda St (e) and Grape St (w) Jordan Downs: E 97th St (n) and E B 30 2 0 103rd St (s) S Alameda St (e) and Grape St (w) E 92nd St (n) and E 103rd St (s) C 98 3 1 Grape St (e) and Graham Ave (w) Nickerson Gardens: E 111th St (n) and D 122 3 2 Imperial Hwy (s) S Central Ave (w) and Compton Ave (e) E 103rd St (n) and E 108th St (s) E 76 4 0 Graham Ave (w) and Croesus Ave (e) Imperial Courts: Santa Ana Blvd (n) and F 42 1 0 E 117th St (s) Croesus Ave(w) and Mona Blvd (e) E 92nd St (n) and E 102nd St (s), G 78 2 0 Success Ave (w) and Grandee Ave (e) E 108th St (n) and E 111th St (s) H 41 1 2 Avalon Blvd (w) and McKinley Ave (e) * - Total number of samples analyzed with known addresses = 530 139 Hoague et al., 2024 (Unpublished). Dark Waters Project: The Assessment of the Presence of Heavy Metal Contaminants in the Tap Water of Watts Residences, and Public Perceptions of Water Infrastructure in Los Angeles. Interviewee from Better Watts Initiative, August 23, 2024 70 In the news article published by the Guardian and the Los Angeles Times regarding the above study, it was reported that the Watts area residents were “… blaming a nearby metal recycling plant, Atlas Iron and Metal, that regularly sends shards of metals zooming over its fence ...” 141, 142 The recycling plant facility is located adjacent to Jordan High School and Jordan Downs Housing Development (see map in Figure 35.1). A G C B E H D F Finding Figure 35.1. Approximate map locations of residential areas as sampling sites mentioned in Table 34.1 and their proximity to potential source of lead contamination (highlighted in red circle). Note: The indicated locations in the map are not exact and for illustration purposes only. Source of map: Google Maps. As of the writing of this report, the Los Angeles District Attorney is prosecuting the company (S&W Atlas Iron and Metal Corp.) and its two owners.143,144 “The indictment includes charges with 21 felony counts of knowingly disposing of hazardous waste with no permit and one felony count of deposit of hazardous waste.” The wastes contain hazardous substances like lead, zinc, chromium, nickel, selenium, antimony, copper, and/or cadmium.145 The Los Angeles District Attorney’s press release on September 26, 2024 says that soil samples taken from an area of Jordan High School showed excessive concentrations of lead 141 Source: https://www.theguardian.com/us-news/article/2024/aug/21/los-angeles-watts-tap- water-lead-contamination. Accessed: December 16, 2024 142 Source: https://www.latimes.com/environment/story/2024-08-29/mayor-bass-calls-for- investigation-of-lead-in-watts-drinking-water. Accessed December 16, 2024 143 Source: https://lacounty.gov/2024/09/26/district-attorney-gascon-announces-new-25-count- grand-jury-indictment-against-atlas-metal-owners/. Accessed: December 16, 2024 144 Source: https://www.latimes.com/california/story/2024-09-26/metal-recycling-plant-accused-of- exposing-watts-high-school-students-to-explosions-toxic-waste. Accessed: December 16, 2024 145 Source: Case No. 24CJCF05804, September 18, 2024 71 and zinc. Additional samples taken at the recycling plant contained excessive concentrations of some the aforementioned metals.
F36: In September 2024, the Los Angeles City of Department of Water and Power (DWP), in collaboration with the Housing Authority of the City of Los Angeles (HACLA), has initiated an extended analysis of tap water samples from HACLA- owned four housing developments (i.e., Jordan Downs, Imperial Courts, Nickerson Gardens, and Gonzague Village) and non-HACLA residential units located in the Watts neighborhood.146 Finding Table 36.1. Analysis of tap water samples taken from four HACLA-owned and non- HACLA residential units located in Los Angeles Watts neighborhood. HACLA Housing Units Non-HACLA Units Total No. of Samples 1,952 117 Analyzed No. of samples with no 1,133 (58.13%) 100 (85.47%) detectable lead No. of samples with lead content below State 786 (40.33%) 16 (13.68%) Reporting Limit (0.5 to 5 ppb) No. of samples with lead content above State 19 (0.97%) 1 (0.85%) Reporting Limit but under Federal Action level (5 to 15 ppb) No. of samples with lead 11 (0.56%) 0 (0.00%) content above the Federal Action Level (> 15 ppb) As of January 18, 2025, DWP has analyzed a total of 2,069 samples -- 1,952 samples from about 1,600 units of HACLA housing complexes and 117 samples from about 58 non-HACLA units. The results are summarized in Finding Table 36.1.147 About 11 samples collected from HACLA housing units have levels of lead detected above the Action Level (15 ppb). As of the end of January 2025, 146 Interviewees from HACLA (October 21, 2024) and DWP (October 31, 2024) 147 Data provided to the Jury by Interviewee from DWP, January 21, 2025 72 the project is still ongoing as DWP recruits more volunteers from non-HACLA units.148
F37: Most of the action items outlined by SCO and DWP (see Discussion section of this Report) concerning water quality issues, including possible financing mechanisms for small-scale water systems, have not been implemented.149 148 Interviewee from DWP, January 24, 2025 149 Interviewees from Los Angeles County Chief Sustainability Office (January 27, 2025) and Department of Public Works (January 29, 2025) 73
Recomendaciones adicionales 15

No vinculadas a hallazgos específicos.

R1: The Board of Supervisors should rejuvenate the Health Agency originally approved by the BOS in 2015, empowering it to make binding decisions regarding collaboration and integration projects involving health-related County Departments, including the Departments of Health Services, Public Health, Mental Health and Aging and Disabilities, especially including CalAIM participation and the operation of the Restorative Care Villages. (In implementing this Recommendation, the BOS should read Dr. Katz’s memorandum, attached as Exhibit A.)
R2: 1 The City and/or County should require, and plan for, healthcare facilities as necessary to any development proposals for new communities and housing developments, in order to provide for the projected increase in population and medical needs.
R3: 1 The City and the County should plant more trees.
R4: 1 ....................................................................................... 74
R5: 1 X BREATHE that the BOS chooses for their own policy reasons should be part of any success metrics by which to analyze such programs, if any. BOS should disclose the amount of money paid by quarter to date: (a) to the University of Pennsylvania to run and administer the R 5.2 BREATHE programs; (b) the amounts paid X to the treatment group (those paid, as opposed to the control group); and (c) administrative costs incurred by the County. toliP s'ytnuoC selegnA soL & emocnI cisaB deetnarauG fo sisylanA nA - EHTAERB OT MOOR sevitaitinI srosivrepuS fo draoB .oC selegnA soL eciffO evitucexE feihC .oC selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses In the interest of local health and the City's and reputation as a worldwide tourist destination, the Creek's soft bottom segment must be abated to prevent it from R 6.1 becoming a breeding ground for the primary X vectors for transmission of West Nile or Dengue Fever. BOS coordinated clean up, and vector control against predicted dengue fever. City of Compton explore alternative money management such as a trustee appointment R 6.2 for general fund disbursement and city service moneys or more seriously, file for Federal bankruptcy protection. X In the interest of local health and the City's and reputation as a worldwide tourist destination, the Creek's soft bottom segment must be abated to prevent it from R 6.1 becoming a breeding ground for the primary X vectors for transmission of West Nile or Dengue Fever. BOS coordinate clean up, and vector control against predicted dengue fever. City of Compton explore alternative money management such as a trustee appointment R 6.2 for general fund disbursement and city services moneys or more seriously, file for Federal bankruptcy protection. X Regarding the City of Compton, prioritize the cleanup of the water and sewer infrastructure and especially prioritize R 6.3 Compton Creek. Explore the possibility to assigning a Trustee to fulfil the project objectives of bringing the creek up to excellent standards. X )TON( wolF ti teL ,wolF tI teL ,wolF tI teL - REVIR SELEGNA SOL htlaeH cilbuP fo .tpeD .oC selegnA soL skroW cilbuP fo .tpeD .oC selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses eht laeH yaB City of Compton should explore how Heal the Bay (and any other interested R 6.4 X environmental/other civic-oriented group) can restart volunteer cleanup activities. In the interest of local health and the City's and reputation as a worldwide tourist destination, the Creek's soft bottom segment must be abated to prevent it from R 6.1 becoming a breeding ground for the primary vectors for transmission of West Nile or Dengue Fever. BOS coordinate clean up, and vector control against predicted dengue fever. X City of Compton explore alternative money management such as a trustee appointment R 6.2 for general fund disbursement and city service moneys or more seriously, file for Federal bankruptcy protection. X City of Compton should explore how Heal the Bay (and any other interested R 6.4 X environmental/other civic-oriented group) can restart volunteer cleanup activities. Leadership in the City of Compton should explore appointing a non-biased Trustee to R 6.5 navigate issues with funding and frastructure. X hcaeB gnoL fo ytiC In the interest of local health and the City's and reputation as a worldwide tourist destination, the Creek's soft bottom segment must be abated to prevent it from R 6.1 becoming a breeding ground for the primary X X vectors for transmission of West Nile or Dengue Fever. BOS coordinate clean up, and vector control against predicted dengue fever. )TON( wolF ti teL ,wolF tI teL ,wolF tI teL - REVIR SELEGNA SOL notpmoC fo ytiC eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses In the interest of local health and the City's and reputation as a worldwide tourist destination, the Creek's soft bottom segment must be abated to prevent it from R 6.1 becoming a breeding ground for the primary X vectors for transmission of West Nile or Dengue Fever. BOS coordinate clean up, and vector control against predicted dengue fever. City of Compton explore alternative money management such as a trustee appointment R 6.2 for general fund disbursement and city X service moneys or more seriously, file for Federal bankruptcy protection. Regarding the City of Compton, prioritize the cleanup of the water and sewer infrastructure and especially prioritize R 6.3 Compton Creek. Explore the possibility to X assigning a Trustee to fulfil the project objectives of bringing the creek up to excellent standards. City of Compton should explore how Heal the Bay (and any other interested R 6.4 X environmental/other civic-oriented group) can restart volunteer cleanup activities. In the interest of local health and the City's and reputation as a worldwide tourist destination, the Creek's soft bottom segment must be abated to prevent it from R 6.1 becoming a breeding ground for the primary X vectors for transmission of West Nile or Dengue Fever. BOS coordinate clean up, and vector control against predicted dengue fever. City of Compton should explore how Heal the Bay (and any other interested R 6.4 X environmental/other civic-oriented group) can restart volunteer cleanup activities. )TON( wolF ti teL ,wolF tI teL ,wolF tI teL - REVIR SELEGNA SOL srosivrepuS fo draoB .oC selegnA soL evitucexE feihC fo eciffO .oC selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses The BOS and Chief Executive Officer should create capital outlay plans for replacing or relocating the entire DME complex R 7.3 X containing the Medical Examiner's current facility to a larger facility with state-of-the-art equipment and disruptive toxicological labs. Regardless of how or why the existing facilities are deteriorating, the concern of seismic retrofit safety has to be addressed R 7.5 X promptly, both on a global and granular level for the good of the employees and the general public. The DME is housed (since 1972) in an antiquated building complex constructed in R 7.10 the 1920's that doesn't meet today's minimal X X earthquake safety standards. Must relocate to a larger facility. DENIMAXE TEG SRENIMAXE EHT srosivrepuS fo draoB .oC selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses The BOS and Chief Executive Officer should create capital outlay plans for replacing or relocating the entire DME complex R 7.3 X containing the Medical Examiner's current facility to a larger facility with state-of-the-art equipment and disruptive toxicological labs. Regardless of how or why the existing facilities are deteriorating, the concern of seismic retrofit safety has to be addressed R 7.5 X promptly, both on a global and granular level for the good of the employees and the general public. The DME is housed (since 1972) in an antiquated building complex constructed in R 7.10 the 1920's that doesn't meet today's minimal X X earthquake safety standards. Must relocate to a larger facility. DENIMAXE TEG SRENIMAXE EHT reciffO evitucexE feihC .oC selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses DME should eliminate the critical issues which are preventing achievement of full accreditation by the National Board of Medical Examiners, including: i) 90% of the R 7.1 autopay reports completed in ninety days or X less. ii) 90% of the autopsies and exams performed within seventy-two hours. iii) DME needs to promptly submit the latest DME's Annual Report for 2023. Continue to develop additional facilities for Medical Examiner investigators in north, R 7.4 valley, and south portions of the County to X improve efficiency, prompt response, and to demonstrate coverage of the DME fieldwork. Regardless of how or why the existing facilities are deteriorating, the concern of seismic retrofit safety has to be addressed R 7.5 X promptly, both on a global and granular level for the good of the employees and the general public. DENIMAXE TEG SRENIMAXE EHT srenimaxE lacideM fo .tpeD .oC selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses When the ME relocates to new quarters, the building should be designed with the purpose of housing the activities of the R 7.9 X X ODA, with consideration being given to moving those functions from the hospital into the Department of the DME. The DME is housed (since 1972) in an antiquated building complex constructed in R 7.10 the 1920's that doesn't meet today's minimal X earthquake safety standards. Must relocate to a larger facility. DME should ensure adequate qualified staffing in the Medical Examiners' three satellite offices to relieve the workload off of R 7.11 X HQ. This may facilitate support of the need a major disaster or a catastrophic earthquake bring. ODA & DME jointly consult with the publisher of the VertiQ case management software to see if the two agencies could share various common forms and the R 7.12 X practical simplicity of output. In addition, the publisher would "detect" the "path" of processing decedents to see similarities in tracking. DENIMAXE TEG SRENIMAXE EHT srenimaxE lacideM fo .tpeD .oC selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses DHS should provide additional staffing for ODA attendants, aids, and crematory operators, and transport vans [preferably R 7.2 electric]; Hire more transport drivers so that X three drivers are on duty twenty-four seven to account for the fact that a death occurs at any time. The fee the Public Administrator charges for claiming the cremated remains of a decedent should be reviewed, with the intent R 7.7 X X to increase them for the services & convenience rendered to make them more representative of actual costs. The ODA should explore the possibility of R 7.8 using the same VertiQ case management X system that is already in use by the DME. When the ME relocates to new quarters, the building should be designed with the purpose of housing the activities of the R 7.9 X ODA, with consideration being given to moving those functions from the hospital into the Department of the DME. ODA & DME jointly consult with the publisher of the VertiQ case management software to see if the two agencies could share various common forms and the R 7.12 X practical simplicity of output. In addition, the publisher would "detect" the "path" of processing decedents to see similarities in tracking. DENIMAXE TEG SRENIMAXE EHT sriaffA tnadnecseD .tpeD .oC selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses DHS should provide additional staffing for ODA attendants, aids, and crematory operators, and transport vans [preferably R 7.2 electric]; Hire more transport drivers so that X three drivers are on duty twenty-four seven to account for the fact that a death occurs at any time. DHS should ensure that future ceremonies for unclaimed dead are widely publicized R 7.6 prior to the event and ensure as many X private citizens are allowed to attend as possible. DENIMAXE TEG SRENIMAXE EHT htlaeH fo .tpeD .oC selegnA soL secivreS eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses The City and County of Los Angeles should R 8.1 review and consider raising Quimby fees to X purchase more park land. LAC & LA City Park Dept. should consider issuing bonds and measures for park acquisitions and development like the Land and Water Conservation Funds, which was established in 1964 at no cost to the R 8.2 X taxpayer, the Outdoors Equity Program, Los Angeles County Measure A, and the California Parks, Environment, Energy, and Water Bond Measure, so help areas that are park-poor. The City of Los Angeles should consider R 8.3 using the funds available from Quimby and X other fees to purchase park space. LAC and LA development should not be approved in areas that are park poor until R 8.4 X enough land is acquired in those areas before more development is approved. LAC and LA City should complete a study and target areas that are park-poor to R 8.5 X evaluate the reason why these areas are park poor and develop remedies. LAC and LA City should consider issuing bonds in addition to charging developers R 8.6 X Quimby fees to purchase land for park development. LAC and LA City should realign land use R 8.7 X zoning to increase available land for parks. LAC and LA City should consider exploring R 8.8 options to make more timely use of available X Quimby funds. tnempoleveD dna seeF kraP gniknihteR - SEEF KRAP YBMIUQ srosivrepuS fo draoB .oC selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses The City and County of Los Angeles should R 8.1 review and consider raising Quimby fees to X purchase more park land. LAC & LA City Park Dept. should consider issuing bonds and measures for park acquisitions and development like the Land and Water Conservation Funds, which was established in 1964 at no cost to the R 8.2 X taxpayer, the Outdoors Equity Program, Los Angeles County Measure A, and the California Parks, Environment, Energy, and Water Bond Measure, so help areas that are park-poor. The City of Los Angeles should consider R 8.3 using the funds available from Quimby and X other fees to purchase park space. LAC and LA development should not be approved in areas that are park poor until R 8.4 X enough land is acquired in those areas before more development is approved. LAC and LA City should complete a study and target areas that are park-poor to R 8.5 X evaluate the reason why these areas are park poor and develop remedies. LAC and LA City should consider issuing bonds in addition to charging developers R 8.6 X Quimby fees to purchase land for park development. LAC and LA City should realign land use R 8.7 X zoning to increase available land for parks. LAC and LA City should consider options to R 8.8 X make more timely use of Quimby funds tnempoleveD dna seeF kraP gniknihteR - SEEF KRAP YBMIUQ evitucexE feihC fo eciffO .oC selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses The City and County of Los Angeles should R 8.1 review and consider raising Quimby fees to purchase more park land. X LAC & LA City Park Dept. should consider issuing bonds and measures for park acquisitions and development like the Land and Water Conservation Funds, which was established in 1964 at no cost to the R 8.2 X taxpayer, the Outdoors Equity Program, Los Angeles County Measure A, and the California Parks, Environment, Energy, and Water Bond Measure, so help areas that are park-poor. The City of Los Angeles should consider R 8.3 using the funds available from Quimby and X other fees to purchase park space. LAC and LA development should not be approved in areas that are park poor until R 8.4 enough land is acquired in those areas before more development is approved. X LAC and LA City should complete a study and target areas that are park-poor to R 8.5 X evaluate the reason why these areas are park poor and develop remedies. LAC and LA City should consider issuing bonds in addition to charging developers R 8.6 X Quimby fees to purchase land for park development. LAC and LA City should realign land use R 8.7 zoning to increase available land for parks. X LAC and LA City should consider exploring R 8.8 options to make more timely use of available X Quimby funds. tnempoleveD dna seeF kraP gniknihteR - SEEF KRAP YBMIUQ royaM - selegnA soL fo ytiC eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses The City and County of Los Angeles should R 8.1 review and consider raising Quimby fees to purchase more park land. X LAC & LA City Park Dept. should consider issuing bonds and measures for park acquisitions and development like the Land and Water Conservation Funds, which was established in 1964 at no cost to the R 8.2 X taxpayer, the Outdoors Equity Program, Los Angeles County Measure A, and the California Parks, Environment, Energy, and Water Bond Measure, so help areas that are park-poor. The City of Los Angeles should consider R 8.3 using the funds available from Quimby and X other fees to purchase park space. LAC and LA development should not be approved in areas that are park poor until R 8.4 X enough land is acquired in those areas before more development is approved. LAC and LA City should complete a study and target areas that are park-poor to R 8.5 X evaluate the reason why these areas are park poor and develop remedies. LAC and LA City should consider issuing bonds in addition to charging developers R 8.6 X Quimby fees to purchase land for park development. LAC and LA City should realign land use R 8.7 X zoning to increase available land for parks. LAC and LA City should consider exploring R 8.8 options to make more timely use of available X Quimby funds. tnempoleveD dna seeF kraP gniknihteR - SEEF KRAP YBMIUQ licnuoC ytiC selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses The City and County of Los Angeles should R 8.1 review and consider raising Quimby fees to X purchase more park land. LAC & LA City Park Dept. should consider issuing bonds and measures for park acquisitions and development like the Land and Water Conservation Funds, which was established in 1964 at no cost to the R 8.2 X taxpayer, the Outdoors Equity Program, Los Angeles County Measure A, and the California Parks, Environment, Energy, and Water Bond Measure, so help areas that are park-poor. The City of Los Angeles should consider R 8.3 using the funds available from Quimby and X other fees to purchase park space. LAC and LA development should not be approved in areas that are park poor until R 8.4 X enough land is acquired in those areas before more development is approved. LAC and LA City should complete a study and target areas that are park-poor to R 8.5 X evaluate the reason why these areas are park poor and develop remedies. LAC and LA City should consider issuing bonds in addition to charging developers R 8.6 X Quimby fees to purchase land for park development. LAC and LA City should realign land use R 8.7 X zoning to increase available land for parks. X LAC and LA City should consider exploring R 8.8 options to make more timely use of available X Quimby funds. tnempoleveD dna seeF kraP gniknihteR - SEEF KRAP YBMIUQ noitaerceR dna skraP fo .tpeD - .oC selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses The City and County of Los Angeles should R 8.1 review and consider raising Quimby fees to X purchase more park land. LAC & LA City Park Dept. should consider issuing bonds and measures for park acquisitions and development like the Land and Water Conservation Funds, which was established in 1964 at no cost to the R 8.2 taxpayer, the Outdoors Equity Program, Los Angeles County Measure A, and the California Parks, Environment, Energy, and Water Bond Measure, so help areas that are park-poor. X The City of Los Angeles should consider R 8.3 using the funds available from Quimby and X other fees to purchase park space. LAC and LA development should not be approved in areas that are park poor until R 8.4 X enough land is acquired in those areas before more development is approved. LAC and LA City should complete a study and target areas that are park-poor to R 8.5 X evaluate the reason why these areas are park poor and develop remedies. LAC and LA City should consider issuing bonds in addition to charging developers R 8.6 Quimby fees to purchase land for park development. X LAC and LA City should realign land use R 8.7 zoning to increase available land for parks. X LAC and LA City should consider exploring R 8.8 options to make more timely use of available X Quimby funds. tnempoleveD dna seeF kraP gniknihteR - SEEF KRAP YBMIUQ skraP dna noitaerceR fo .tpeD - ytiC selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses The City and County of Los Angeles should R 8.1 review and consider raising Quimby fees to X purchase more park land. LAC & LA City Park Dept. should consider issuing bonds and measures for park acquisitions and development like the Land and Water Conservation Funds, which was established in 1964 at no cost to the R 8.2 X taxpayer, the Outdoors Equity Program, Los Angeles County Measure A, and the California Parks, Environment, Energy, and Water Bond Measure, so help areas that are park-poor. The City of Los Angeles should consider R 8.3 using the funds available from Quimby and X other fees to purchase park space. LAC and LA development should not be approved in areas that are park poor until R 8.4 X enough land is acquired in those areas before more development is approved. LAC and LA City should complete a study and target areas that are park-poor to R 8.5 X evaluate the reason why these areas are park poor and develop remedies. LAC and LA City should consider issuing bonds in addition to charging developers R 8.6 X Quimby fees to purchase land for park development. LAC and LA City should realign land use R 8.7 X zoning to increase available land for parks. LAC and LA City should consider exploring R 8.8 options to make more timely use of available X Quimby funds. tnempoleveD dna seeF kraP gniknihteR - SEEF KRAP YBMIUQ gninnalP lanoigeR .oC selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses The DPH should evaluate the current system for capturing visits to the WBC's R 10.1 (REDcap) to see if the system is appropriate X and can be improved, or if it needs to be replaced. Relevant Data Analysis metrics need to be R 10.2 X developed by the Program Director. Measures of success or outcomes need to be developed in cooperation with stakeholders, especially with administration R 10.3 X of the high schools with WBC's. These measures must be collected and reported from the beginning of the program. The Program Director should develop standards describing accountability for the R 10.4 X practices in use for the WBC's in high schools. The Program, Director should make a R 10.5 survey of programs used to evaluate the X effectiveness of the Wellbeing Centers. The Department. of Public Health needs to develop a process to consistently distribute R 10.6 Wellbeing Center Reports, and ensure X information is shared across all schools that host a Wellbeing Center. Other Healthcare providers should be R 10.7 considered to provide student related X services for any future Wellbeing Centers sloohcS ytnuoC selegnA soL nI - SRETNEC GNIEBLLEW srosivrepuS fo draoB .oC selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses The DPH should evaluate the current system for capturing visits to the WBC's R 10.1 (REDcap) to see if the system is appropriate X and can be improved, or if it needs to be replaced. Relevant Data Analysis metrics need to be R 10.2 X developed by the Program Director. Measures of success or outcomes need to be developed in cooperation with stakeholders, especially with administration R 10.3 X of the high schools with WBC's. These measures must be collected and reported from the beginning of the program. The Program Director should develop standards describing accountability for the R 10.4 X practices in use for the WBC's in high schools. The Program, Director should make a R 10.5 survey of programs used to evaluate the X effectiveness of the Wellbeing Centers. The Department. of Public Health needs to develop a process to consistently distribute R 10.6 Wellbeing Center Reports, and ensure X information is shared across all schools that host a Wellbeing Center. Other Healthcare providers should be R 10.7 considered to provide student related X services for any future Wellbeing Centers sloohcS ytnuoC selegnA soL nI - SRETNEC GNIEBLLEW evitucexE feihC eht fo eciffO .oC selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses The DPH should evaluate the current system for capturing visits to the WBC's R 10.1 (REDcap) to see if the system is appropriate X and can be improved, or if it needs to be replaced. Relevant Data Analysis metrics need to be R 10.2 X developed by the Program Director. Measures of success or outcomes need to be developed in cooperation with stakeholders, especially with administration R 10.3 X of the high schools with WBC's. These measures must be collected and reported from the beginning of the program. The Program Director should develop standards describing accountability for the R 10.4 X practices in use for the WBC's in high schools. The Program, Director should make a R 10.5 survey of programs used to evaluate the X effectiveness of the Wellbeing Centers. The Department. of Public Health needs to develop a process to consistently distribute R 10.6 Wellbeing Center Reports, and ensure X information is shared across all schools that host a Wellbeing Center. Other Healthcare providers should be R 10.7 considered to provide student related X services for any future Wellbeing Centers sloohcS ytnuoC selegnA soL nI - SRETNEC GNIEBLLEW htlaeH cilbuP fo .tpeD .oC selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses Measures of success or outcomes need to be developed in cooperation with stakeholders, especially with administration R 10.3 X of the high schools with WBC's. These measures must be collected and reported from the beginning of the program. The Program Director should develop standards describing accountability for the R 10.4 X practices in use for the WBC's in high schools. The Department. of Public Health needs to develop a process to consistently distribute R 10.6 Wellbeing Center Reports, and ensure X information is shared across all schools that host a Wellbeing Center. Measures of success or outcomes need to be developed in cooperation with stakeholders, especially with administration R 10.3 X of the high schools with WBC's. These measures must be collected and reported from the beginning of the program. The Program Director should develop standards describing accountability for the R 10.4 X practices in use for the WBC's in high schools. The Department. of Public Health needs to develop a process to consistently distribute R 10.6 Wellbeing Center Reports, and ensure X information is shared across all schools that host a Wellbeing Center. sloohcS ytnuoC selegnA soL nI - SRETNEC GNIEBLLEW noitacudE fo eciffO .oC selegnA soL tcirtsiD loohcS deifinU selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses Measures of success or outcomes need to be developed in cooperation with stakeholders, especially with administration R 10.3 X of the high schools with WBC's. These measures must be collected and reported from the beginning of the program. The Program Director should develop standards describing accountability for the R 10.4 X practices in use for the WBC's in high schools. The Department. of Public Health needs to develop a process to consistently distribute R 10.6 Wellbeing Center Reports, and ensure X information is shared across all schools that host a Wellbeing Center. Measures of success or outcomes need to be developed in cooperation with stakeholders, especially with administration R 10.3 X of the high schools with WBC's. These treasures must be collected and reported from the beginning of the program. The Program Director should develop standards describing accountability for the R 10.4 X practices in use for the WBC's in high schools. The Department. of Public Health needs to develop a process to consistently distribute R 10.6 Wellbeing Center Reports, and ensure X information is shared across all schools that host a Wellbeing Center. sloohcS ytnuoC selegnA soL nI - SRETNEC GNIEBLLEW tcirtsiD loohcS deifinU ollebetnoM tcirtsiD loohcS deifinU doownnyL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses fo draoB .oC selegnA soL srosivrepuS Both LAPD and LASD should implement findings of the Study of traffic stops which was published in the Proceedings of the R 11.3 National Academy of Science in May 2023. X "The First 45 Words" specifies what law enforcement should say when they initially make a traffic stop of a driver in LA County. fo eciffO .oC selegnA soL evitucexE feihC eht Both LAPD and LASD should implement findings of the Study of traffic stops which was published in the Proceedings of the R 11.3 National Academy of Science in May 2023. X "The First 45 Words" specifies what law enforcement should say when they initially make a traffic stop of a driver in LA County. gnitaeB a toN ,taeB a ekaT - NOITALACSE-ED eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses LASD has tested a new App relating to traffic stops for drivers. This App is called "SafeStop". A recommendation is made for LASD and LAPD to advertise on their websites this App to enable drivers in LA R 11.1 County to add it to their cell phones. The App will assist drivers to have a dialogue with the officers or deputies who initiated the stop, thus alleviate potential adverse situations. X LASD and LAPD should provide pamphlets similar to the ones that Antelope Valley Sheriff's Department offers their citizens which gives guidance on what to do when you are involved in a traffic stop with a R 11.2 deputy sheriff. This pamphlet can be made available at all LASD and LAPD station. These pamphlets should also be placed at other traffic related locations such as car rental agencies, Automobile Association of America offices and Insurance Agencies. X gnitaeB a toN ,taeB a ekaT - NOITALACSE-ED .tpeD eciloP selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses Both LAPD and LASD should implement findings of the Study of traffic stops which was published in the Proceedings of the R 11.3 National Academy of Science in May 2023. X "The First 45 Words" specifies what law enforcement should say when they initially make a traffic stop of a driver in LA County. Direct LASD and LAPD to monitor and explore all new Artificial Intelligence (AI) R 11.4 currently being created to provide improved X training, augment their current policies and reporting. gnitaeB a toN ,taeB a ekaT - NOITALACSE-ED .tpeD eciloP selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses LASD has tested a new App relating to traffic stops for drivers. This App is called "SafeStop". A recommendation is made for LASD and LAPD to advertise on their websites this App to enable drivers in LA R 11.1 X County to add it to their cell phones. The App will assist drivers to have a dialogue with the officers or deputies who initiated the stop, thus alleviate potential adverse situations. LASD and LAPD should provide pamphlets similar to the ones that Antelope Valley Sheriff's Department offers their citizens which gives guidance on what to do when you are involved in a traffic stop with a R 11.2 deputy sheriff. This pamphlet can be made X available at all LASD and LAPD station. These pamphlets should also be placed at other traffic related locations such as car rental agencies, Automobile Association of America offices and Insurance Agencies. gnitaeB a toN ,taeB a ekaT - NOITALACSE-ED .tpeD s'ffirehS selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses Both LAPD and LASD should implement findings of the Study of traffic stops which was published in the Proceedings of the R 11.3 National Academy of Science in May 2023. X "The First 45 Words" specifies what law enforcement should say when they initially make a traffic stop of a driver in LA County. Direct LASD and LAPD to monitor and explore all new Artificial Intelligence (AI) R 11.4 currently being created to provide improved X training, augment their current policies and reporting. a toN ,taeB a ekaT - NOITALACSE-ED gnitaeB .tpeD s'ffirehS selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses The LAPD and the LASD should use training officers who have a more inclusive attitude toward other ethnic minorities and dissuade patrol training officers from passing on R 12.1 outdated and racially bias procedures. a) X LAPD should source creative strategies and anti-racist curriculum for training officers. b) LASD should source creative strategies and anti-racist curriculum for training officers. LACY LE agencies should make a more concerted effort to recruit officers who live in or near areas they are assigned to patrol. R 12.3 X LASD should collect racial data on officers to include for consideration when assigning officer patrol locations. R 12.5 REC Not in final report R 12.6 REC Not in final report All LACY LE agencies and departments should follow California Assembly Bill 748 to the letter of the law. LACY LE oversight R 12.2 X authorities should stop allowing LE to do whatever they please when it comes to releasing BWV. LACY LE agencies should make a more concerted effort to recruit officers who live in or near areas they are assigned to patrol. R 12.3 X LASD should collect racial data on officers to include for consideration when assigning officer patrol locations. R 12.5 REC Not in final report R 12.6 REC Not in final report saiB laicaR gnivlovnI - ECROF FO ESU TNEMECROFNE WAL feihC eht fo eciffO .oC selegnA soL srosivrepuS fo draoB .oC selegnA soL evitucexE eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses The LAPD and the LASD should use training officers who have a more inclusive attitude toward other ethnic minorities and dissuade patrol training officers from passing on R 12.1 outdated and racially bias procedures. a) X LAPD should source creative strategies and anti-racist curriculum for training officers. b) LASD should source creative strategies and anti-racist curriculum for training officers. All LACY LE agencies and departments should follow California Assembly Bill 748 to the letter of the law. LACY LE oversight R 12.2 X authorities should stop allowing LE to do whatever they please when it comes to releasing BWV. LACY LE agencies should make a more concerted effort to recruit officers who live in or near areas they are assigned to patrol. R 12.3 X LASD should collect racial data on officers to include for consideration when assigning officer patrol locations. R 12.5 REC Not in final report R 12.6 REC Not in final report saiB laicaR gnivlovnI - ECROF FO ESU TNEMECROFNE WAL selegnA soL fo ytiC eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses The LAPD and the LASD should use training officers who have a more inclusive attitude toward other ethnic minorities and dissuade patrol training officers from passing on R 12.1 outdated and racially bias procedures. a) X LAPD should source creative strategies and anti-racist curriculum for training officers. b) LASD should source creative strategies and anti-racist curriculum for training officers. All LACY LE agencies and departments should follow California Assembly Bill 748 to the letter of the law. LACY LE oversight R 12.2 X authorities should stop allowing LE to do whatever they please when it comes to releasing BWV. LE oversight entities should do their jobs and be outraged at their own failing to hold LE officers and their commanders R 12.4 X accountable for continued unwanted missuses of authority and to deprive citizens of fair treatment under the law. R 12.5 REC Not in final report R 12.6 REC Not in final report saiB laicaR gnivlovnI - ECROF FO ESU TNEMECROFNE WAL licnuoC ytiC selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses The LAPD and the LASD should use training officers who have a more inclusive attitude toward other ethnic minorities and dissuade patrol training officers from passing on R 12.1 outdated and racially bias procedures. a) X LAPD should source creative strategies and anti-racist curriculum for training officers. b) LASD should source creative strategies and anti-racist curriculum for training officers. All LACY LE agencies and departments should follow California Assembly Bill 748 to the letter of the law. LACY LE oversight R 12.2 X authorities should stop allowing LE to do whatever they please when it comes to releasing BWV. LACY LE agencies should make a more concerted effort to recruit officers who live in or near areas they are assigned to patrol. R 12.3 X LASD should collect racial data on officers to include for consideration when assigning officer patrol locations. LE oversight entities should do their jobs and be outraged at their own failing to hold LE officers and their commanders R 12.4 X accountable for continued unwanted missuses of authority and to deprive citizens of fair treatment under the law. R 12.6 REC Not in final report saiB laicaR gnivlovnI - ECROF FO ESU TNEMECROFNE WAL .tpeD eciloP selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses The LAPD and the LASD should use training officers who have a more inclusive attitude toward other ethnic minorities and dissuade patrol training officers from passing on R 12.1 outdated and racially bias procedures. a) X LAPD should source creative strategies and anti-racist curriculum for training officers. b) LASD should source creative strategies and anti-racist curriculum for training officers. X All LACY LE agencies and departments should follow California Assembly Bill 748 to the letter of the law. LACY LE oversight R 12.2 X authorities should stop allowing LE to do whatever they please when it comes to releasing BWV. LACY LE agencies should make a more concerted effort to recruit officers who live in or near areas they are assigned to patrol. R 12.3 LASD should collect racial data on officers to include for consideration when assigning officer patrol locations. X LE oversight entities should do their jobs and be outraged at their own failing to hold LE officers and their commanders R 12.4 accountable for continued unwanted missuses of authority and to deprive citizens of fair treatment under the law. X R 12.6 REC Not in final report saiB laicaR gnivlovnI - ECROF FO ESU TNEMECROFNE WAL noissimmoC eciloP selegnA soL ,lareneG rotcepsnI eht fo eciffO eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses The LAPD and the LASD should use training officers who have a more inclusive attitude toward other ethnic minorities and dissuade patrol training officers from passing on R 12.1 outdated and racially bias procedures. a) X LAPD should source creative strategies and anti-racist curriculum for training officers. b) LASD should source creative strategies and anti-racist curriculum for training officers. All LACY LE agencies and departments should follow California Assembly Bill 748 to the letter of the law. LACY LE oversight R 12.2 X authorities should stop allowing LE to do whatever they please when it comes to releasing BWV. LACY LE agencies should make a more concerted effort to recruit officers who live in or near areas they are assigned to patrol. R 12.3 X LASD should collect racial data on officers to include for consideration when assigning officer patrol locations. LE oversight entities should do their jobs and be outraged at their own failing to hold LE officers and their commanders R 12.4 X accountable for continued unwanted missuses of authority and to deprive citizens of fair treatment under the law. R 12.6 REC Not in final report saiB laicaR gnivlovnI - ECROF FO ESU TNEMECROFNE WAL .tpeD s'ffirehS selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses The LAPD and the LASD should use training officers who have a more inclusive attitude toward other ethnic minorities and dissuade patrol training officers from passing on R 12.1 outdated and racially bias procedures. a) X LAPD should source creative strategies and anti-racist curriculum for training officers. b) LASD should source creative strategies and anti-racist curriculum for training officers. All LACY LE agencies and departments should follow California Assembly Bill 748 to the letter of the law. LACY LE oversight R 12.2 X authorities should stop allowing LE to do whatever they please when it comes to releasing BWV. LACY LE agencies should make a more concerted effort to recruit officers who live in or near areas they are assigned to patrol. R 12.3 X LASD should collect racial data on officers to include for consideration when assigning officer patrol locations. LE oversight entities should do their jobs and be outraged at their own failing to hold LE officers and their commanders R 12.4 X accountable for continued unwanted missuses of authority and to deprive citizens of fair treatment under the law. R 12.6 REC Not in final report saiB laicaR gnivlovnI - ECROF FO ESU TNEMECROFNE WAL lareneG rotcepsnI eht fo eciffO .oC selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses All LACY LE agencies and departments should follow California Assembly Bill 748 to the letter of the law. LACY LE oversight R 12.2 X authorities should stop allowing LE to do whatever they please when it comes to releasing BWV. R 12.5 REC Not in final report R 12.6 REC Not in final report R 12.5 REC Not in final report R 12.6 REC Not in final report FO ESU TNEMECROFNE WAL saiB laicaR gnivlovnI - ECROF soL tcirtsiD .oC selegnA soL selegnA yenrottA ytiC eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses Increase the number of EV Charging Stations at all large parking facilities that R 13.1a currently have less than ten percent of their X total parking spaces set up as EV charging stations Request that funding from BOS for the EV Charging Infrastructure be tripled to six R 13.1b X million dollars annually at LAC controlled parking facilities. At the entrance of each large parking facility, install the following signage: "Follow green R 13.2 line to EV Charging Stations" as well as X install a green line from each entrance of the parking facilities to charging station. Install an EV-Only sign and paint the ground R 13.3 "EV-Charging Only" at each charging X station. Train parking personnel to regularly monitor EV Charging Stations and report broken or R 13.4 X missing signs and missing or problematic QR codes to ISD management. Refresh EV-Only ground signs when they R 13.5 X are difficult to read. Enforcement policy of EV Only laws need to be done on a case by case basis. Train parking personnel to recognize that if no EVCS are available, we recommend a paper warning sign be place under the windshield R 13.6 wiper of the gas powered vehicle stating that X their vehicle is in violation of the EV Charging statutes. If an EV is not connected to charging station, then a similar notice should be placed under the windshield wiper of the EV not charging. yrotS "gnikcohS" ehT - .oC selegnA soL NI GNIGRAHC VE kroW cilbuP fo .tpeD & ,.tpeD secivreS lanretnI ,eciffO evitucexE feihC ,srosivrepuS fo draoB selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses It is recommended that after paper warning been placed on a specific vehicle for violation of the EV statute, the next offense R 13.7 X should be enforced with a $100 ticket or that their car be towed or that a boot be placed on the vehicle tire. ISD management to train parking personnel R 13.8 X on parking enforcement protocols. It is recommended that a Wi-Fi extender (strengthens Wi-Fi signal) be placed in areas where repeated Wi-Fi issues occur. R 13.9a X The optimal solution is to install a Wi-Fi booster or repeater to increase Wi-Fi strength to those areas with poor reception. It is recommended that the EV-Optional signs be placed in areas of the weakest Wi- Fi signal for those parking facilities that have R 13.9b X reversible signs reading EV-Optional on one side and the 4 hr. limit with the violation codes on the other side. ISD to examine the feasibility placing Wi-Fi R 13.9c boosters or repeaters in areas with poor X reception. It is recommended that when a charging project is slated to begin that data be collected and recorded on an excel spread sheet. The following information would facilitate incremental improvements to the installation process: a) Actual start date of R 13.10 EV charger project at (address of location). X b) Actual completion date of installation of charging stations. c) Actual date the charging stations come online and are available for charging. d) Actual date when wall signs are installed. e) Actual date when ground signs are installed. yrotS "gnikcohS" ehT - .oC selegnA soL NI GNIGRAHC VE kroW cilbuP fo .tpeD & ,.tpeD secivreS lanretnI ,eciffO evitucexE feihC ,srosivrepuS fo draoB selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses It is recommended that a contract be established with at least one to three reliable repair contractors so that an independent R 13.11 X service provider can respond to a problem if PowerFlex is not able to respond within 48 hours. It is recommended that all DC fast chargers in publicly accessed parking facilities to removed and replaced Level 2 chargers. The DC Fast Chargers should be used R 13.12 X primarily for emergency response electric vehicles, police electric vehicles, public transportation electric vehicles and the LAC Sheriff's electric vehicles. Education is needed for the EV owner to understand how to use the EVCSs. A QR code could be created for EV owners to R 13.13 X provide them with the education that they need to make their EV driving and charging experience seamless and enjoyable. At 145 Broadway, Los Angeles, (Parking Lot 10, the Committee recommends that either R 13.14a the wall and ground signs be remove d or X additional chargers be installed to replace the ones that have been removed. At 11705 Alameda St in Lynwood. Either R 13.14b install EV Chargers where the signs are or X remove the signs At 8300 S Vermont, Los Angeles. Install an R 13.14c X additional 10-20 EVCS. ISD & DPW work together to include EV CS R 13.15 when new or upgraded parking facilities are X being planned. yrotS "gnikcohS" ehT - .oC selegnA soL NI GNIGRAHC VE kroW cilbuP fo .tpeD & ,.tpeD secivreS lanretnI ,eciffO evitucexE feihC ,srosivrepuS fo draoB selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses soL NI GNIGRAHC VE ehT - .oC selegnA yrotS "gnikcohS" fo draoB selegnA soL evitucexE feihC ,srosivrepuS secivreS lanretnI ,eciffO Training of parking facilities managers by ISD is recommended. This training would include: Things to watch for like broken or damaged signs, pealing QR codes on EV R 13.16 Chargers, EVs parked at charging stations X but not charging their vehicle, gas vehicles parked in EV Charging spots. All problems should be reported to parking management who in turn report to ISD management. BOS direct CEO to find funding to meet R 14.1a X staffing needs of DA&C DA&R should report to BOS and CEO with staffing requirements; with special R 14.1b consideration towards creating foundational X program infrastructure and accounting for future opportunities for the Department. DA&C should use sole source contracts to R 14.3 rehire those Creative Strategists with X incomplete and easily revived projects. BOS should direct CEO to find funding for R 14.4a unaddressed strategies outlined in the X Countywide Cultural Policy Strategic Plan. BOS should direct CEO to find remaining funding for partially-funded Strategies R 14.4b X outlined in the Countrywide Cultural Policy Strategic Plan. BOS should direct all Department Heads to engage DA&C to incorporate Countywide R 14.4c Cultural Policy goals, such as, but not X limited to, allocating resources to engage Creative Strategies and other programs strA-non gnitroppuS tsigetartS evitaerC - GNIKAMECALP CIVIC DNA TSITRA snoitcnuF tnemnrevoG srosivrepuS fo draoB .oC selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses BOS should direct all Department Heads to explore incorporating Cultural Policy goals, and especially Creative Strategist, into their operations or service models. Internal R 14.5a X surveys, open calls and program evaluations can help make this determination for allocating departmental resources to engage DA&C programming. BOS should direct all Department Heads to engage with DA&C for guidance, recommendations and development during this exploratory period. BOS direct CEO R 14.5b X and DA&C to designate anticipated staffing and funding needs to properly interface with other Departments regarding the Countywide Cultural Policy. DA&C should create necessary infrastructure (program availability, educational materials, vendor lists, compliance blueprints, and inter- R 14.5c X departmental relations person). We recognized this recommendation cannot be implemented unless DA&C received additional staff positions. BOS should direct CEO to find funding to meet staffing needs for DA&C's cross-sector R 14.7a X work to enable the necessary infrastructure to be set in place. DA&C report to BOS and CEO with staffing requirements to fully-support the cross- R 14.7b sector division; ensure special consideration X regarding potential opportunities for future expansion. BOS and CEO should refer to Strategy 15 in R 14.7c DA&C's 2022 Countrywide Cultural Strategic X Plan for funding and staffing considerations. BOS should direct CEO to find funding to R 14.8 X adopt DA&C's Strategic Plan Strategy 15. snoitcnuF tnemnrevoG strA-non gnitroppuS tsigetartS evitaerC - GNIKAMECALP CIVIC DNA TSITRA srosivrepuS fo draoB .oC selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses BOS and CEO assist Departments in reallocating funding and resources to engage a Creative Strategist in their priority R 14.9a X projects. Direct Departments to find outside sources, if necessary, with consultation with DA&C. Our Committee understands that fully funding of the Strategic Plan and/or the Creative Strategist Program cannot happen overnight. In the interim, BOS direct CEO to R 14.10a X find funding to rehire via sole source contract process Creative Strategist identified by DA&C whose projects would benefit from expansion into all five districts. BOS should direct CEO to find funding for a non-arts grant writer staff position. Much of the Countywide Cultural Policy situates R 14.11 X DA&C in the role of arts facilitator or cultural programing administrator, not as a creative entity itself. BOS and DA&C should direct LACAC to assemble a working group to explore potential outside financial opportunities; fundraising, fund-matching, grant partners, R 14.12 X etc. Commissioners can utilize their professional experience working in the County's creative economy to guide the Department towards guaranteed sources. BOS should direct CEO to find funding for R 14.13 X cross-sector continuity Staffing position. snoitcnuF tnemnrevoG strA-non gnitroppuS tsigetartS evitaerC - GNIKAMECALP CIVIC DNA TSITRA srosivrepuS fo draoB .oC selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses srosivrepuS fo draoB .oC selegnA soL Regarding DA&C's need for an entrepreneurial pivot, BOS should directs all Departments to consult with DA&C to evaluate whether a Creative Strategist shall be utilized or engaged for any and all proposed third-party consulting contracts. R 14.16 Adding an artist would provide grassroots, X people-focused engagement as a compliment to the top-down, analytical lens of a FUSE Fellow's report recommendations. Their pairing would directly support the Cultural Policy's robust vision for the future of County governance. BOS to direct CEO to find funding to meet R 14.1a X staffing needs of DA&C DA&R should report to BOS and CEO with staffing requirements; with special R 14.1b consideration towards creating foundational X program infrastructure and accounting for future opportunities for the Department. DA&R should use sole source contracts to R 14.3 rehire those Creative Strategists with X incomplete and easily revived projects. BOS should direct CEO to find funding for R 14.4a unaddressed strategies lined in the X Countywide Cultural Policy Strategic Plan. BOS should direct CEO to find remaining funding for partially-funded Strategies R 14.4b X outlined in the Countrywide Cultural Policy Strategic Plan. BOS should direct all Department Heads to engage DA&C to incorporate Countywide R 14.4c Cultural Policy goals, such as, but not X limited to, allocating resources to engage Creative Strategies and other programs. snoitcnuF tnemnrevoG strA-non gnitroppuS tsigetartS evitaerC - GNIKAMECALP CIVIC DNA TSITRA reciffO evitucexE feihC .oC selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses DA&C should create necessary infrastructure (program availability, educational materials, vendor lists, compliance blueprints, and inter- R 14.5c X X departmental relations person). We recognized this recommendation cannot be implemented unless DA&C received additional staff positions. BOS should direct CEO to find funding to meet the staffing needs for DA&C's cross- R 14.7a X sector work to enable the necessary infrastructure to be set in place. DA&C report to BOS and CEO with staffing requirements to fully-support the cross- R 14.7b sector division; ensure special consideration X regarding potential opportunities for future expansion. BOS and CEO should refer to Strategy 15 in R 14.7c DA&C's 2022 Countrywide Cultural Strategic X Plan for funding and staffing considerations. BOS should direct CEO to find funding to R 14.8 X adopt DA&C's Strategic Plan Strategy 15. BOS and CEO assist Departments in reallocating funding and resources to engage a Creative Strategist in their priority R 14.9a X projects. Direct Departments to find outside sources, if necessary, with consultation with DA&C. Our Committee understands that fully funding of the Strategic Plan and/or the Creative Strategist Program cannot happen overnight. In the interim, BOS direct CEO to R 14.10a X find funding to rehire via sole source contract process Creative Strategist identified by DA&C whose projects would benefit from expansion into all five districts. snoitcnuF tnemnrevoG strA-non gnitroppuS tsigetartS evitaerC - GNIKAMECALP CIVIC DNA TSITRA reciffO evitucexE feihC .oC selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses BOS should direct CEO to find funding for a non-arts grant writer staff position. Much of the Countywide Cultural Policy situates R 14.11 X DA&C in the role of arts facilitator or cultural programing administrator, not as a creative entity itself. BOS and DA&C should direct LACAC to assemble a working group to explore potential outside financial opportunities; fundraising, fund-matching, grant partners, R 14.12 X etc. Commissioners can utilize their professional experience working in the County's creative economy to guide the Department towards guaranteed sources. BOS should direct CEO to find funding for R 14.13 X cross-sector continuity Staffing position. DA&R should report to BOS and CEO with staffing requirements; with special 14.1b consideration towards creating foundational X program infrastructure and accounting for future opportunities for the Department. DA&C should use sole source contracts to R 14.3 rehire those Creative Strategists with X incomplete and easily revived projects. BOS should direct all Department Heads to engage DA&C to incorporate Countywide R 14.4c Cultural Policy goals, such as, but not X limited to, allocating resources to engage Creative Strategies and other programs. DA&C should create necessary infrastructure (program availability, educational materials, vendor lists, compliance blueprints, and inter- R 14.5c X departmental relations person). We recognized this recommendation cannot be implemented unless DA&C received additional staff positions. snoitcnuF tnemnrevoG strA-non gnitroppuS tsigetartS evitaerC - GNIKAMECALP CIVIC DNA TSITRA reciffO evitucexE feihC .oC selegnA soL erutluC & strA fo .tpeD eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses DA&C should expand preparatory period timelines from six to twelve months, given the project's scope. Build in clause to allow R 14.6 X for additional time if necessary, recognizing that Creative Strategists should be engaged for a minimum of two years. BOS should direct CEO to find funding to meet the staffing needs for DA&C's cross- R 14.7a X sector work to enable the necessary infrastructure to be set in place. DA&C report to BOS and CEO with staffing requirements to fully-support the cross- R 14.7b sector division; ensure special consideration X regarding potential opportunities for future expansion. BOS and CEO should refer to Strategy 15 in R 14.7c DA&C's 2022 Countrywide Cultural Strategic X Plan for funding and staffing considerations. BOS and CEO assist Departments in reallocating funding and resources to engage a Creative Strategist in their priority R 14.9a X projects. Direct Departments to find outside sources, if necessary, with consultation with DA&C. Our Committee understands that fully funding the Strategic Plan and/or the Creative Strategist program cannot happen R 14.10b overnight. In the interim, DA&C should X review the completed Creative Strategist residencies and assess which projects could be re-implemented. BOS should direct CEO to find funding for a non-arts grant writer staff position. Much of the Countywide Cultural Policy situates R 14.11 X DA&C in the role of arts facilitator or cultural programing administrator, not as a creative entity itself. snoitcnuF tnemnrevoG strA-non gnitroppuS tsigetartS evitaerC - GNIKAMECALP CIVIC DNA TSITRA erutluC & strA fo .tpeD eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses BOS and DA&C should direct LACAC to assemble a working group to explore potential outside financial opportunities; fundraising, fund-matching, grant partners, R 14.12 X etc. Commissioners can utilize their professional experience working in the County's creative economy to guide the Department towards guaranteed sources. BOS should direct CEO to find funding for R 14.13 X cross-sector continuity Staffing position. DA&C should build out a paid "item menu" of specialized services (ex. Cross-sector R 14.15a local jurisdictional exchange); including but X not limited to expansion of impact and grant- matching. DA&C should direct LACAC to investigate R 14.15b alternative funding sources (Galas, benefits, X bond measures, percentage tax allocations). Regarding DA&C's need for an entrepreneurial pivot, BOS should directs all Departments to consult with DA&C to evaluate whether a Creative Strategist shall be utilized or engaged for any and all proposed third-party consulting contracts. R 14.16 Adding an artist would provide grassroots, X people-focused engagement as a compliment to the top-down, analytical lens of a FUSE Fellow's report recommendations. Their pairing would directly support the Cultural Policy's robust vision for the future of County governance. snoitcnuF tnemnrevoG strA-non gnitroppuS tsigetartS evitaerC - GNIKAMECALP CIVIC DNA TSITRA erutluC & strA fo .tpeD eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses County should draft an ordinance for R 15.1 X retrofitting soft-story first floor buildings. County should extend the proposed non- R 15.2 ductile retro-fit to buildings of every height, X not just those over 75 feet. All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.6 X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. LAC CEO should develop and earthquake R 15.7 X recovery/resilience plan. The Medical Examiner should make/update their emergency plans to include no ground access to the Antelope Valley (Lancaster, Palmdale). Where will autopsies and exams R 15.12 X be done? Where will mutual and volunteers from other medical examiners work, eat, park their vehicles? How can people work without water or electricity? !"enO" giB eht evivruS ot woH - SSENIDAER YTEFAS EKAUQHTRAE srosivrepuS fo draoB .oC selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses County should draft an ordinance for R 15.1 X retrofitting soft-story first floor buildings. County should extend the proposed non- R 15.2 ductile retro-fit to buildings of every height, X not just those over 75 feet. Once the cost estimate is complete LAC PW should develop a Request for Proposal (RFP) to gain detailed cost estimates. Once R 15.6 X the RFP is complete LAC CEO should solicit bids for Hall of Administration retrofit project and chose winning bidder. LAC CEO should develop and earthquake R 15.7 X recovery/resilience plan. The Medical Examiner should make/update their emergency plans to include no ground access to the Antelope Valley (Lancaster, Palmdale). Where will autopsies and exams R 15.12 X be done? Where will mutual and volunteers from other medical examiners work, eat, park their vehicles? How can people work without water or electricity? !"enO" giB eht evivruS ot woH - SSENIDAER YTEFAS EKAUQHTRAE renimaxE lacideM fo .tpeD ,.oC selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses County should draft an ordinance for R 15.1 X retrofitting soft-story first floor buildings. County should extend the proposed non- R 15.2 ductile retro-fit to buildings of every height, X not just those over 75 feet. LAC PW should complete design phase for R 15.3 earthquake safety retrofit for Hall of X Administration. Once the design phase for the earthquake safety/seismic retrofit is complete for the R 15.4 X Hall of Administration LAC PW should develop a project schedule. Once the design phase for the Hall of R 15.5 Administration is complete LAC PW should X obtain a cost estimate. Once the cost estimate is complete LAC PW should develop a Request for Proposal (RFP) to gain detailed cost estimates. Once R 15.6 X the RFP is complete LAC CEO should solicit bids for Hall of Administration retrofit project and chose winning bidder. !"enO" giB eht evivruS ot woH - SSENIDAER YTEFAS EKAUQHTRAE skroW cilbuP fo .tpeD eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses lanretnI fo .oC selegnA soL .tpeD secivreS The County should buy enough radio or satellite phones so that each agency and city referenced in the Responses section has at least two phones. ISD should track who the phones are assigned to, provide R 15.13 X video or written training for how to use the phones, and ask that the agency or city use them in their annual ShakeOut Drill as well as export their success/failure to ISD each year. eriF .oC selegnA soL tnemtrapeD The Medical Examiner should make/update their emergency plans to include no ground access to the Antelope Valley (Lancaster, Palmdale). Where will autopsies and exams R 15.12 X be done? Where will mutual and volunteers from other medical examiners work, eat, park their vehicles? How can people work without water or electricity? selegnA soL fo troP The LA and Long Beach ports should make/update plans for cargo that needs to be moved, especially perishables, when R 15.14 roads and railways out of the county may be X damaged. They also need to create/update their plans for damage in their harbors, including things that could possibly fall over. hcaeB gnoL fo troP The LA and Long Beach ports should make/update plans for cargo that needs to be moved, especially perishables, when R 15.14 roads and railways out of the county may be X X damaged. They also need to create/update their plans for damage in their harbors, including things that could possibly fall over. !"enO" giB eht evivruS ot woH - SSENIDAER YTEFAS EKAUQHTRAE eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses selegnA soL fo ytiC The City of Los Angeles is requested to commend on each of its 18 goals in their "Resilience By Design Plan" as to any R 15.8 misunderstandings the Civil Grand Jury may X have had as well as progress that has been made that was not mentioned. This is meant to help those who build on this in the future. selegnA soL & retaW fo .tpeD rewoP The City of Los Angeles's DWP should continue to work on water transport and R 15.9 X storage, especially in regards to putting out fires. Long Beach, Santa Clarita, Glendale, Lancaster, and Palmdale should inventory their buildings to determine if they have R15.10 X enough need in their city for retrofitting buildings of certain types. If So, create appropriate ordinances. If there is a lot of damage to building, more building inspectors would be needed. Plan for how temporary inspectors will be obtained and how they will be assigned, R 15.15 X keeping in mind that businesses in the medical field should be inspected first, followed by those who were enrolled in the Back to Business program. !"enO" giB eht evivruS ot woH - SSENIDAER YTEFAS EKAUQHTRAE hcaeB gnoL fo ytiC eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses Long Beach, Santa Clarita, Glendale, Lancaster, and Palmdale should inventory their buildings to determine if they have R 15.10 X enough need in their city for retrofitting buildings of certain types. If So, create appropriate ordinances. If there is a lot of damage to building, more building inspectors would be needed. Plan for how temporary inspectors will be obtained and how they will be assigned, R 15.15 X keeping in mind that businesses in the medical field should be inspected first, followed by those who were enrolled in the Back to Business program. Long Beach, Santa Clarita, Glendale, Lancaster, and Palmdale should inventory their buildings to determine if they have R 15.10 X enough need in their city for retrofitting buildings of certain types. If So, create appropriate ordinances. If there is a lot of damage to building, more building inspectors would be needed. Plan for how temporary inspectors will be obtained and how they will be assigned, R 15.15 X keeping in mind that businesses in the medical field should be inspected first, followed by those who were enrolled in the Back to Business Program. !"enO" giB eht evivruS ot woH - SSENIDAER YTEFAS EKAUQHTRAE atiralC atnaS fo ytiC eladnelG fo ytiC eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses Long Beach, Santa Clarita, Glendale, Lancaster, and Palmdale should inventory their buildings to determine if they have R 15.10 X enough need in their city for retrofitting buildings of certain types. If So, create appropriate ordinances. If there is a lot of damage to building, more building inspectors would be needed. Plan for how temporary inspectors will be obtained and how they will be assigned, R 15.15 X keeping in mind that businesses in the medical field should be inspected first, followed by those who were enrolled in the Back to Business Program. If there is a lot of damage to buildings, more building inspectors would be needed. Plan for how temporary inspectors will be obtained and how they will be assigned, R 15.10 X keeping in mind that businesses in the medical field should be inspected first, followed by those who were enrolled in the Back to Business Program If there is a lot of damage to building, more building inspectors would be needed. Plan for how temporary inspectors will be obtained and how they will be assigned, R 15.15 X keeping in mind that businesses in the medical field should be inspected first, followed by those who were enrolled in the Back to Business Program. !"enO" giB eht evivruS ot woH - SSENIDAER YTEFAS EKAUQHTRAE retsacnaL fo ytiC eladmlaP fo ytiC eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses The Cities of Industry and Vernon should consider having a Back to Business R 15.11 program to benefit the large number of X businesses in their cities and to help the economy recover. If there is a lot of damage to building, more building inspectors would be needed. Plan for how temporary inspectors will be obtained and how they will be assigned, R 15.15 X keeping in mind that businesses in the medical field should be inspected first, followed by those who were enrolled in the Back to Business program. The Cities of Industry and Vernon should consider having a Back to Business R 15.11 program to benefit the large number of X X businesses in their cities and to help the economy recover. If there is a lot of damage to building, more building inspectors would be needed. Plan for how temporary inspectors will be obtained and how they will be assigned, R 15.15 X keeping in mind that businesses in the medical field should be inspected first, followed by those who were enrolled in the Back to Business program. !"enO" giB eht evivruS ot woH - SSENIDAER YTEFAS EKAUQHTRAE yrtsudnI fo ytiC nonreV fo ytiC eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses .tpeD eriF arbmahlA All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. .tpeD eriF aidacrA All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. !"enO" giB eht evivruS ot woH - SSENIDAER YTEFAS EKAUQHTRAE eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses .tpeD eriF slliH ylreveB All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. .tpeD eriF knabruB All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. !"enO" giB eht evivruS ot woH - SSENIDAER YTEFAS EKAUQHTRAE eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses .tpeD eriF notpmoC All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English . Add "refresher" classes for those that were previously trained. When responding please indicate the 15.16 X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO) The Dept. of Sustainability should include this information in their annual reports. .tpeD eriF yenwoD All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. !"enO" giB eht evivruS ot woH - SSENIDAER YTEFAS EKAUQHTRAE eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses .tpeD eriF eladnelG All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. .tpeD eriF hcaeB gnoL All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When R 15.16 responding please indicate the languages X that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. !"enO" giB eht evivruS ot woH - SSENIDAER YTEFAS EKAUQHTRAE eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses .tpeD eriF selegnA soL All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. .tpeD eriF ollebetnoM All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. !"enO" giB eht evivruS ot woH - SSENIDAER YTEFAS EKAUQHTRAE eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses .tpeD eriF yeretnoM All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English . Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X languages that would be included. By august 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO) The Dept. of Sustainability should include this information in their annual reports. .tpeD eriF anedasaP All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. !"enO" giB eht evivruS ot woH - SSENIDAER YTEFAS EKAUQHTRAE eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses .tpeD eriF hcaeB odnodeR All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. .tpeD eriF acinoM atnaS All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. !"enO" giB eht evivruS ot woH - SSENIDAER YTEFAS EKAUQHTRAE eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses .tpeD eriF erdaM arreiS All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. .tpeD eriF anedasaP htuoS All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. !"enO" giB eht evivruS ot woH - SSENIDAER YTEFAS EKAUQHTRAE eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses .tpeD eriF ecnarroT All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. .tpeD eriF anivoC tseW All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. !"enO" giB eht evivruS ot woH - SSENIDAER YTEFAS EKAUQHTRAE DETENTION COMMITTEE DUTIES Each fiscal year, as mandated by the California Penal Code, section 919 article (b), every Civil Grand Jury must inquire into the condition and management of the public detention centers, jails, and courthouse holding provisions within the County of its purview. Per section 921 of the California Penal Code, the Civil Grand Jury is entitled to free access at all reasonable times to these facilities. It is the responsibility of the Detention Committee to ensure that the Civil Grand Jury makes a good faith effort to visit each of the detention facilities within the County of Los Angeles (County), and makes a record of each facility visited. ACTIVITIES In order to ensure that all detention facilities in the County could be visited, the Detention Committee must assign Civil Grand Jury members to groups, each group consisting of at least two members, and then assign each group to a subset of detention facilities within the County. A spreadsheet containing all such facilities was made, and was used to generate a list of facilities for each group. In addition, the same spreadsheet kept track of all facilities that were visited, the dates of visitations, and the group members who participated in each visit. The 2024-2025 Los Angeles County Civil Grand Jury Members formed seven groups. Each group was comprised of at least two jurors, and was responsible for visiting a subset of the detention centers within the County. In order to minimize travel requirements for individuals, each group represented a particular area of the County, and members were chosen for each group based on the proximity of their homes to the areas visited by the group. For example, the group that visited several detention facilities in the southern reaches of the County was comprised of jurors from Long Beach and San Pedro. Wednesdays were set aside as the day of the week on which detention facilities would be visited. On those Wednesdays that facilities were visited, each group was able to visit between four and six detention sites. Thus, between 28 and 42 sites could be visited each week. Over a period of weeks beginning August 21, 2024 and continuing until September 18, 2024, the Civil Grand Jury was able to physically 1 arrive at 128 detention locations, though not all could be visited. Some sites are no longer in use, and some are closed due to issues that preclude the housing of detainees for the present time. The table below lists the detention facilities and stations visited by the 2024-2025 Los Angeles County Civil Grand Jury. For the purpose of ease of reading, the table begins on the following page. Facility Agency Visited Date Visited 77th Street Community Station LAPD Yes 8/21/2024 7600 S Broadway Los Angeles, CA 90003 (323) 786-5075 Alfred J. McCourtney Juvenile Justice LASD Yes 8/28/2024 Center 1040 W Avenue J Lancaster, CA 93534 (661) 945-6354 Alhambra Courthouse LASD Yes 8/21/2024 150 W Commonwealth Ave Alhambra, CA 91801 (626) 293-2100 Alhambra Police Station City PD Yes 8/21/2024 211 1st St Alhambra, CA 91801 (626) 570-5151 Altadena Station LASD Yes 9/18/2024 780 E Altadena Drive Altadena, CA 91001 (626) 798-1131 Arcadia Police Station City PD Yes 8/28/2024 250 W Huntington Drive Arcadia, CA 91007 (626) 574-5151 Avalon Station LASD Yes 9/11/2024 215 Sumner Ave Avalon, CA 90704 (310) 510-0174 Azusa Police City PD Yes 8/28/2024 725 N Akaneda Ave Azusa, CA 91702 (626) 812-3200 Baldwin Park Police City PD Yes 9/4/2024 14403 E Pacific Ave Baldwin Park, CA 91706 (626) 960-1955 Barry J Nidorf Juvenile Hall LASD Yes 8/21/2024 16350 Filbert St Sylmar, CA 91342 (818) 364-2011 Bell Gardens Police City PD Yes 9/4/2024 7100 Garfield Ave Bell Gardens, CA 90201 (562) 806-7700 3 Facility Agency Visited Date Visited Bell Police City PD Yes 8/28/2024 6326 Pine Ave Remodel in Bell, CA 90201 process (323) 585-1245 Bellflower Courthouse LASD Yes 8/21/2024 10025 Flower St Bellflower, CA 90706 (562) 345-3300 Beverly Hills Courthouse LASD Not in Use 8/21/2024 9555 Burton Way #191 Beverly Hills, CA 90210 (310) 288-1279 Beverly Hills Police City PD Yes 8/28/2024 464 N Rexford Drive Beverly Hills, CA 90210 (310) 550-4951 Burbank Courthouse LASD Yes 9/11/2024 300 E Olive St Burbank, CA 91502 (818) 260-8498 Burbank Police Station City PD Yes 9/11/2024 200 N Third St Burbank, CA 91502 (818) 238-3333 Camp Clinton B Afflerbaugh Probation Yes 9/4/2024 6621 N Stephens Ranch Rd La Verne, CA 91750 (909) 593-4926 Camp Glenn Rockey Probation Yes 9/18/2024 1900 Sycamore Canyon San Dimas, CA 91773 (909) 599-2391 Camp Joseph Paige Probation Yes 9/4/2024 6601 Stephens Ranch Rd La Verne, CA 91750 (909) 593-4921 Camp Vernon Kilpatrick Probation Yes 9/4/2024 427 S Encinal Canyon Rd Malibu, CA 90265 (818) 899-1353 Carson Station LASD Yes 8/21/2024 21356 S Avalon Blvd Carson, CA 90745 (310) 485-3294 4 Facility Agency Visited Date Visited Central Arraignment Courthouse LASD Yes 9/11/2024 429 Bauchet St Los Angeles, CA 90012 (213) 974-6068 Central Community Station LAPD Yes 9/11/2024 215 E 6th St Los Angeles, CA 90014 (213) 486-6606 Central Juvenile Hall LASD No 1605 Eastvale Ave Closed Los Angeles, CA 90033 (323) 226-8611 Century Regional Correction Facility LASD Yes 8/28/2024 11705 S Alameda St 9/4/2024 Lynwood, CA 90262 (323) 568-4500 Cerritos Station LASD Yes 8/21/2024 18135 Bloomfield Ave Cerritos, CA 90703 (562) 860-0044 City of Industry LASD Yes 9/18/2024 150 N Hudson St City of Industry, CA 91744 (626) 330-3322 Clara Shortridge-Foltz Criminal Justice LASD Yes 9/11/2024 Center 210 W Temple St Los Angeles, CA 90012 (213)628-7900 Claremont Police City PD Yes 9/4/2024 570 W Bonita Ave Claremont, CA 91711 (909) 399-5411 Compton Courthouse LASD Yes 8/28/2024 200 W Compton Blvd Compton, CA 90220 (310) 761-4300 Covina Police Department City PD Yes 9/4/2024 444 N Citrus Ave Covina, CA 91733 (626) 331-3391 Crescenta Valley Station LASD Yes 9/18/2024 4554 N Briggs Ave La Crescenta, CA 91214 (818) 248-3464 5 Facility Agency Visited Date Visited Culver City Police City PD Yes 8/21/2024 4040 Duquesne Ave Culver City, CA 90232 (310) 253-6208 Devonshire Community Station LAPD Yes 8/28/2024 10250 Etiwanda Ave Northridge, CA 91325 (818) 832-0622 Dodger Stadium Security Office LAPD Yes 9/11/2024 1000 Elysian Park Los Angeles, CA 90012 (323) 224-2611 Dorothy Kirby Center LASD Yes 9/18/2024 1500 S McDonnell Ave Los Angeles, CA 90022 (323) 981-4301 Downey Courthouse LASD Yes 8/21/2024 7500 Imperial Hwy Downey, CA 90242 (562) 658-0500 Downey Police City PD Yes 8/21/2024 10911 Brookshire Drive #2700 Downey, CA 91502 (562) 861-0771 East Los Angeles Courthouse LASD Yes 9/11/2024 4848 Civic Center Way Los Angeles, CA 90022 (323) 780-2025 Ed Edelman Children’s Court LASD Yes 9/4/2024 201 Centre Plaza Drive #2700 Monterey Park, CA 91754 (323) 307-8098 El Monte Courthouse LASD Yes 8/21/2024 11234 E Valley Blvd El Monte, CA 91731 (626) 401-2298 El Monte Police City PD Yes 8/21/2024 11333 Valley Blvd El Monte, CA 91731 (626) 580-2100 El Segundo Police Station City PD Yes 8/21/2024 348 Main St El Segundo, CA 90245 (310) 524-2200 6 Facility Agency Visited Date Visited Foothill Community Station LAPD Yes 8/21/2024 12670 Osborne St Pacoima, CA 91331 (818) 756-8861 Gardena Police City PD Yes 8/21/2024 1718 162nd St Gardena, CA 90247 (310) 217-9670 George Deukmejian Courthouse LASD Yes 9/4/2024 275 Magnolia Ave Long Beach, CA 90802 (562) 256-3100 Glendale Courthouse LASD Yes 8/28/2024 600 E Broadway Ave Glendale, CA 91206 (818) 265-6400 Glendale Police City PD Yes 8/28/2024 131 N Isabel St Glendale, CA 91206 (818) 548-4840 Glendora Police City PD Yes 8/28/2024 150 S Glendora Ave Glendora, CA 91741 (626) 914-8250 Harbor Community Station LAPD Yes 8/28/2024 2175 John Gibson Blvd San Pedro, CA 90731 (310) 726-7700 Hawthorne Police Station City PD Yes 8/21/2024 12501 Hawthorne Blvd Hawthorne, CA 90250 (310) 675-4444 Hermosa Beach Police City PD Yes 8/21/2024 540 Pier Ave Hermosa Beach, CA 90254 (310) 318-0360 Hollenbeck Community Station LASD Yes 9/11/2024 2111 E 1st St Los Angeles, CA 90033 (323) 342-4100 Hollywood Community Station LAPD Yes 9/11/2024 1358 Wilcox Ave Los Angeles, CA 90028 (213) 972-2971 7 Facility Agency Visited Date Visited Huntington Park Police Station City PD Yes 8/28/2024 6542 Miles Ave Huntington Park, CA 90255 (323) 584-6524 Inglewood Courthouse LASD Yes 8/28/2024 1 E Regent St Inglewood, CA 90301 (310) 419-5132 Inglewood Juvenile Court LASD Yes 8/28/2024 110 E Regent St Inglewood, CA 90301 (310) 419-5255 Inglewood Police Department City PD Yes 8/28/2024 1 W Manchester Ave Inglewood, CA 90301 (310) 412-5211 Inmate Reception Center LASD Yes 9/11/2024 450 Bauchet St Los Angeles, CA 90012 (213) 893-5875 Irwindale Police Station City PD Closed 8/28/2024 505 N Irwindale Ave Irwindale, CA 91706 (626) 430-2244 LA County Fairgrounds Holding Facility Pomona No 9/4/2024 101 W McKinley Ave PD Seasonally Pomona, CA 91768 Open? La Verne Police Department City PD Storage 9/4/2024 2061 3rd St Only? La Verne, CA 91750 (909) 596-1913 LA General Hospital Jail Ward LASD Yes 9/11/2024 2051 Marengo St Los Angeles, CA 90033 (323) 409-1000 Lakewood Police Station LASD Yes 8/21/2024 5130 N Clark Ave Lakewood, CA 90712 (562) 623-3500 Lancaster Sheriff’s Station LASD Yes 8/28/2024 501 W Lancaster Blvd Lancaster, CA 93534 (661) 948-8466 8 Facility Agency Visited Date Visited LAX Courthouse LASD Yes 8/21/2024 11701 S La Cienega Blvd Los Angeles, CA 90045 (310) 725-3000 Lomita Station LASD Yes 8/28/2024 26123 Narbonne Ave Lomita, CA 90717 (310) 539-1661 Long Beach Police Department City PD Yes 9/4/2024 400 W Broadway Long Beach, CA 90802 (562) 570-7260 Los Angeles Airport Police Facility Airport Yes 8/28/2024 9160 Loyola Blvd PD Los Angeles, CA 90045 (424) 646-6100 Los Padrinos Juvenile Hall LASD Yes 8/21/2024 7285 Quill Drive Downey, CA 90242 (562) 940-8681 Lost Hills Station LASD Yes 8/28/2024 27050 Agoura Rd Calabasas, CA 91301 (818) 878-1808 Manhattan Beach Police Facility City PD Yes 8/21/2024 420 15th St Manhattan Beach, CA 90266 (310) 802-5140 Marina Del Rey Station LASD Yes 8/21/2024 13851 Fiji Way Marina Del Rey, CA 90292 (310) 482-6000 Men’s Central Jail LASD Yes 9/11/2024 441 Bauchet St Los Angeles, CA 90012 (213) 974-4921 Mental Health Courthouse LASD Yes 9/11/2024 5925 Hollywood Blvd Los Angeles, CA 90028 (323) 441-1898 Metropolitan Courthouse LASD Yes 9/11/2024 1945 S Hill St Los Angeles, CA 90007 (213) 745-3202 9 Facility Agency Visited Date Visited Metropolitan Detention Center LAPD Yes 9/11/2024 180 N Los Angeles St Los Angeles, CA 90012 (213) 485-0439 Michael D Antonovich Antelope Valley LASD Yes 8/28/2024 Courthouse 42011 4th St Lancaster, CA 93534 (661) 974-7200 Mission Hills Community Station LAPD Yes 8/28/2024 11121 N Sepulveda Blvd Mission Hills, CA 91345 (818) 838-9800 Monrovia Police City PD Yes 8/28/2024 140 E Lime Ave Monrovia, CA 91016 (626) 256-8000 Monterey Park Police City PD Yes 9/4/2024 320 W Newmark Ave Monterey Park, CA 91754 (662) 573-1311 Newton Community Station LAPD Station 8/28/2024 3400 S Central Ave Closed 9/11/2024 Los Angeles, CA 90011 Plumbing (323) 846-6547 Problems North County Correctional Facility LASD Yes 9/4/2024 29340 The Old Road Castaic, CA 91384 (661) 295-7810 North Hollywood Community Station LAPD Yes 9/4/2024 11640 Burbank Blvd North North Hollywood, CA 91601 (818) 623-4016 Northeast Community Station LAPD Yes 9/4/2024 3353 San Fernando Rd Los Angeles, CA 90065 (323) 561-3218 Norwalk Courthouse LASD Yes 9/4/2024 12720 Norwalk Blvd Norwalk, CA 90650 (562) 345-3700 Norwalk Station LASD Yes 9/4/2024 12335 Civic Center Drive Norwalk, CA 90650 (562) 863-8711 10 Facility Agency Visited Date Visited Olympic Community Station LAPD Yes 8/21/2024 1130 S Vermont Ave Los Angeles, CA 90006 (213) 382-9102 Pacific Community Station LAPD Yes 8/21/2024 12312 Culver Blvd Los Angeles, CA 90066 (310) 482-63334 Palmdale Sheriff’s Station LASD Yes 8/28/2024 750 East Ave Q Palmdale, CA 93550 (661) 272-2400 Palos Verdes Police City PD Yes 8/28/2024 340 Palos Verdes Drive Palos Verdes, CA 90274 (310) 378-4211 Pasadena Courthouse LASD Yes 8/28/2024 300 E Walnut St Pasadena, CA 91101 (626) 396-3300 Pasadena Police City PD Yes 8/28/2024 207 N Garfield Ave Pasadena, CA 91101 (626) 744-4501 Pico Rivera Station LASD Yes, 9/4/2024 6631 Passons Blvd Station Pico Rivera, CA 90660 Visited, (562) 848-2421 Jail Closed Pitchess Detention Center East Facility LASD Yes 9/4/2024 29330 The Old Road Castaic, CA 91384 (661) 295-7810 Pitchess Detention Center North Facility LASD Yes 9/4/2024 29320 The Old Road Castaic, CA 91384 (661) 295-8840 Pitchess Detention Center South Facility LASD Yes 9/4/2024 29330 The Old Road Castaic, CA 91384 (661) 295-8840 Pomona Courthouse LASD Yes 9/4/2024 400 W Mission Blvd Pomona, CA 91766 (909) 802-1100 11 Facility Agency Visited Date Visited Pomona Police City PD Yes 9/4/2024 490 W Mission Blvd Pomona, CA 91766 (909) 620-2155 Rampart Community Station LAPD Yes 8/21/2024 1401 W 6th Street Los Angeles, CA 90017 (213) 484-3400 Redondo Beach Police City PD Yes 8/28/2024 401 Diamond St Redondo Beach, CA 90277 (310) 379-2477 San Fernando Courthouse LASD Yes 8/21/2024 900 3rd Street San Fernando, CA 91340 (818) 256-1800 San Fernando Police City PD Yes 8/21/2024 910 1st Street San Fernando, CA 91340 (818) 898-1267 San Gabriel Police City PD Closed. 8/21/2024 625 Del Mar Ave San Gabriel, CA 91776 (626) 308-2828 San Marino Police City PD Yes 8/28/2024 2200 Huntington Drive San Marino, CA 91108 (626) 399-0720 Santa Clarita Courthouse LASD Yes 9/4/2024 23747 W Valencia Blvd Valencia, CA 91355 (661) 253-5600 Santa Clarita Sheriff’s Station LASD Yes 9/4/2024 26201 Golden Valley Road Santa Clarita, CA 91350 (661) 260-4000 Santa Clarita Valley Station LASD Yes 9/11/2024 23740 W Magic Mountain Pkwy Valencia, CA 91355 (661) 253-5699 Santa Monica Courthouse LASD Closed. 8/21/2024 1725 Main St #114 Santa Monica, CA 90401 (310) 260-3515 12 Facility Agency Visited Date Visited Santa Monica Police Station City PD Yes 8/21/2024 333 Olympic Dr. Santa Monica, CA 90401 (323) 395-9931 Sierra Madre Police City PD Yes 8/28/2024 242 W Sierra Madre Blvd Sierra Madre, CA 91024 (626) 355-1414 Signal Hill Police City PD Yes 9/4/2024 2745 Walnut Ave Signal Hill, CA 90755 (562) 989-7200 South Gate Police City PD Yes 8/28/2024 8620 California Ave South Gate, CA 90280 (323) 563-5436 South Pasadena Police City PD Yes 8/28/2024 1422 Mission St South Pasadena, CA 91030 (626) 403-7270 Southwest Community Station LAPD Yes 8/21/2024 1546 Martin Luther King Jr Blvd Los Angeles, CA 90062 (213) 972-7828 Temple City Station LASD Yes 8/21/2024 8838 Las Tunas Drive Temple City, CA 91780 (626) 285-7171 Topanga Community Station LAPD Yes 8/28/2024 21501 Schoenborn St Canoga Park, CA 91304 (818) 756-4800 Torrance Courthouse LASD Yes 8/28/2024 825 Maple Ave Torrance, CA 90503 (310) 787-3700 Torrance Police City PD Yes 8/28/2024 3300 Civic Center Drive Torrance, CA 90503 (310) 328-3456 Twin Towers LASD Yes 9/11/2024 450 Bauchet St Los Angeles, CA 90012 (213) 893-5100 13 Facility Agency Visited Date Visited Van Nuys Community Station LAPD Yes 9/11/2024 6240 Sylmar Ave Van Nuys, CA 91401 (818) 374-9500 Van Nuys Courthouse West LASD Yes 9/11/2024 14400 Erwin St Mall Van Nuys, CA 91401 (818) 989-6900 West Hollywood Station LASD Yes 9/4/2024 780 N San Vicente Blvd West Hollywood 90089 (310) 855-8850 West LA Community Station LAPD Yes 8/21/2024 1663 Butler Ave Los Angeles, CA 90025 (310) 444-0702 West Valley Community Station LAPD Yes 8/28/2024 19020 Vanowen St Reseda, CA 91335 (818) 374-7611 Whittier Police City PD Yes 9/4/2024 13200 Penn St Whittier, CA 90602 (562) 567-9200 Wilshire Community Station LAPD Yes 8/21/2024 4861 W Venice Blvd Los Angeles, CA 90019 (213) 473-0476 14 ACRONYMS Jury 2024 -2025 Los Angeles County Civil Grand Jury LASD Los Angeles County Sheriff’s Department LAPD Los Angeles Police Department City PD For cities within the County other than Los Angeles which have their own police force, the local police department County County of Los Angeles COMMITTEE MEMBERS William Allen, Committee Chair Ken Jefferson, Committee Co-chair Terry Maynes, Committee Secretary Lee Jenkins 15 16 EDIT COMMITTEE REPORT According to California Penal Code 933 (a), each Civil Grand Jury shall submit a Final Report to the Presiding Judge of the Los Angeles Superior Court, which includes the findings, investigations, and the recommendations that concern the Los Angeles County government during the calendar year. DUTIES The 2024-2025 Los Angeles County Civil Grand Jury (Jury) is charged with thoroughly examining the submitted written contents of each Investigative and Standing Committee report before it is submitted to the Edit Committee for potential corrections. The Jury must approve the overall content of the report by a supermajority of its membership. Jury members are encouraged to submit their suggestions for grammatical, factual, and stylistic revisions to the Edit Committee once the content has been approved. The Edit Committee works with Jury members – at the Jury members’ requests – to solve any problems encountered in writing their reports. Once the document has been approved by the Jury, the Edit Committee meets with the committee that produced the original document to discuss any problems encountered during editorial review. The Edit Committee makes suggestions for changes to the written report in order to improve the presentation, but such changes are approved by the committee that created the report. All reports are compiled into the Final Report by the Publication Committee, which creates the layout for the printed proof of the Final Report. The report is submitted to the Presiding Judge of the Los Angeles Superior Court for final approval. For this publication, including this report, the Edit Committee has reviewed and edited every Investigative and Standing Committee report. ACRONYM Jury 2024-2025 Los Angeles County Civil Grand Jury COMMITTEE MEMBERS Bob Nathan, Committee Chair Jenalea Smith, Committee Co-chair Lee Jenkins, Committee Secretary Bill Allen Michele McKinley Margaret Hatfield Jesse Rhines 2 HOSPITALITY COMMITTEE REPORT EXECUTIVE SUMMARY The Hospitality Committee is made up of six members of the Civil Grand Jury. The Hospitality Committee organized social events, provided beverages and supplies, and promoted collegiality among the members which allowed for a general feeling of togetherness and a friendly working environment. By general vote and agreement of the Grand Jury, the Committee established a monthly contribution amount for the general fund. The monies collected were used to buy needed supplies, monthly birthday celebrations and incidentals. Members of the Civil Grand Jury were assigned in teams of two, on rotation, for weekly clean-up duties. Holiday lunches were catered or celebrated in a local establishment. Birthday celebrations were marked with assorted bakery items and/or ice cream brought into the office lunch area. COMMITTEE MEMBERS Lynn Gidlow Co-Chair Margaret Hatfield Co-Chair Wayne Metcalf Co-Treasurer Terry Maynes Co-Treasurer Joel Floyd 1 2 INFORMATION TECHNOLOGY DUTIES The members of the 2024-2025 Los Angeles County Civil Grand Jury (CGJ) were provided touch-screen laptop computing devices, primarily for performing research using the global Internet, creating content to be shared within the CGJ, and creating, editing, and reviewing reports generated by the investigations carried out by the CGJ. The Information Technology Committee (IT) is a small collection of individuals who are experienced in the use of, and interaction with, the programs and operating system provided to the CGJ, and is responsible for assisting the Jury in using the platform and software. That is, IT has NO responsibility for implementing or maintaining information and networking systems, firewalls, databases, virtual private networks, computer hardware or operating system configuration, as one might be misled to expect given the common usage of the acronym IT. The basic responsibilities of IT are to explain things like how to store created content in appropriate locations on the server, how to save and retrieve information downloaded from the Internet, and how to integrate created content with content provided from other sources. In addition, IT was responsible for ensuring that all information stored on the local shared server is backed up on a regular basis. Finally, IT created the templates, agreed upon by the entire Jury, to ensure reports conform to an accepted format, so that the final publication has a uniform appearance. ACTIVITIES In the preceding section, we noted that content shared on the local server must be backed up regularly. IT chose to perform daily backups starting August 6, 2024. Lacking automation software, the backups are performed by copying from the server onto multi-terabyte USB hard drives. There is a complete backup of content and data that is accessible to Jury members for every day that the Jury was in session. IT began by backing up every afternoon, but as the time to back up the server increased beyond fifteen minutes per day, IT began coming in early and backing up before the Jury opened the daily session. This saved the previous day’s work, and did not sacrifice any part of the session during the day. To provide uniformity to reports, IT created templates for Microsoft Word documents that are inserted – by IT – into the Microsoft Word Templates subfolder within each juror’s Documents folder. The templates specify fonts, margins, spacing, and other formatting rules that were agreed upon by a super- majority of jurors. Templates for Standing Committee Reports, and for Investigative Reports were created and provided to Jury members before the writing of reports was begun. Most remaining activities consisted of instructive presentations, assistance to jurors with the usage of laptops and Microsoft Office software, and methodology for documents accepted by the Jury and submitted to the Edit Standing Committee. It was also the job of IT to recognize problems created by faulty hardware, and submit the information to CGJ administrators. RECOMMENDATIONS In order to obscure visibility to content supporting and created for Jury Investigations, the IT committee felt there should be a server volume that is exclusively available to the members of the Jury, and a separate volume that is used to share information between members of the Jury and the administrative staff. This provided a more effective method of keeping research and investigations confidential to the Jury. The new Microsoft SharePoint server was extremely helpful to providing a method that allowed external agencies to get information to the Jury in a way that is confidential and fast. We would ask the administration to consider using the SharePoint portal in a complementary way. SharePoint can be used to create a temporary location, available over the Internet, where an external agent, or external agents, may provide temporary login credentials to access files in the temporary location. This can be used to implement a method for getting documents to informants and agencies that is more secure than electronic mail, faster than postal mail, and in many cases more expedient and cheaper than hand delivery. Finally, on November 5, 2024, IT made a request to Grand Jury administration that the site http://grandjury.co.la.ca.us/ be replaced with a SSL secured site. We include a copy of the request in an appendix. The next Civil Grand Jury might follow-up on this request if it is of interest. ACRONYMS IT The Information Technology Committee CGJ 2024-2025 Los Angeles County Civil Grand Jury Jury 2024 -2025 Los Angeles County Civil Grand Jury USB Universal Serial Bus COMMITTEE MEMBERS William Allen, Committee Chair Nestor Apuya, Co-chair 3
R6: 5 Improve communication and coordination between Medical Center staff, security personnel, and the Sheriff's Department to ensure a consistent and effective response.
R7: LA General and LA Care, in consultation with DHS, should work together to develop a written plan that maximizes LA General’s impact in qualifying eligible Medi-Cal beneficiaries for ECM.
R8: LA General, as an ECM provider, should work with LA Care to generate a study on the effective recruitment of ECM eligible beneficiaries for the purpose of increasing the current 30% success rate in enrolling ECM eligible beneficiaries. 83
R9: The Board of Supervisors should direct DHS to conduct a detailed study of the incremental costs of DHS’s current and anticipated participation in CalAIM as an ECM provider, and the resulting financial benefits to the County and the State.
R10: The Board of Supervisors should direct DHS to conduct a detailed study of the incremental costs of LA General’s anticipated participation in CalAIM as an ECM provider, and the resulting financial and operational benefits to both the County and the State.
R11: LA General and LA Care, in consultation with DHS, should work together to develop strategies to obtain and analyze available data, including data generated by LA General’s ECM patients, for the purpose of evaluating the impact of the CalAIM program on beneficiary well-being and cost reduction.
R12: 11 County of Los Angeles Chief R12.1, R12.2, R12.3, R12.4, R12.5, Executive Office R12.6, R12.7, R12.8, R12.9, R12.10,
R13: The Board of Supervisors should direct the Hospitals and Health Delivery Commission to investigate the potential benefits and structural challenges of the LA County Restorative Care Villages, and make recommendations regarding their organization, management, coordination and operation for the purposes of maximizing high quality care for County patients, especially focusing on: (1) the importance of establishing centralized control and management over each Restorative Care Village, (2) the benefits of each Restorative Care Village effectively communicating and coordinating with its associated County Hospital, (3) the Restorative Care Village’s effective participation in CalAIM, especially in coordination with providers of Community Supports, and (4) the apparent lack of 84 a County-wide vision for the Restorative Care Villages; and the Board of Supervisors should review and respond to such recommendations. 85
R14: 1a X staffing needs of DA&C DA&R should report to BOS and CEO with staffing requirements; with special
R15: 10 X enough need in their city for retrofitting buildings of certain types. If So, create appropriate ordinances. If there is a lot of damage to building, more building inspectors would be needed. Plan for how temporary inspectors will be obtained and how they will be assigned, R 15.15 X keeping in mind that businesses in the medical field should be inspected first, followed by those who were enrolled in the Back to Business program. !"enO" giB eht evivruS ot woH - SSENIDAER YTEFAS EKAUQHTRAE hcaeB gnoL fo ytiC eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses Long Beach, Santa Clarita, Glendale, Lancaster, and Palmdale should inventory their buildings to determine if they have R 15.10 X enough need in their city for retrofitting buildings of certain types. If So, create appropriate ordinances. If there is a lot of damage to building, more building inspectors would be needed. Plan for how temporary inspectors will be obtained and how they will be assigned, R 15.15 X keeping in mind that businesses in the medical field should be inspected first, followed by those who were enrolled in the Back to Business program. Long Beach, Santa Clarita, Glendale, Lancaster, and Palmdale should inventory their buildings to determine if they have R 15.10 X enough need in their city for retrofitting buildings of certain types. If So, create appropriate ordinances. If there is a lot of damage to building, more building inspectors would be needed. Plan for how temporary inspectors will be obtained and how they will be assigned, R 15.15 X keeping in mind that businesses in the medical field should be inspected first, followed by those who were enrolled in the Back to Business Program. !"enO" giB eht evivruS ot woH - SSENIDAER YTEFAS EKAUQHTRAE atiralC atnaS fo ytiC eladnelG fo ytiC eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses Long Beach, Santa Clarita, Glendale, Lancaster, and Palmdale should inventory their buildings to determine if they have R 15.10 X enough need in their city for retrofitting buildings of certain types. If So, create appropriate ordinances. If there is a lot of damage to building, more building inspectors would be needed. Plan for how temporary inspectors will be obtained and how they will be assigned, R 15.15 X keeping in mind that businesses in the medical field should be inspected first, followed by those who were enrolled in the Back to Business Program. If there is a lot of damage to buildings, more building inspectors would be needed. Plan for how temporary inspectors will be obtained and how they will be assigned, R 15.10 X keeping in mind that businesses in the medical field should be inspected first, followed by those who were enrolled in the Back to Business Program If there is a lot of damage to building, more building inspectors would be needed. Plan for how temporary inspectors will be obtained and how they will be assigned, R 15.15 X keeping in mind that businesses in the medical field should be inspected first, followed by those who were enrolled in the Back to Business Program. !"enO" giB eht evivruS ot woH - SSENIDAER YTEFAS EKAUQHTRAE retsacnaL fo ytiC eladmlaP fo ytiC eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses The Cities of Industry and Vernon should consider having a Back to Business R 15.11 program to benefit the large number of X businesses in their cities and to help the economy recover. If there is a lot of damage to building, more building inspectors would be needed. Plan for how temporary inspectors will be obtained and how they will be assigned, R 15.15 X keeping in mind that businesses in the medical field should be inspected first, followed by those who were enrolled in the Back to Business program. The Cities of Industry and Vernon should consider having a Back to Business R 15.11 program to benefit the large number of X X businesses in their cities and to help the economy recover. If there is a lot of damage to building, more building inspectors would be needed. Plan for how temporary inspectors will be obtained and how they will be assigned, R 15.15 X keeping in mind that businesses in the medical field should be inspected first, followed by those who were enrolled in the Back to Business program. !"enO" giB eht evivruS ot woH - SSENIDAER YTEFAS EKAUQHTRAE yrtsudnI fo ytiC nonreV fo ytiC eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses .tpeD eriF arbmahlA All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. .tpeD eriF aidacrA All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. !"enO" giB eht evivruS ot woH - SSENIDAER YTEFAS EKAUQHTRAE eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses .tpeD eriF slliH ylreveB All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. .tpeD eriF knabruB All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. !"enO" giB eht evivruS ot woH - SSENIDAER YTEFAS EKAUQHTRAE eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses .tpeD eriF notpmoC All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English . Add "refresher" classes for those that were previously trained. When responding please indicate the 15.16 X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO) The Dept. of Sustainability should include this information in their annual reports. .tpeD eriF yenwoD All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. !"enO" giB eht evivruS ot woH - SSENIDAER YTEFAS EKAUQHTRAE eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses .tpeD eriF eladnelG All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. .tpeD eriF hcaeB gnoL All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When R 15.16 responding please indicate the languages X that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. !"enO" giB eht evivruS ot woH - SSENIDAER YTEFAS EKAUQHTRAE eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses .tpeD eriF selegnA soL All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. .tpeD eriF ollebetnoM All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. !"enO" giB eht evivruS ot woH - SSENIDAER YTEFAS EKAUQHTRAE eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses .tpeD eriF yeretnoM All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English . Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X languages that would be included. By august 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO) The Dept. of Sustainability should include this information in their annual reports. .tpeD eriF anedasaP All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. !"enO" giB eht evivruS ot woH - SSENIDAER YTEFAS EKAUQHTRAE eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses .tpeD eriF hcaeB odnodeR All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. .tpeD eriF acinoM atnaS All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. !"enO" giB eht evivruS ot woH - SSENIDAER YTEFAS EKAUQHTRAE eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses .tpeD eriF erdaM arreiS All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. .tpeD eriF anedasaP htuoS All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. !"enO" giB eht evivruS ot woH - SSENIDAER YTEFAS EKAUQHTRAE eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses .tpeD eriF ecnarroT All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. .tpeD eriF anivoC tseW All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. !"enO" giB eht evivruS ot woH - SSENIDAER YTEFAS EKAUQHTRAE
Hallazgos & Recomendaciones 39 hallazgos
F1: The only water well being used by the Lancaster Park Mobile 30 Home Park (PWSID: 25 CA1900038) contains high 20 levels of arsenic. In 2023 and 15 10 2024, the level of arsenic was 5 twice the maximum 0 contaminant level (MCL) set by the EPA. This is summarized in Finding Figure 1.1 below. Finding Figure 1.1. Arsenic contamination of water There was no effluent or source in Lancaster Park Mobile Home. treated water analysis data submitted by Lancaster Park Mobile to the California State Water Resources Control Board (CSWRCB). Source: https://www.waterboards.ca.gov/drinking_water/certlic/drinkingwater/EDTlibrary.html. Accessed: October 10, 2024 26 )L/gu( tnuomA Arsenic Content Well 01 Sampling Date
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F1A: State Mandated Service Reimbursement Rates make it difficult for Regional Centers and their contracted service providers to hire and retain qualified staff.
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F1B: The difficulty outlined in Finding #1A is compounded by the large numbers of multi-lingual Regional Center consumers which necessitates the hiring of multi- lingual case workers. In Los Angeles County, according to the US Census, non- English and bilingual speakers make up 56% of the population.40
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F2: The only source well being used by the Mettler Valley Mutual 16 (PWSID: CA1900100; located in 14 12 Lancaster) contains high levels 10 of arsenic. In 2023 and 2024, 8 6 the level of arsenic was about 4 1.5X the MCL set by the EPA. 2 0 This is summarized in the Finding Figure 2.1 below. Mettler Valley Mutual is currently Finding Figure 2.1. Arsenic contamination of water not treating the water from their source in Mettler Valley Mutual. wells to remove the arsenic. To resolve the arsenic contamination, they are working with the EPA and the State of California, which has given them a grant.66 They are working with an engineering company to drill a new well in a different location and depth. If the new well produces clean water, they may be able to mix water from the new and old wells to reduce the level of arsenic and bring the water back into compliance. If this plan works, they will not have to purchase a filter to remove arsenic from the water supply. To prepare for this plan, they have procured easements from the local land owners. Until the problem is resolved, the water district is distributing bottled water to all their customers and keeping them informed on the progress of remediation.67
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F3: The single well being used by the Village Mobile Home Park (PWSID: CA1900520; located in Lancaster) contains a high level of arsenic. In 2023 and 2024, the level of arsenic was 3.5X to 4.5X the MCL set by the EPA. This is summarized in Finding Figure 3.1 below. Interviewee from Mettler Valley Mutual, November 22, 2024 and January 14, 2025 67 Ibid 27 L/gu tnuomA Arsenic Content Well 01 Sampling Date There was no effluent or treated water analysis data submitted by Village Mobile Home Park to 60 California State Water Resources 50 40 Control Board (CSWRCB). 30 20 Arsenic naturally occurs in the 10 aquifer source. The water district 0 has been dealing with the problem of remediation since 2008.68 To remediate the problem, the water Finding Figure 3.1. Arsenic contamination of district has applied for $2 million water source in Village Mobile Home Park. funding from the state to drill a new 700 feet deep well located about 650 feet from the old well. Water pulled from the new well shows low traces of arsenic. The State Water Board has already approved the new well. They will not use the old well once the new one is operational, which is around the end of 2025.
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F4: There was no effluent or treated water analysis data submitted by Oak Grove Mobile Home Park (PWSID: CA1900537; located at Agua Dulce) to California State Water Resources Control Board (CSWRCB). In the second half of 2023, the only source well was contaminated by nitrates (see Finding Figure 4.1). Its level exceeded the MCL set by the EPA. The recorded rise in nitrates came after tremendous rain storms. A possible source of contamination was the effluent from livestock living nearby.69 Agua Dulce is a very rural Finding Figure 4.1. Nitrate contamination of community and many households have water source in Oak Grove Mobile Home a few horses and/or cows. The nearest Park. animals are upstream, but are a long 68 Interviewee from Village Mobile Home Park, November 21, 2024 69 Interviewee from Oak Grove Mobile Home Park, November 20, 2024 28 )L/gu( tnuomA Arsenic Content Well 01 Sampling Date 12 10 8 6 4 2 0 )L/gm( tnuomA Nitrate Content Well 01 Sampling Date way from the water supply.70 So the source of nitrate contamination is still not conclusively determined. Oak Grove considered installing a filtration system to remove the nitrates but the levels started to drop back down to acceptable levels so they did not install it.71 They are prepared to install if the levels return and remain high.
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F5: The only source well being used by the Mitchell's Avenue E Mobile 25 Home Park (PWSID: CA1900785; 20 located in Lancaster) is 15 contaminated with arsenic. In 10 2023 and 2024, the level of 5 arsenic was twice the MCL set by 0 the EPA. This is summarized in Finding Figure 5.1. Finding Figure 5.1. Arsenic contamination of water There was no effluent or treated source in Mitchell's Avenue E Mobile Home Park. water data provided by Mitchel’s Avenue E Mobile Home Park.
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F6: The two water wells of Sleepy Valley Water Company (PWSID: CA1900903; located in Santa Clarita) are contaminated with nitrates. In 2023-2024, the level of contamination was below the MCL set by the EPA (see Finding Figure 6.1). However, in 2020-2022, the level of nitrates had exceeded the MCL (see Finding Figure 6.2). The water analysis report submitted by Sleepy Valley to CSWRCB did not include treatment information. Ibid 71 Ibid 29 )L/gu( tnuomA Arsenic Content Well 01 Sampling Date 12 10 8 6 4 2 0 Finding Figure 6.1. Nitrate contamination of water wells of Sleepy Valley Water Company in 2023-2024. Finding Figure 6.2. Nitrate contamination of water wells of Sleepy Valley Water Company in 2020-2022.
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F7: The only source well being used by Winterhaven Mobile Estates (PWSID: CA1900961; located in Lancaster) is contaminated with arsenic. In 2023 and 2024, the level of arsenic was detected to be 7X the MCL set by the EPA. This is summarized in Finding Figure 7.1 shown below. There was no effluent or treated water analysis data submitted by Winterhaven Mobile Estates to California State Water Resources Control Board (CSWRCB). 30 )L/gm( tnuomA 3202/4/1 3202/1/2 3202/1/3 3202/5/4 3202/01/5 3202/7/6 3202/5/7 3202/2/8 3202/6/9 3202/4/01 3202/1/11 3202/51/11 3202/6/21 4202/3/1 4202/8/2 4202/7/3 4202/3/4 4202/2/5 4202/5/6 4202/3/7 LCM Nitrate Content Well 01 12 10 8 6 4 2 0 Sampling Date )L/gm( tnuomA 3202/4/1 3202/1/2 3202/5/4 3202/01/5 3202/7/6 3202/5/7 3202/6/9 3202/4/01 3202/1/11 3202/51/11 3202/6/21 4202/3/1 4202/8/2 4202/7/3 4202/3/4 4202/2/5 4202/5/6 4202/3/7 LCM Nitrate Content Well 02 Sampling Date 18 16 14 12 10 8 6 4 2 0 )L/gm( tnuomA 9102/81/21 0202/6/5 0202/8/7 0202/4/11 1202/42/3 1202/9/4 1202/4/8 1202/1/9 1202/6/01 1202/3/11 1202/1/21 2202/5/1 2202/2/2 2202/2/3 2202/6/4 2202/1/6 2202/22/6 2202/6/7 2202/3/8 2202/7/9 2202/21/01 2202/2/11 2202/7/21 LCM Nitrate Content, Well 01 20 18 16 14 12 10 8 6 4 2 0 Sampling Date )L/gm( tnuomA 9102/81/21 0202/6/5 0202/8/7 0202/4/11 1202/42/3 1202/9/4 1202/4/8 1202/1/9 1202/6/01 1202/3/11 1202/1/21 2202/5/1 2202/2/2 2202/2/3 2202/6/4 2202/1/6 2202/22/6 2202/6/7 2202/3/8 2202/7/9 2202/21/01 2202/2/11 2202/7/21 LCM Nitrate Content, Well 02 Sampling Date 90 80 70 60 50 40 30 20 10 0 Finding Figure 7.1. Arsenic contamination of water source of Winterhaven Mobile Estates. )L/gu( tnuomA Arsenic Content Well 01 Sampling Date The Jury reached out to Winterhaven Mobile Estate but the call was not returned.72
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F8: There are three source wells being used by North Trails Mutual 12 Water Company (PWSID: 10 CA1907014; located in Agua 8 6 Dulce). In 2023 and 2024, its 4 water analysis showed that well 2 #7 contain arsenic level nearly 0 above MCL (see Finding Figure 8.1). In early 2024, its #9 well had a nitrate level above the MCL (see Finding Figure 8.2). The source of Finding Figure 8.1. Arsenic contamination of one of the water sources of North Trails Mutual Water nitrate contamination is unknown. Company. There was no effluent or treated water analysis data submitted by North Trails Mutual to California State Water Resources Control Board (CSWRCB). The Jury reached out to North Trails Mutual but call was not returned.73 Finding Figure 8.2. Nitrate contamination of one of the water sources of North Trails Mutual Water Company.
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F9: Hemlock Mutual Water Company (PWSID: CA1910053; located in El Monte) has two wells that serve as its water sources. In 2023 and 2024, these two wells were contaminated with several volatile organic compounds, particularly PFOS and PFOA (see Finding Figures 9.1 and 9.2), with levels twice exceeding the MCL (4 72 Call placed on November 19, 2024 73 Call placed on November 21, 2024 31 )L/gu( tnuomA Arsenic Content Well 07 Sampling Date 14 12 10 8 6 4 2 0 )L/gm( tnuomA Nitrate Content Well 09 Sampling Date ng/L) set for these two chemicals. Other organic contaminants were also present (data not shown) but at a level below MCL. There was no effluent or treated water analysis data submitted by Hemlock Mutual to California State Water Resources Control Board (CSWRCB). The Jury reached out to Hemlock Mutual but calls were not returned.74 12 10 8 6 4 2 0 Finding Figure 9.1. PFOS contamination of the water sources of Hemlock Mutual Water Company. Finding Figure 9.2. PFOA contamination of the water sources of Hemlock Mutual Water Company.
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F10: Sterling Mutual Water Company (PWSID: CA1910158; located in El Monte) has two wells that serve as its water sources. Water analyses done in 2023 and 2024 indicate that the two wells were contaminated with several organic compounds including PFOS and PFOA (see Finding Figures 10.1 and 10.2), with levels almost twice exceeding the MCL set for these two compounds at 4 ng/L. Other 74 Calls placed on November 13, 2024 and December 4, 2024 32 )L/gn( tnuomA PFOS Content North Well 14 12 10 8 6 4 2 0 Sampling Date )L/gn( tnuomA PFOS Content South Well Sampling Date 5 4.5 4 3.5 3 2.5 2 1.5 1 0.5 0 )L/gn( tnuomA PFOA Content, North Well 8 7 6 5 4 3 2 1 0 Sampling Date )L/gn( tnuomA PFOA Content, South Well Sampling Date organic contaminants were also present (data not shown) but at a level below MCL. There was no effluent or treated water analysis data available provided by Sterling Mutual to California State Water Resources Control Board (CSWRCB), which indicate that Sterling Mutual is not doing any water treatment. This was confirmed by a representative of Sterling Mutual.75 7 6 5 4 3 2 1 0 Finding Figure 10.1. PFOS contamination of the water sources of Sterling Mutual Water Company. Finding Figure 10.2. PFOA contamination of the water sources of Sterling Mutual Water Company. Interviewee from Sterling Mutual Water Company, November 18, 2024 33 )L/gn( tnuomA PFOS Content, North Well 8 7 6 5 4 3 2 1 0 Sampling Date eltiT sixA PFOS Content, South Well Sampling Date 12 10 8 6 4 2 0 )L/gn( tnuomA PFOA Content, North Well 9 8 7 6 5 4 3 2 1 0 Sampling Date )L/gn( tnuomA PFOA Content, South Well Sampling Date
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F11: Based on the 2023 and 2024 water analyses 30 data reported by 25 California Water Service 20 Company - Leona Valley 15 (PWSID: CA1910243), 10 5 the waters from their 0 several sources were being blended and treated. However, the treated water still had Finding Figure 11.1. Bromodichloromethane contamination of several organic the water source of California Water Service Company - Leona compounds including Valley. bromodichloromethane (see Finding Figure 11.1). Note that the recommended MCLG set by the EPA for this compound is zero. Other volatile organic compounds were also detected at levels below the recommended MCL (data not shown). The Jury inquired as to the possible source of bromodichloromethane and what treatment California Water Service is doing for its removal or reduction. Representative from the district returned the call and informed the Jury that somebody would call to answer the question.76 The Jury did not receive a call back. Calls on November 19 and 20, 2024 34 )L/gn( tnuomA Bromodichloromethane, Treated Water Sampling Date
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F12: The well source of Amarillo Mutual Water 70 Company (PWSID: 60 CA1910002; located in 50 Rosemead) is 40 contaminated with a 30 20 number of volatile organic 10 compounds including 0 tetrachloroethylene (see Finding Figure 12.1). Amarillo Mutual has acknowledged that there Finding Figure 12.1. Tetrachloroethylene contamination of have been problems with water source in Amarillo Mutual Water Company. the water quality from its source for several years now. They draw their water from Well #1 which is pulled from the aquifer that is shared by several users. Well #1 is located near where the contaminants are concentrated. Since the water is contaminated, Amarillo Mutual purchases water from the San Gabriel water district for distribution to its customers.77 A superfund called the El Monte superfund was established to clean up the site of the contamination several years ago. It is called the El Monte superfund and is managed by San Gabriel Basin Water Quality Authority (WQA).78 The aquifer is swept by WQA periodically and the contaminants get moved to the North East end of the aquifer.77 Amarillo Mutual has installed an activated carbon filter to absorb the problematic chemicals from the water and it is working to bring down the numbers to an undetectable level.79 This costs the water district more than $1 million. Amarillo Mutual has applied for reimbursement from the California State Water Board but their application was denied.80 77 Interviewee from Amarillo Mutual Water Company, October 24, 2024 78 Source: https://wqa.com/about/, Accessed: December 16, 2024 79 Based on the water analysis data provided by Interviewee from Amarillo Mutual Water Co., November 4, 2024 80 Interviewee from Amarillo Mutual Water Co., October 24, 2024 35 )L/gu( tnuomA Tetrachloroethylene Content, Well 01 Sampling Date
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F13: In 2023, the treated water from California State Polytechnic 40 University – Pomona (PWSID: 35 30 CA1910022) water district was 25 20 contaminated with 15 bromodichloromethane (see 10 5 Finding Figure 13.1), whose 0 MCLG is set to zero by the EPA. In addition, the total trihalomethanes (TTHM) content in Finding Figure 13.1. Bromodichloromethane the treated water was above the contamination of treated water in California State 80 ug/L MCL (see Finding Figure Polytechnic University – Pomona. 13.2). Other organic compounds were also detected but were below the MCL. The Jury reached out to CSU- Pomona but the call was not returned.81 Finding Figure 13.2. Total trihalomethane detected in the treated water in California State Polytechnic University – Pomona.
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F14: Results from water analysis submitted by Crescenta Valley Water District (CWD; PWSID: CA1910028) in 2023 and 2024 indicate that some of the water wells being used by CWD were contaminated with a number of chemicals including PFOS, PFOA, and nitrate. These are highlighted in Finding Figures 14.1 to 14.3. The MCL for both PFOS and PFOA is 4 ng/L, and for nitrate is 10 mg/L. Call placed on November 15, 2024 36 )L/gu( tnuomA Bromodichloromethane Content, DBPR Sample Sampling Date 120 100 80 60 40 20 0 )L/gu( tnuomA Trihalomethane Content, DBPR Sample Sampling Date 25 20 15 10 5 0 Finding Figure 14.1. PFOS contamination of wells #8 and #9 of Crescenta Valley Water District. Finding Figure 14.2. PFOA contamination of wells #1 and #8 of Crescenta Valley Water District. Finding Figure 14.3. Nitrate contamination of wells #2 and #5 of Crescenta Valley Water District. CWD mentioned that the possible source of the volatile organic compounds is a superfund site.82 However, while the source of contamination for nitrates is unknown CWD suspects that it is coming from either failing septic tanks or from accumulated fire retardants used in fighting fires or both.83 In addition, CWD mentioned the area was an agricultural area which may have too many nitrates. Interviewee from Crescenta Valley CWD, December 2, 2024 83 Ibid 37 )L/gn( tnuomA PFOS Content, Well 08 6 5 4 3 2 1 0 Sampling Date )L/gn( tnuomA PFOS Content, Well 09 Sampling Date 12 10 8 6 4 2 0 )L/gn( tnuomA PFOA Content, Well 01 25 20 15 10 5 0 Sampling Date )L/gn( tnuomA PFOA Content, Well 08 Sampling Date 12 10 8 6 4 2 0 )L/gm( tnuomA Nitrate Content, Well 02 14 12 10 8 6 4 2 0 Sampling Date )L/gm( tnuomA Nitrate Content, Well 05 Sampling Date For immediate remediation, CWD is purchasing water from Metropolitan Water District and blending it with water from their well to dilute the contaminants. Results of the analysis indicate that the levels of contaminants contained in the blended water are below the specified MCL. They are also testing a pilot plan to treat water using granulated activated carbon or ion exchange to remove the contaminants permanently.84
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Recomendaciones relacionadas (1)
R4: 1 This recommendation addresses Findings #14, #17, and #30. Publicly-owned water providers (Crescenta Valley Water District, Lynwood Park Mutual Water Co., and Monterey Park City Water Dept. – see respective Finding numbers) that have significant issues with PFOS and PFOA should accelerate the implementation of their remediation plans to remove or significantly reduce these contaminants.
F15: El Monte City Water District (PWSID: CA1910038) has six wells as sources of water for distribution; five are contaminated with tetrachloroethylene, also known as PCE. In Finding Figure 15.1, four of the wells are highlighted. The levels of PCE were above MCL as indicated in the 2023 and early 2024 analyses. In the case of well #12, the PCE level was about 6.5X of the MCL. 35 30 25 20 15 10 5 0 Finding Figure 15.1. Tetrachloroethylene contamination of some of the water wells of El Monte City Water District. (Note: The y-axes for all graphs are adjusted to be of the same scale.) Other organic compounds, including trichloroethylene, were also detected above the MCL level (see Finding Figure 15.2). Ibid 38 )L/gu( tnuomA Tetrachloroethylene Content, Well 03 35 30 25 20 15 10 5 0 Sampling Date )L/gu( tnuomA Tetrachloroethylene Content, Well 12 Sampling Date 35 30 25 20 15 10 5 0 )L/gu( tnuomA Tetrachloroethylene Content, Well 15 35 30 25 20 15 10 5 0 Sampling Date )L/gu( tnuomA Tetrachloroethylele Content, Well 16 Sampling Date The source of contamination appears to be the superfund site that is being managed by the San Gabriel Basin Water Quality Authority (WQA).85 El Monte City Water District installed a granular activated carbon treatment system to filter the water before it enters the supply lines. The treated water has reduced levels of contaminants.86 This is evident in Finding Figure 15.3. El Monte City Water District applied for reimbursement from the EPA funds through WQA. 70 60 50 40 30 20 10 0 Finding Figure 15.2. Trichloroethylene contamination of some of the water wells of El Monte City Water District. Finding Figure 15.3. Reduction of trichloroethylene contamination after water treatment in El Monte City Water District. Interviewee from El Monte City Water District, December 2, 2024 86 Ibid 39 )L/gu( tnuomA Trichloroethylene Content, Well 02 14 12 10 8 6 4 2 0 Sampling Date )L/gu( tnuomA Trichloroethylene Content, Well 14 Sampling Date 14 12 10 8 6 4 2 0 )L/gu( tnuomA Trichloroethylene Content, Well 15 40 35 30 25 20 15 10 5 0 Sampling Date )L/gu( tnuomA Trichloroethylene Content, Well 16 Sampling Date 7.00 6.00 5.00 4.00 3.00 2.00 1.00 0.00 )L/gu( tnuomA Trichloroethylene Content, Effluent (Treated Water) Sampling Date
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F16: Nitrate, perchlorate, carbon tetrachloride, and volatile organic compounds are found to be present in the water sources used by Lincoln Avenue Water Co. (PWSID: CA1910063; located in Altadena). In 2023 and 2024 analyses, the levels of these contaminants were below MCL (data not shown). Lincoln Avenue Water is using appropriate steps to resolve the problem. Treatment facilities were installed (ionic exchanger and granular activated carbon) to remove the VOCs.87 Hence, water being distributed by Lincoln Avenue Water to its consumers is up to the EPA and California standards. A possible source of the volatile organic compounds that are present in the district’s water wells is NASA JPL site.88 This has been considered a superfund site since the 1980s.89
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F17: There are three wells currently 1 2 8 0 16 being used by 14 12 10 Lynwood Park 8 6 4 Mutual Water 2 0 Co. (PWSID: CA1910081; located in Compton) as Finding Figure 17.1. PFOS contamination of water wells of sources of Lynwood Park Mutual Water Co. water for their customers. Based on 2023 and 2024 analyses, the wells contained PFOS (see Finding Figure 17.1) and PFOA (see Finding Figure 17.2) that were above the MCL (4 ng/L for both PFOS and PFOA). In the case of PFOS, it was about 4X the MCL standard. Other volatile organic compounds 87 Interviewee from Lincoln Avenue Water Co., November 13, 2024 88 Ibid 89 Ibid 40 )L/gn( tnuomA PFOS Content, Well 01 20 18 16 14 12 10 8 6 4 2 0 Sampling Date )L/gn( tnuomA PFOS Content, Well 02 Sampling Date 20 18 16 14 12 10 8 6 4 2 0 )L/gn( tnuomA PFOS Content, Well 03 Sampling Date (e.g., tetrachloroethylene and trichloroethylene) were also detectable but below MCL (data not shown). Lynwood Park Mutual does not know the 8 7 source of the contamination. As far as 6 5 they know, no superfund site is 4 involved.90 They are developing a plan to 3 2 assess the source of the contamination. 1 0 As of this report writing, Lynwood Park is still in the process of drafting a plan and finding a suitable solution to install a treatment system that will remove the contaminants. Accordingly, the cost is quite prohibitive.91 There was no effluent or treated water analysis data submitted by Lynwood Park Mutual to California State Water Resources Control Board (CSWRCB). Finding Figure 17.2. PFOA contamination of water wells of Lynwood Park Mutual Water Co.
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Recomendaciones relacionadas (1)
R4: 1 This recommendation addresses Findings #14, #17, and #30. Publicly-owned water providers (Crescenta Valley Water District, Lynwood Park Mutual Water Co., and Monterey Park City Water Dept. – see respective Finding numbers) that have significant issues with PFOS and PFOA should accelerate the implementation of their remediation plans to remove or significantly reduce these contaminants.
F18: PFOA and PFOS are two of the major contaminants found in the source wells being used by Pico Water District (PWSID: CA1910125; located in Pico Rivera) at a level way above their MCL (4 ng/L) set by the EPA. These are highlighted in Finding Figures 18.1 and 18.2. At some point in 2023 and 2024, the PFOA and PFOS levels were about 3X and 6X the MCL, respectively. Interviewee from Lynwood Park Mutual Water Co., November 19, 2024 91 Ibid, January 14, 2025 41 )L/gn( tnuomA PFOA Content, Well 01 Sampling Date 8 7 6 5 4 3 2 1 0 )L/gn( tnuomA PFOA Content, Well 02 Sampling Date 8 7 6 5 4 3 2 1 0 )L/gn( tnuomA PFOA Content, Well 03 Sampling Date 16 14 12 10 8 6 4 2 0 Finding Figure 18.1. PFOA contamination of some of the water wells of Pico Water District. Finding Figure 18.1. PFOS contamination of some of the water wells of Pico Water District. The amount of PFOA is above the Response Level (10 ng/L) set by California State Water Board, which triggered the Pico Water District to issue a notification to its customers about PFOA and its health effects (see Finding Figure 18.2). 42 )L/gn( tnuomA PFOA Content, Well 05 16 14 12 10 8 6 4 2 0 Sampling Date )L/gn( tnuomA PFOA Content, Well 08 Sampling Date 16 14 12 10 8 6 4 2 0 )L/gn( tnuomA PFOA Content, Well 10 16 14 12 10 8 6 4 2 0 Sampling Date )L/gn( tnuomA PFOA Content, Well 11 Sampling Date 30 25 20 15 10 5 0 )L/gn( tnuomA PFOS Content, Well 05 30 25 20 15 10 5 0 Sampling Date )L/gn( tnuomA PFOS Content, Well 08 Sampling Date 25 20 15 10 5 0 )L/gn( tnuomA PFOS Content, Well 10 20 18 16 14 12 10 8 6 4 2 0 Sampling Date )L/gn( tnuomA PFOS Content, Well 11 Sampling Date A possible source of the contaminants is not clear. Their wells are presumably near the location that used to be occupied by Northrop Corp.92 Pico Water District purchased three new treatment plants (ion exchangers) and these have been installed since 2023. These cost them millions of dollars. They applied for a permit to begin using the treatment plants. The district had been waiting for at least a year now for the Division of Drinking Water of the California State Resource Control Board to issue the permit.93 Finding Figure 18.2. Copy of the notification letter issued on June 22, 2024 by the Pico Water District (PWSID: CA1910125) to its customers as a result of PFOA reaching above the Response Level of 10 ng/L. Interviewee from Pico Water District, November 5, 2024 93 Ibid 43
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F19: Nitrates appear to be ubiquitous in wells being used Cal/Am Water 12 Company - San Marino (PWSID: 10 CA1910139). In 2023 and 2024, 8 the nitrate content of one of its 6 4 wells was approaching the MCL 2 (Finding Figure 19.1). Based on 0 the water analysis they submitted to California State Water Resources Control Board (CSWRCB), the district appears Finding Figure 19.1. Nitrate content in one of the to be blending water from wells being used by Cal/Am Water Company - San Marino different wells to significantly reduce the amount of nitrates in water for distribution. The water analysis also indicates that bromodichloromethane was significantly higher than the recommended MCL for this chemical which is zero. Finding Figure 19.2. Bromodichloromethane content in water treatment in Cal/Am Water Company - San Marino. 44 )L/gm( tnuomA Nitrate Content, Winston Well Sampling Date 16 14 12 10 8 6 4 2 0 )L/gu( tnuomA 3202/42/2 3202/42/2 3202/42/2 3202/42/2 3202/62/5 3202/62/5 3202/62/5 3202/62/5 3202/22/8 3202/22/8 3202/22/8 3202/22/9 3202/12/11 3202/12/11 3202/12/11 3202/12/11 4202/32/2 4202/32/2 4202/32/2 4202/32/2 4202/42/5 4202/42/5 4202/42/5 LCM Bromodichloromethane Content, DBPR Sampling Date
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F20: South Montebello Irrigation District (PWSID: CA1910153) has three wells as water 35 30 sources. Based on the results 25 of water analysis in 2023-2024, 20 15 all of the three wells were 10 contaminated with PFOS and 5 0 PFOA at about 5X and 3X the recommended MCL, respectively (see Finding Figures 20.1 and 20.2). Finding Figure 20.1. PFOS contamination in water wells of South Montebello Irrigation District. South Montebello Irrigation District (SMID) is aware of the presence of these chemicals.94 According to SMID, the aquifer associated with their wells are contaminated. They do not know the source of these contaminants but they suspect that the sources are the run-off from fire-fighting foam retardants Finding Figure 20.2. PFOA contamination in water used in the hills above wells of South Montebello Irrigation District. Montebello that washed into the Rio Hondo River and then into the aquifer. They have been told by the Fire Department that the current water retardants no longer have these chemicals. SMID has issued notification warning to their customers about these contaminants.95 They are drawing up plans to remediate the problem including installation of water treatment and creation of new wells and a new emergency generator. They believe that these plans will be implemented starting in 2026.96 94 Interviewee from South Montebello Irrigation District, February 5, 2025 95 Source: https://smid.specialdistrict.org/files/f11e9aa63/SMID+PFA+Notification+9-5-24.pdf. Accessed: February 5, 2025 96 Interviewee from South Montebello Irrigation District, February 5, 2025 45 )L/gn( tnuomA PFOS Content, Wells 03 (black), 05 (white), 07 (striped bars) Sampling Date 14 12 10 8 6 4 2 0 )L/gn( tnuomA PFOA Content, Wells 03 (black), 05 (white), 07 (striped bars) Sampling Date
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F21: Based on their submitted water analysis report in 2023-2024, results indicate that one (Well #2) of the wells being used by the City of South Pasadena Water Department (PWSID: CA1910154) was contaminated with tetrachloroethylene (or PCE) at a level 3X the MCL (see Finding Figure 21.1, upper panel). In the previous years (2015 to 2022), this chemical was also detected above MCL in Well #2 (see lower panel of Finding Figure 21.1). The other wells also contained tetrachloroethylene that was below MCL (data not shown). There was no data 20 18 submitted to the California 16 14 State Water Resources 12 10 Control Board (CSWRCB) 8 6 4 regarding 2 0 tetrachloroethylene content in treated (effluent) water. According to the City of South Pasadena Water Department, water from this well is just being monitored but not being used for distribution to consumers. Hence, there is no treated water sample available from this well. The source of PCE in their Finding Figure 21.1. Tetrachloroethylene contamination water system is the San of Well #2 of City of South Pasadena Water Dept. from 2015 to 2024. Gabriel Water Basin, where a number of superfund sites are located. The Basin serves as the water source for some of the wells of City of South Pasadena Water Dept.98 Aside from PCE, the City has to monitor other organic compounds (e.g., trichloroethylene and 1,2,3-Trichloropropane).99 For this reason, the City had to install treatment facilities (e.g., granulated activated charcoal and ion-exchanger) in 2022 at a cost of about $11.2 million. Interviewee from City of South Pasadena Water Department, February 28, 2025 98 Ibid 99 Ibid 46 )L/gu( tnuomA Tetrachloroethylene Content, Well 02 (2023 -2024) Sampling Date 20 18 16 14 12 10 8 6 4 2 0 )L/gu( tnuomA 5102/6/1 5102/3/2 5102/62/2 5102/3/3 5102/7/4 5102/5/5 5102/02/5 5102/2/6 5102/7/7 5102/4/8 5102/02/8 5102/1/9 5102/1/01 6102/2/2 6102/22/2 6102/1/3 6102/5/4 6102/2/5 6102/9/5 6102/5/7 6102/2/8 6102/21/8 6102/4/01 6102/1/11 6102/12/11 2202/52/5 2202/5/01 2202/1/11 2202/5/21 2202/5/21 LCM Tetrachloroethylene, Well 02 (2015-16 and 2022) Sampling Date
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F22: In the 2023-2024 the analysis indicated that nitrates and some volatile organic compounds were detected at some of the wells being used by Sunny Slope Water Company (PWSID: CA1910157) but they were below the corresponding MCL (data not shown). Analyses done in 2019 to 2022 indicated similar results. In addition, data regarding analysis of effluent samples indicates that Sunny Slope is performing treatment of water coming from these wells.
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F23: There are two wells being used by Tract 349 Mutual Water Company (PWSID: CA1910160; located in Cudahy). One of them (Well #3) was contaminated with manganese (see Finding Figure 23.1) at 2X the MCL. In addition, the well had has high levels of PFOA (at 2X) and PFOS (at 11X) that are above MCL (see Finding Figure 23.2). Other VOCs were also present in the well but they were below the corresponding MCL (data not shown). Tract 349 was already notified by the State Water Regulatory Board about the high level of manganese in their water.100 However, they have not been notified about the presence of high levels of some VOCs.101 According to Tract 349, Well 120 #4 serves as the 100 water supply 80 source and Well 60 40 #3 is pumped for 20 sampling and for 0 monitoring purposes only and is not part of water supply.102 Finding Figure 23.1. Manganese contamination of one of the The levels of wells of Tract 349 Mutual Water Company manganese and VOCs in Well #4 are below their corresponding MCLs (data not shown). Interviewee from Tract 349 Mutual Water Co., November 18 and 21, 2024 101 Ibid 102 Based on the document submitted by Tract 349 Mutual Water Co., December 14, 2024 47 )L/gu( tnuomA Manganese Content, Well 03 Sampling Date The source of water for the two wells is the groundwater from the Central Basin.103 Manganese is prevalent throughout this basin and it has been present from the time of the formation of Tract 349 in 1912. PFOS and PFOA have been detected in the Central Basin beginning in the late 2010s and were detected in Tract 349’s wells in or about April 2024.104 Tract 349 is drafting a plan to remedy the manganese problem. As part of this plan, they wrote a grant to seek funding from the state of California for the water treatment to remove manganese in Well #4.105
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F24: The level of nitrates in some of the wells being used by Valley Water Co. (PWSID: CA1910166; located in La Canada Flintridge) is approaching the MCL (see Finding Figure 24.1). The same can be said about the overall treated water coming from the four wells. 12 10 8 6 4 2 0 Finding Figure 24.1. Nitrate contamination of wells in Valley Water Company. Ibid 104 Ibid 105 Interviewee from Tract 349 Mutual Water Co., November 18 and 21, 2024 48 )L/gm( tnuomA Nitrate Content, Well 04 12 10 8 6 4 2 0 Sampling Date )L/gm( tnuomA 50 45 40 35 30 25 20 15 10 5 0 4/30/20246/21/2024 4/30/20246/21/2024 MCL Finding Figure 23.2. PFOS and PFOA contamination of one of the wells of Tract 349 Mutual Water Company. Nitrate Content, Wells 1, 2, 3, 4 Effluent Sampling Date )L/gn( tnuomA PFOS (in solid black) and PFOA (in white) Contents, Well 03 Sampling Date Bromodichloromethane, one of the volatile organic compounds, is also found in the water of Valley Water (see Finding Figure 24.2). The MCL set goal by the EPA for this chemical is zero (see Table 4). 14 12 10 8 6 4 2 0 Finding Figure 24.2. Bromodichloromethane contamination of wells in Valley Water Company. According to Valley Water, the possible source of the contamination is a site that Jet Propulsion Laboratory used to utilize; no superfund site is involved.106 They have been dealing with the contamination issue for more than 20 years. The water district has installed a filtration system to remove the contaminants before water distribution.107
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F25: At some point of in 2023 and 2024, some of the wells being used by GSWC - South San Gabriel (PWSID: CA1910223) were contaminated by nitrates and some volatile organic compounds (including PFOS, PFOA, and tetrachloroethylene) at levels above the MCL. Based on the effluent data available, GSWC is treating the water to reduce the contaminants and the treatment procedure appears to be working (see Finding Figures 25.1 and 25.2). Interviewee from Valley Water Co., November 13, 2024 107 Ibid 49 )L/gu( tnuomA Bromodichloromethane Content, Well 02 14 12 10 8 6 4 2 0 Sampling Date )L/gu( tnuomA Bromodichloromethane Content, Well 03 Sampling Date 12 10 8 6 4 2 0 Finding Figure 25.1. Nitrate content of contaminated well (upper panel) and treated water (lower panel) in GSWC - South San Gabriel. Finding Figure 25.2. PFOS and PFOA contents of contaminated wells and treated water in GSWC - South San Gabriel. 50 )L/gm( tnuomA Nitrate Content, Well 02 Sampling Date 12 10 8 6 4 2 0 )L/gm( tnuomA 3202/3/1 3202/32/1 3202/7/2 3202/12/2 3202/6/3 3202/3/4 3202/42/4 3202/8/5 3202/03/5 3202/31/6 3202/5/7 3202/71/7 3202/13/7 3202/41/8 3202/5/9 3202/81/9 3202/2/01 3202/6/11 3202/72/21 4202/8/1 4202/42/1 4202/7/2 4202/22/2 4202/4/3 4202/81/3 4202/1/4 4202/51/4 4202/92/4 4202/41/5 4202/82/5 4202/11/6 4202/42/6 4202/8/7 4202/22/7 Nitrate Content, Treated (Effluent) Sampling Date 35 30 25 20 15 10 5 0 )L/gn( tnuomA PFOS Content in Well 01 (black bars), Well 02 (white bars), and treated water (bar w/ diagonal) 16 14 12 10 8 6 4 2 0 Sampling Date )L/gn( tnuomA PFOA Content in Well 01 (black bars),Well 02 (white bars), and treated water (bar w/ diagonal) Sampling Date
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F26: Three wells in Land Projects Mutual Water Company (PWSID: CA1910246; 25 located in Lancaster) contains arsenic 20 15 levels that are above the maximum 10 contaminant level. This is highlighted in 5 Finding Figure 26.1. The wells also 0 contain nitrates but at a level below MCL (data not shown). Land Projects is using the three wells in rotation as a source of water. To remedy the arsenic problem, Land Projects also installed a 4th well with water treatment capability (i.e., absorption treatment).108 This will serve as the primary source of treated water. The water from the other wells will be blended in with the primary source to dilute the amount of arsenic. This way the blended water will meet the EPA standard of having arsenic level below the MCL threshold. The installation is almost done and will be operational by March or April 2025 Finding Figure 26.1. Arsenic contamination after inspection by the State Water of the water wells in Land Projects Mutual Board.109 Water Co. Interviewee from Land Projects Mutual Water Co., November 20, 2024 109 Ibid, February 3, 2025 51 )L/gu( tnuomA Arsenic Content, Well 01 Sampling Date 25 20 15 10 5 0 )L/gu( tnuomA Arsenic Content, Well 03 Sampling Date 25 20 15 10 5 0 )L/gu( tnuomA Arsenic Content, Well 08 Sampling Date
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F27: Some of the wells being used by GSWC – 160 Florence/Graham Water 140 120 District (PWSID: 100 80 CA1910077; located in 60 40 Santa Fe Springs) are 20 contaminated with volatile 0 organic compounds including trichloroethylene and tetrachloroethylene. Based on the 2023-2024 analyses, trichloroethylene and tetrachloroethylene were detected at about 10X- 25X and 1.2X-2.4X their MCL (5 ug/L), respectively (see Finding Figures 27.1 and 27.2). The same reports also indicate that GSWC – Florence/Graham is treating the waters. However, such treatment was only effective in reducing the trichloroethylene for Finding Figure 27.1. Trichloroethylene contamination of wells and treated water in GSWC-Florence/Graham Water several months in 2023 or District. in early 2024. There was no reported data about the tetrachloroethylene content in treated water. Finding Figure 27.2. Tetrachloroethylene contamination of well #1 in GSWC- Florence/Graham Water District. 52 )L/gu( tnuomA 3202/4/1 3202/6/2 3202/4/4 3202/6/6 3202/01/7 3202/01/7 3202/6/9 3202/6/11 3202/4/21 4202/2/1 4202/8/2 4202/1/4 4202/7/5 4202/3/6 4202/1/7 LCM Trichloroethylene Content, Converse Well 01 Sampling Date 14 12 10 8 6 4 2 0 )L/gu( tnuomA 3202/4/1 3202/11/1 3202/71/1 3202/32/1 4202/8/2 4202/72/2 4202/8/3 4202/21/3 4202/91/3 4202/52/3 4202/1/4 4202/9/4 4202/51/4 4202/22/4 4202/2/5 4202/7/5 4202/41/5 4202/02/5 4202/82/5 4202/3/6 4202/11/6 4202/71/6 4202/42/6 4202/1/7 LCM Trichloroethylene Content, Treated (Effluent, Converse Well 1) Sampling Date 12 10 8 6 4 2 0 )L/gu( tnuomA 3202/1/2 3202/31/2 3202/31/3 3202/72/3 3202/11/4 3202/42/4 3202/6/6 3202/91/6 3202/5/7 3202/81/7 3202/2/8 3202/41/8 3202/82/8 3202/21/9 3202/81/9 3202/9/01 3202/6/11 3202/72/11 3202/11/21 3202/82/21 4202/8/1 4202/32/1 4202/7/2 4202/72/2 4202/11/3 4202/52/3 4202/9/4 4202/22/4 4202/7/5 4202/02/5 LCM Trichloroethylene Content, Treated (Effluent, Nadeau Plant) Sampling Date 14 12 10 8 6 4 2 0 )L/gu( tnuomA 3202/4/1 3202/6/2 3202/4/4 3202/6/6 3202/01/7 3202/01/7 3202/6/9 3202/6/11 3202/4/21 4202/2/1 4202/8/2 4202/1/4 4202/7/5 4202/3/6 4202/1/7 LCM Tetrachloroethylene Content, Converse Well 01 Sampling Date
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F28: Some of the water wells being used by the City of Alhambra Water District (PWSID: CA1910001) are contaminated with nitrates and some volatile organic compounds (e.g., trichloroethylene). Results of water analysis conducted in 2023- 2024 indicate that they were present above the respective contaminant MCL. Based on the available effluent data, the City of Alhambra appears to be treating the water from these wells. The level of the contaminants is significantly reduced (see Finding Figure 28.1 for nitrate and Finding Figure 28.2 for trichloroethylene). 25 20 15 10 5 0 Finding Figure 28.2. Trichloroethylene content of contaminated well (upper panel) and treated water (lower panel) in City of Alhambra Water District. 53 )L/gu( tnuomA Trichloroethylene Content, Well 09 Sampling Date 6 5 4 3 2 1 0 )L/gu( tnuomA 14 12 10 8 6 4 2 0 Finding Figure 28.1. Nitrate content of contaminated well (upper panel) and treated water (lower panel) in City of Alhambra Water District. Trichloroethylene Content, Effluent (Treated) Sampling Date eltiT sixA 3202/41/11 4202/7/2 4202/4/6 4202/2/7 3202/4/1 3202/7/2 3202/9/3 3202/9/3 3202/4/4 3202/2/5 3202/6/6 3202/6/7 3202/2/8 3202/6/9 3202/3/01 3202/7/11 3202/6/21 4202/71/1 4202/7/2 4202/2/4 4202/7/5 4202/4/6 4202/2/7 LCM Nitrate Content, Well 07 (bars in solid black)& Well 09 (bars in white) Axis Title 12 10 8 6 4 2 0 )L/gm( tnuomA Nitrate Content, Treated (Effluent) Sampling Date
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F29: The water wells of Valley County Water District (PWSID: CA1910009; located in Baldwin Park) are contaminated with a number of organic compounds including tetrachloroethylene and trichloroethylene, the levels of which were detected either at 10X or 5X, respectively, based on the district’s 2023 analysis (see Finding Figures 29.1 and 29.2). 60 50 40 30 20 10 0 Finding Figure 29.1. Tetrachloroethylene contamination of water sources of Valley County Water District. Finding Figure 29.2. Trichloroethylene contamination of water sources of Valley County Water District. Aside from the above organic chemicals, the wells contain PFOS and PFOA (data not shown). Valley County Water Mutual is also monitoring the following VOCs: perchlorate, N-Nitrosodimethylamine, and 1,4-dioxane. They also found nitrates which are usually produced by nearby dairy farms.111 110 Interviewee from Valley County Water District, October 25, 2024 111 Ibid 54 )L/gu( tnuomA Tetracholoethylene Content, Well SA1-4 60 50 40 30 20 10 0 Sampling Date )L/gu( tnuomA Tetrachloroethylene Content, Well 07 Sampling Date 30 25 20 15 10 5 0 )L/gu( tnuomA Trichloroethylene Content, Well SA1-4 30 25 20 15 10 5 0 Sampling Date )L/gu( tnuomA Trichloroethyle Content, Well 07 Sampling Date According to Valley County Water Mutual, the water from their wells is 6 pumped into a single line which then 5 is blended prior to treatment.112 The 4 results of the treatment of blended 3 water showed that the level of 2 contaminants is significantly reduced 1 as highlighted in Finding Figure 29.3 0 4/25/2023 4/13/2023 4/13/2023 4/25/2023 MCL for tetrachloroethylene. Finding Figure 29.3. Reduction of tetrachloroethylene after treatment of blended The source of the contamination is a water in Valley County Water District. superfund site affecting the aquifer and the district’s water wells.113 The original contaminators were sued by the EPA and have been paying to clean up the site for years. The clean-up is being done through WQA who installed an activated carbon filter to flush the aquifer. They also sell their treated water to other water districts.114 They claim to test the water before and after pumping and the water is 100% according to EPA standards. In addition, they file an annual report with the state water board that lists all complaints they receive from consumers.
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F30: The water wells being used by Monterey Park City Water Dept. (PWSID: CA1910092) are contaminated with a number of volatile organic compounds, including PFOS and PFOA, arsenic, and nitrates. In 2024, Wells #3, #5, #10, and #12 had levels of PFOS about 10X and about 2.5X the MCL, respectively (see upper panel of Finding Figure 30.1; data for #3 and #10 are not shown). The same wells had levels of PFOA at about 3.5X and about 2.5X the MCL (see upper panel of Finding Figure 30.2). Ibid 113 Ibid 114 Ibid 55 )L/gu( tnuomA Tetrachloroethyle Content, After Treatment Sampling Date 50.00 45.00 40.00 35.00 30.00 25.00 20.00 15.00 10.00 5.00 0.00 Finding Figure 30.1. PFOS contamination of water wells and treated water in Monterey Park City Water Dept. Finding Figure 30.2. PFOA contamination of water wells and treated water in Monterey Park City Water Dept. 56 )L/gn( tnuomA PFOS Content, Well 05 50.00 45.00 40.00 35.00 30.00 25.00 20.00 15.00 10.00 5.00 0.00 Sampling Date )L/gn( tnuomA PFOS Content, Well 12 Sampling Date 18.00 16.00 14.00 12.00 10.00 8.00 6.00 4.00 2.00 0.00 )L/gn( tnuomA PFOS Content, Treated Water (Effluent) Sampling Date 16.00 14.00 12.00 10.00 8.00 6.00 4.00 2.00 0.00 )L/gn( tnuomA PFOA Content, Well 05 16.00 14.00 12.00 10.00 8.00 6.00 4.00 2.00 0.00 Sampling Date )L/gn( tnuomA PFOA Content, Well 12 Sampling Date 12.00 10.00 8.00 6.00 4.00 2.00 0.00 )L/gn( tnuomA PFOA Content, Treated Water (Effluent) Sampling Date Monterey Park City Water Dept. is treating the water from the contaminated wells. However, based on the 2023-24 analysis, the treated water still contains PFOS and PFOA at levels about 4X and 2.5X the MCL (see lower panels in Finding Figure 30.1 and 30.2). Some of the wells were also contaminated with tetrachloroethylene at about 8X to 10X the set MCL (see Finding Figure 30.3). 60.00 50.00 40.00 30.00 20.00 10.00 0.00 Finding Figure 30.3. Tetrachloroethylene contamination of water wells in Monterey Park City Water Dept. The treatment of water appears to be working in reducing tetrachloroethylene, arsenic, and nitrate contaminants. For example, some wells had originally contained arsenic that is 1.7X – 2X the MCL (see upper panels in Finding Figure 30.3). After treatment, the arsenic level was significantly reduced below the MCL (see lower panel of Finding Figure 30.3). The level of tetrachloroethylene was significantly reduced as well (see Finding Figure 30.4). However, in the case of tetrachloroethylene, data for treated water was only available for 2023 but not for 2024. According to Monterey Park City Water Dept., this omission was due to delays in laboratory processing. The updated effluent analysis data for 2024 has been uploaded to CLIP since the matter was brought to their attention by the Jury.115 115 Based on the response letter provided to the Jury by interviewee from Monterey Park City Water Dept., February 13, 2025 57 )L/gu( tnuomA Tertrachloroethylene Content, Well 12 60.00 50.00 40.00 30.00 20.00 10.00 0.00 Sampling Date )L/gu( tnuomA Tetrachloroethylene Content, Well 15 sampling Date 20.00 18.00 16.00 14.00 12.00 10.00 8.00 6.00 4.00 2.00 0.00 Finding Figure 30.3. Arsenic contamination of water wells and treated water in Monterey Park City Water Dept. Finding Figure 30.4. Reduction of tetrachloroethylene after treatment in Monterey Park City Water Dept. Monterey Park City Water Dept. attributed the presence of arsenic in the wells primarily due to the natural occurrence of this element in the San Gabriel Groundwater Basin.116 They have been monitoring arsenic since the 2000s. On the other hand, the presence of tetrachloroethylene, PFOS and PFOA are attributed to the contaminated aquifers (superfund sites) in the San Gabriel Water Basin that is managed by Water Quality Authority.117 116 Ibid 117 Ibid 58 )L/gu( tnuomA Arsenic Content, Fern Well 30.00 25.00 20.00 15.00 10.00 5.00 0.00 7/25/202311/7/202312/7/20232/5/2024 4/1/2024 7/1/2024 MCL Sampling Date )L/gu( tnuomA Arsenic Content, Well 09 Sampling Date 12.00 10.00 8.00 6.00 4.00 2.00 0.00 )L/gu( tnuomA 3202/3/1 3202/71/1 3202/13/1 3202/41/2 3202/82/2 3202/41/3 3202/72/3 3202/11/4 3202/52/4 3202/9/5 3202/22/5 3202/6/6 3202/6/7 3202/8/8 3202/32/8 3202/6/9 3202/91/9 3202/3/01 3202/32/01 3202/41/11 3202/4/21 3202/91/21 4202/9/1 4202/32/1 4202/21/2 4202/72/2 4202/21/3 4202/62/3 4202/9/4 4202/03/4 4202/31/5 4202/92/5 4202/11/6 4202/52/6 4202/9/7 4202/32/7 LCM Arsenic Content, Combined Water -Treated Sampling Date 60.00 50.00 40.00 30.00 20.00 10.00 0.00 )L/gu( tnuomA Tetrachloroethylene Content, Influent (Before Treatment) 6.00 5.00 4.00 3.00 2.00 1.00 0.00 Sampling Date )L/gu( tnuomA Tetrachloroethylene Content, Effluent (Treated) Sampling Date The City of Monterey Park Water Dept. is evaluating and implementing advanced treatment technologies (e.g., granular activated carbon and ion exchange systems) to mitigate the contamination due to PFOS and PFOA.118
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Recomendaciones relacionadas (1)
R4: 1 This recommendation addresses Findings #14, #17, and #30. Publicly-owned water providers (Crescenta Valley Water District, Lynwood Park Mutual Water Co., and Monterey Park City Water Dept. – see respective Finding numbers) that have significant issues with PFOS and PFOA should accelerate the implementation of their remediation plans to remove or significantly reduce these contaminants.
F31: 2). Source: https://www.ioes.ucla.edu/project/the-human-right-to-water-in-poor-communities-of- color-southern-los-angeles-county/. Accessed: December 16, 2024 60 Source: https://lacounty.gov/2023/01/19/la-county-transfers-management-of-sativa-water- district-to-new-owner/. Accessed: December 16, 2024 22 The total amount is enormous for one water system. Los Angeles County should be prudent. To this end, it must take seriously the possibility of helping the concerned water districts now, as mentioned in the recommendations listed in this report. Particularly, Recommendation #5 should be addressed now, or the County may face the possibility of spending at least this enormous amount in the near future if another water district fails. CSO & DPW and Report Recommendations While the regulation of water providers is under the purview of the California State Water Resources Control Board (through its several regional water quality boards),61 the Jury considers it appropriate to address most of the
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F32: In 2019, a resolution was passed by the Los Angeles County Board Supervisors supporting clean and safe water within the Sativa Water District and across California.127 The first provision in the resolution is the establishment of a Sativa Water System Special Fund in the electronic Countywide Accounting and Purchasing System to account for the former district’s accounting and budgetary activities as the Successor Agency for the dissolved water district. The Special Fund provides for the operation and maintenance of a reliable and high-quality water distribution system. The Jury looked at the financial records related to the Special Fund and the details are shown in Finding Table 32.1. Since its creation until the end of 2024, the Special Fund has received $29.609 million (highlighted in green), which include the following sources:128, 129 • “Transfers In” from Los Angeles Department of Public Works General Fund - $10.27 million • Proceeds from the sale of water rights - $10.68 million • Water Sales and Other Service Charges - $4.709 million • Interest earnings - $1.06 million • Grants from the State of California - $1.73 million • Other Water Revenues - $398,734 • Federal government - $17,034 Since the creation of the Special Fund in 2019 until 2024, the Los Angeles County Department of Public Works used the Fund for the following:130 127 Source: https://file.lacounty.gov/SDSInter/bos/supdocs/135510.pdf. Accessed: December 16, 2024 128 Based on the documents provided by interviewee from Los Angeles County Department of Public Works (DPW), December 5, 2024 129 Interviewee from DPW, January 29, 2025 130 Based on the documents provided by interviewee from Los Angeles County Department of Public Works (DPW), December 5, 2024 62 • Services and Supplies - $15.279 million • Other charges - $2.557 million (representing payments of County Loan and Bank bond) • “Transfers Out” to Los Angeles Department of Public Works General Fund - $3.0 million Among the items included in the “Services and Supplies” category are various expenses related to: (1) General and Administrative ($3.824 million); (2) Water System Operations ($5.414 million); and (3) Infrastructures and Capital ($6.041 million, which includes, among others, $0.706 million for Repair Pipeline Break, $1.129 million for Well Rehab/Hydropneumatics Tank Reconditioning, and $4.027 million for Manganese Treatment System).131 Hence, the total amount spent so far is about $17.836 million ($20.836 million, amount highlighted in red in Finding Table 32.1, minus the $3 million transferred out to DPW General Fund). This amount does not include the $8.925 million allotted for 2024-25, of which $8.335 million is meant for additional expense for manganese treatment system.132 131 Ibid 132 Ibid 63 .dnuF laicepS avitaS fo stroper laicnanif fo yrammuS .1.23 elbaT gnidniF 52-4202 -buS yrogetaC 42-3202 )lautcA( 32-2202 22-1202 12-0202 02-9102 91-8102 snoitcejorP( eht ot pU( latoT ****** )lautcA( ***** **** )lautcA( *** )lautcA( ** )lautcA( * )lautcA( detpodA morf )4202 fo dne )tegduB secnaniF fo secruoS yrogetaC 00.000,277,8 $ $ 00.000,109,3 $ 00.000,843,2 $ 00.000,751,1 $ 00.000,131,1 $ ta ecnalaB dnuF elbaliavA 00.000,232,41 raey fo gninnigeb eht 00.688,758 $ 00.066,091 $ 00.212,67 $ 00.404,512 $ 00.590,561 $ 00.515,012 $ dnuF detagilbO lecnaC ecnalaB 00.000,351 $ 04.405,419 $ 97.171,865 $ 95.037,772 $ 62.749,71 $ 99.794,21 $ 32.928,73 $ 45.723 $ tseretnI 00.0 $ 00.818,037,1 $ 27.440,032 $ 82.377,005,1 $ tnarG etatS 02.430,71 $ 02.430,71 $ 91-divoC - tnarG laredeF 00.0 $ 95.716,337,4 $ 95.123,261 $ 06.276,605 $ 25.554,612,1 $ 64.738,072,1 $ 25.576,442,1 $ 09.456,233 $ rehtO dna selaS retaW segrahC ecivreS 17.903,486,01 $ 17.903,486,01 $ sthgiR retaW fo elaS 00.000,272,01 $ 00.000,463,2 $ 00.000,773,1 $ 00.000,992,2 $ 00.000,230,3 $ 00.000,002,1 $ )FGWP morf( nI srefsnarT 00.0 $ 21.437,893 $ 40.407,893 $ 00.31 $ 80.61 $ 00.1 $ euneveR retaW rehtO 00.000,529,8 $ mus( M 906.92 $ $ 26.289,930,81 $ 43.036,296,6 $ 54.134,409,4 $ 57.910,656,5 $ 44.289,235,1 $ ylraeY secruoS ecnaniF )evoba eht fo 24.758,155,51 latoT yrogetaC serutidnepxE 00.000,529,8 $ 84.604,972,51 $ 13.749,977,3 $ 70.582,577,1 $ 05.832,626,2 $ 66.605,383,2 $ 10.457,213,4 $ 39.476,104 $ seilppuS dna secivreS 43.578,655,2 $ 30.948,230,2 $ 66.332,561 $ 94.082,271 $ 61.215,681 $ segrahC rehtO 00.525 $ 00.525 $ - stessA latipaC erutcurtsarfnI 00.000,000,3 $ 00.000,000,3 $ )FGWP ot( tuO srefsnarT 00.000,529,8 $ mus( M 638.02 $ 13.749,977,6 $ 01.431,808,3 $ 61.274,197,2 $ 51.213,655,2 $ 71.662,994,4 $ 39.476,104 $ ylraeY serutidnepxE evoba eht fo latoT )pxE 00.0 $ 11.019,177,8 $ 25.848,132,41 $ 81.851,109,3 $ 03.911,843,2 $ 85.357,651,1 $ 15.703,131,1 $ ecnalaB teN ylraeY dnuF 46 :)5202 ,13 yraunaJ :desseccA – woleb detic secruos lla( 1.23 elbaT gnidniF ot setontooF )/tegdub-0202-9102/vog.ytnuocal.oec//:sptth( tegduB detpodA ytnuoC selegnA soL 02-9102 fo 623 egap :ecruoS - * )/tegdub-1202-0202/vog.ytnuocal.oec//:sptth( tegduB detpodA ytnuoC selegnA soL 12-0202 fo 923 egap :ecruoS - ** )/tegdub-2202-1202/vog.ytnuocal.oec//:sptth( tegduB detpodA ytnuoC selegnA soL 22-1202 fo 533 egap :ecruoS - *** )/tegdub-3202-2202/vog.ytnuocal.oec//:sptth( tegduB detpodA ytnuoC selegnA soL 32-2202 fo 633 egap :ecruoS - **** )/tegdub-4202-3202/vog.ytnuocal.oec//:sptth( tegduB detpodA ytnuoC selegnA soL 42-3202 fo 243 egap :ecruoS - ***** -AL/21/4202/sdaolpu/tnetnoc-pw/vog.ytnuocal.oec//:sptth( tegduB detpodA laniF ytnuoC selegnA soL 52-4202 fo 143 egap :ecruoS - ****** )fdp.kooB-tegduB-laniF-52-4202-ytnuoC 56
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F33: Between 1978 and 2006, Department of Water and Power (DWP; PWSID: CA1910067) cleaned and cement-lined approximately 2,600 miles of pipes in the City of Los Angeles.133 In addition, starting in 1998, DWP replaced low-lead water meters with lead-free water meters.134 These measures were taken to control corrosion and minimize lead exposures. In addition, DWP regularly took water samples for analysis of lead contamination, from different sites along the water distribution pipeline within the City of Los Angeles (see Finding Figure 33.1). To determine if lead is present in these pipelines, the Jury examined water analysis data provided by DWP to the Jury. Results of the analysis in 2024 are shown in Finding Table 33.1. The approximate location of the sampling sites are overlaid in Finding Figure 33.1. Overall, there was no detectable lead in the water samples taken from the distribution pipelines within Los Angeles city in 2024. Similar analyses performed in 2020 to 2023 had indicated no detectable levels of lead as well (data no shown). Finding Table 33.1. Results of Lead analysis from different sampling points in Los Angeles City water pipeline conducted by Los Angeles Department of Water and Power in 2024. Note: ND in the Result column means Not Detectable. Code in Finding Location Code Sampling Date Analyte Result Figure 33.1 BROOKMOT 2/19/2024 Lead ND A BROOKMOT 5/20/2024 Lead ND BROOKMOT 8/19/2024 Lead ND ROCKGLEN 2/19/2024 Lead ND B ROCKGLEN 5/24/2024 Lead ND ROCKGLEN 8/23/2024 Lead ND 055ST 1/15/2024 Lead ND C 055ST 4/17/2024 Lead ND ALMAR 2/20/2024 Lead ND D ALMAR 5/22/2024 Lead ND ALMAR 8/21/2024 Lead ND E ALMETZ 3/22/2024 Lead ND BEVGLEN 1/21/2024 Lead ND F BEVGLEN 4/21/2024 Lead ND DS074 2/25/2024 Lead ND 133 Source: of the 2023 Drinking Water Quality Report available at https://www.ladwp.com/who-we-are/water-system/las-drinking-water-quality-report. Accessed: December 16, 2024) 134 Ibid 66 Code in Finding Location Code Sampling Date Analyte Result Figure 33.1 G DS074 5/24/2024 Lead ND DS074 8/25/2024 Lead ND H DS049 3/23/2024 Lead ND I CUMBRE 3/18/2024 Lead ND DENNI 1/18/2024 Lead ND J DENNI 4/15/2024 Lead ND K FRAMPTON 3/23/2024 Lead ND BYPIN 1/15/2024 Lead ND L BYPIN 4/15/2024 Lead ND M HERSHEY 3/21/2024 Lead ND HOBART 1/18/2024 Lead ND N HOBART 4/18/2024 Lead ND KIRKCOLM 2/22/2024 Lead ND O KIRKCOLM 5/21/2024 Lead ND KIRKCOLM 8/21/2024 Lead ND VENICE 1/17/2024 Lead ND P VENICE 4/19/2024 Lead ND Q DS131 3/23/2024 Lead ND PDLMR985 2/21/2024 Lead ND PDLMR985 5/20/2024 Lead ND R PDLMR985 8/22/2024 Lead ND PAXTON 2/19/2024 Lead 0.62 PAXTON 5/25/2024 Lead ND S PAXTON 8/20/2024 Lead ND DS077 2/25/2024 Lead ND T DS077 5/24/2024 Lead ND DS077 8/25/2024 Lead ND RSCBCL 1/15/2024 Lead ND U RSCBCL 4/15/2024 Lead ND V SANRAFL 3/18/2024 Lead ND DS066 1/18/2024 Lead ND W DS066 4/17/2024 Lead ND X HARPER 3/24/2024 Lead ND Y DS111 3/22/2024 Lead ND DS048 1/15/2024 Lead ND Z DS048 4/17/2024 Lead 0.51 DS078 2/19/2024 Lead ND DS078 5/20/2024 Lead ND Z2 DS078 8/19/2024 Lead ND ZEPHYR 2/21/2024 Lead ND ZEPHYR 5/20/2024 Lead ND Z3 ZEPHYR 8/19/2024 Lead ND 67 Finding Figure 33.1. Map of the City of Los Angeles showing the overlay of the sampling sites within the water distribution system of DWP. Illustration map was provided by the Los Angeles Department of Water and Power (DWP). Overlaying of the location letter codes was done by the Jury using the Canva software available online (https://www.canva.com/). 68
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F34: In 2023, DWP implemented a lead and copper survey in the City of Los Angeles as part of its compliance with the Federal Lead and Copper Rule.135,136 DWP looked for volunteer customers who were residing in single family homes that were built between 1982 and 1987. Tap water from these homes was collected and analyzed for lead and copper. The result for lead is summarized in Finding Figure 34.1.137 The survey revealed that three out of 105 (90%) had lead content exceeding the actionable level (AL) of 15 ppb set by EPA. One sample contained lead at 5X the AL. According to DWP, these customers were advised by DWP to take the proper action to remediate lead contamination in their plumbing system.138 80 70 60 50 40 30 20 10 0 Finding Figure 34.1. Lead contamination in some households surveyed and analyzed by Department of Water and Power. Note: The actual locations indicated in the sampling locations are not included in the graph for privacy reason. The Actionable Level (AL) is represented by the bar on the right. Source: https://www.epa.gov/ground-water-and-drinking-water/revised-lead-and-copper-rule. Accessed: December 16, 2024 136 See: Footnote “e” in Table 1 (Cont’d), of the 2023 Drinking Water Quality Report available at https://www.ladwp.com/who-we-are/water-system/las-drinking-water-quality-report. Accessed: December 16, 2024 137 Based on data downloaded from CSWBRB; also consistent with the data provided to the Jury by the LA Department of Water and Power, September 20, 2024 138 Interviewee from Los Angeles Department of Water and Power, November 6, 2024 69 )L/gu( tnuomA Lead Analysis of Tap Water in Some Old Houses in Los Angeles City, 2023 Residential Sample Location
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F35: The Better Watts Initiative produced a report resulting from a study by Hoague et al. (2024)139 showing that tap waters are contaminated with lead in some of the residential houses in the Watts neighborhood. The results were provided to the Jury140 and these are shown in Finding Table 35.1. The source locations of tap waters samples are approximately mapped out in Finding Figure 35.1. Finding Table 35.1. Number of samples with lead contamination taken from residential homes in the Watts area of Los Angeles. (See also corresponding map in Finding Figure 34.1). Neighborhood Block Highlighted Number of Lead Under Lead Above Area in Samples * 15 ppb 15 ppb Figure 34.1 Between E 97th St (s) & E 92nd St (n) A 22 0 0 S Alameda St (e) and Grape St (w) Jordan Downs: E 97th St (n) and E B 30 2 0 103rd St (s) S Alameda St (e) and Grape St (w) E 92nd St (n) and E 103rd St (s) C 98 3 1 Grape St (e) and Graham Ave (w) Nickerson Gardens: E 111th St (n) and D 122 3 2 Imperial Hwy (s) S Central Ave (w) and Compton Ave (e) E 103rd St (n) and E 108th St (s) E 76 4 0 Graham Ave (w) and Croesus Ave (e) Imperial Courts: Santa Ana Blvd (n) and F 42 1 0 E 117th St (s) Croesus Ave(w) and Mona Blvd (e) E 92nd St (n) and E 102nd St (s), G 78 2 0 Success Ave (w) and Grandee Ave (e) E 108th St (n) and E 111th St (s) H 41 1 2 Avalon Blvd (w) and McKinley Ave (e) * - Total number of samples analyzed with known addresses = 530 139 Hoague et al., 2024 (Unpublished). Dark Waters Project: The Assessment of the Presence of Heavy Metal Contaminants in the Tap Water of Watts Residences, and Public Perceptions of Water Infrastructure in Los Angeles. Interviewee from Better Watts Initiative, August 23, 2024 70 In the news article published by the Guardian and the Los Angeles Times regarding the above study, it was reported that the Watts area residents were “… blaming a nearby metal recycling plant, Atlas Iron and Metal, that regularly sends shards of metals zooming over its fence ...” 141, 142 The recycling plant facility is located adjacent to Jordan High School and Jordan Downs Housing Development (see map in Figure 35.1). A G C B E H D F Finding Figure 35.1. Approximate map locations of residential areas as sampling sites mentioned in Table 34.1 and their proximity to potential source of lead contamination (highlighted in red circle). Note: The indicated locations in the map are not exact and for illustration purposes only. Source of map: Google Maps. As of the writing of this report, the Los Angeles District Attorney is prosecuting the company (S&W Atlas Iron and Metal Corp.) and its two owners.143,144 “The indictment includes charges with 21 felony counts of knowingly disposing of hazardous waste with no permit and one felony count of deposit of hazardous waste.” The wastes contain hazardous substances like lead, zinc, chromium, nickel, selenium, antimony, copper, and/or cadmium.145 The Los Angeles District Attorney’s press release on September 26, 2024 says that soil samples taken from an area of Jordan High School showed excessive concentrations of lead 141 Source: https://www.theguardian.com/us-news/article/2024/aug/21/los-angeles-watts-tap- water-lead-contamination. Accessed: December 16, 2024 142 Source: https://www.latimes.com/environment/story/2024-08-29/mayor-bass-calls-for- investigation-of-lead-in-watts-drinking-water. Accessed December 16, 2024 143 Source: https://lacounty.gov/2024/09/26/district-attorney-gascon-announces-new-25-count- grand-jury-indictment-against-atlas-metal-owners/. Accessed: December 16, 2024 144 Source: https://www.latimes.com/california/story/2024-09-26/metal-recycling-plant-accused-of- exposing-watts-high-school-students-to-explosions-toxic-waste. Accessed: December 16, 2024 145 Source: Case No. 24CJCF05804, September 18, 2024 71 and zinc. Additional samples taken at the recycling plant contained excessive concentrations of some the aforementioned metals.
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F36: In September 2024, the Los Angeles City of Department of Water and Power (DWP), in collaboration with the Housing Authority of the City of Los Angeles (HACLA), has initiated an extended analysis of tap water samples from HACLA- owned four housing developments (i.e., Jordan Downs, Imperial Courts, Nickerson Gardens, and Gonzague Village) and non-HACLA residential units located in the Watts neighborhood.146 Finding Table 36.1. Analysis of tap water samples taken from four HACLA-owned and non- HACLA residential units located in Los Angeles Watts neighborhood. HACLA Housing Units Non-HACLA Units Total No. of Samples 1,952 117 Analyzed No. of samples with no 1,133 (58.13%) 100 (85.47%) detectable lead No. of samples with lead content below State 786 (40.33%) 16 (13.68%) Reporting Limit (0.5 to 5 ppb) No. of samples with lead content above State 19 (0.97%) 1 (0.85%) Reporting Limit but under Federal Action level (5 to 15 ppb) No. of samples with lead 11 (0.56%) 0 (0.00%) content above the Federal Action Level (> 15 ppb) As of January 18, 2025, DWP has analyzed a total of 2,069 samples -- 1,952 samples from about 1,600 units of HACLA housing complexes and 117 samples from about 58 non-HACLA units. The results are summarized in Finding Table 36.1.147 About 11 samples collected from HACLA housing units have levels of lead detected above the Action Level (15 ppb). As of the end of January 2025, 146 Interviewees from HACLA (October 21, 2024) and DWP (October 31, 2024) 147 Data provided to the Jury by Interviewee from DWP, January 21, 2025 72 the project is still ongoing as DWP recruits more volunteers from non-HACLA units.148
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F37: Most of the action items outlined by SCO and DWP (see Discussion section of this Report) concerning water quality issues, including possible financing mechanisms for small-scale water systems, have not been implemented.149 148 Interviewee from DWP, January 24, 2025 149 Interviewees from Los Angeles County Chief Sustainability Office (January 27, 2025) and Department of Public Works (January 29, 2025) 73
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Recomendaciones adicionales 14

No vinculadas a hallazgos específicos.

R1: The Board of Supervisors should rejuvenate the Health Agency originally approved by the BOS in 2015, empowering it to make binding decisions regarding collaboration and integration projects involving health-related County Departments, including the Departments of Health Services, Public Health, Mental Health and Aging and Disabilities, especially including CalAIM participation and the operation of the Restorative Care Villages. (In implementing this Recommendation, the BOS should read Dr. Katz’s memorandum, attached as Exhibit A.)
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R2: The Board of Supervisors should direct the Chief Executive Officer, in consultation with DHS, to conduct a detailed study of the opportunity, ability and available budget for a rejuvenated Health Agency to assume responsibility for all LA County initiatives regarding the homeless.
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R3: The Board of Supervisors should direct the Chief Executive Officer, in consultation with DHS, to conduct a detailed study of the comparative benefits of the new Homeless Services Department to address homelessness as compared with a rejuvenated Health Agency serving the same function, as proposed under
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R5: 1 X BREATHE that the BOS chooses for their own policy reasons should be part of any success metrics by which to analyze such programs, if any. BOS should disclose the amount of money paid by quarter to date: (a) to the University of Pennsylvania to run and administer the R 5.2 BREATHE programs; (b) the amounts paid X to the treatment group (those paid, as opposed to the control group); and (c) administrative costs incurred by the County. toliP s'ytnuoC selegnA soL & emocnI cisaB deetnarauG fo sisylanA nA - EHTAERB OT MOOR sevitaitinI srosivrepuS fo draoB .oC selegnA soL eciffO evitucexE feihC .oC selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses In the interest of local health and the City's and reputation as a worldwide tourist destination, the Creek's soft bottom segment must be abated to prevent it from R 6.1 becoming a breeding ground for the primary X vectors for transmission of West Nile or Dengue Fever. BOS coordinated clean up, and vector control against predicted dengue fever. City of Compton explore alternative money management such as a trustee appointment R 6.2 for general fund disbursement and city service moneys or more seriously, file for Federal bankruptcy protection. X In the interest of local health and the City's and reputation as a worldwide tourist destination, the Creek's soft bottom segment must be abated to prevent it from R 6.1 becoming a breeding ground for the primary X vectors for transmission of West Nile or Dengue Fever. BOS coordinate clean up, and vector control against predicted dengue fever. City of Compton explore alternative money management such as a trustee appointment R 6.2 for general fund disbursement and city services moneys or more seriously, file for Federal bankruptcy protection. X Regarding the City of Compton, prioritize the cleanup of the water and sewer infrastructure and especially prioritize R 6.3 Compton Creek. Explore the possibility to assigning a Trustee to fulfil the project objectives of bringing the creek up to excellent standards. X )TON( wolF ti teL ,wolF tI teL ,wolF tI teL - REVIR SELEGNA SOL htlaeH cilbuP fo .tpeD .oC selegnA soL skroW cilbuP fo .tpeD .oC selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses eht laeH yaB City of Compton should explore how Heal the Bay (and any other interested R 6.4 X environmental/other civic-oriented group) can restart volunteer cleanup activities. In the interest of local health and the City's and reputation as a worldwide tourist destination, the Creek's soft bottom segment must be abated to prevent it from R 6.1 becoming a breeding ground for the primary vectors for transmission of West Nile or Dengue Fever. BOS coordinate clean up, and vector control against predicted dengue fever. X City of Compton explore alternative money management such as a trustee appointment R 6.2 for general fund disbursement and city service moneys or more seriously, file for Federal bankruptcy protection. X City of Compton should explore how Heal the Bay (and any other interested R 6.4 X environmental/other civic-oriented group) can restart volunteer cleanup activities. Leadership in the City of Compton should explore appointing a non-biased Trustee to R 6.5 navigate issues with funding and frastructure. X hcaeB gnoL fo ytiC In the interest of local health and the City's and reputation as a worldwide tourist destination, the Creek's soft bottom segment must be abated to prevent it from R 6.1 becoming a breeding ground for the primary X X vectors for transmission of West Nile or Dengue Fever. BOS coordinate clean up, and vector control against predicted dengue fever. )TON( wolF ti teL ,wolF tI teL ,wolF tI teL - REVIR SELEGNA SOL notpmoC fo ytiC eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses In the interest of local health and the City's and reputation as a worldwide tourist destination, the Creek's soft bottom segment must be abated to prevent it from R 6.1 becoming a breeding ground for the primary X vectors for transmission of West Nile or Dengue Fever. BOS coordinate clean up, and vector control against predicted dengue fever. City of Compton explore alternative money management such as a trustee appointment R 6.2 for general fund disbursement and city X service moneys or more seriously, file for Federal bankruptcy protection. Regarding the City of Compton, prioritize the cleanup of the water and sewer infrastructure and especially prioritize R 6.3 Compton Creek. Explore the possibility to X assigning a Trustee to fulfil the project objectives of bringing the creek up to excellent standards. City of Compton should explore how Heal the Bay (and any other interested R 6.4 X environmental/other civic-oriented group) can restart volunteer cleanup activities. In the interest of local health and the City's and reputation as a worldwide tourist destination, the Creek's soft bottom segment must be abated to prevent it from R 6.1 becoming a breeding ground for the primary X vectors for transmission of West Nile or Dengue Fever. BOS coordinate clean up, and vector control against predicted dengue fever. City of Compton should explore how Heal the Bay (and any other interested R 6.4 X environmental/other civic-oriented group) can restart volunteer cleanup activities. )TON( wolF ti teL ,wolF tI teL ,wolF tI teL - REVIR SELEGNA SOL srosivrepuS fo draoB .oC selegnA soL evitucexE feihC fo eciffO .oC selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses The BOS and Chief Executive Officer should create capital outlay plans for replacing or relocating the entire DME complex R 7.3 X containing the Medical Examiner's current facility to a larger facility with state-of-the-art equipment and disruptive toxicological labs. Regardless of how or why the existing facilities are deteriorating, the concern of seismic retrofit safety has to be addressed R 7.5 X promptly, both on a global and granular level for the good of the employees and the general public. The DME is housed (since 1972) in an antiquated building complex constructed in R 7.10 the 1920's that doesn't meet today's minimal X X earthquake safety standards. Must relocate to a larger facility. DENIMAXE TEG SRENIMAXE EHT srosivrepuS fo draoB .oC selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses The BOS and Chief Executive Officer should create capital outlay plans for replacing or relocating the entire DME complex R 7.3 X containing the Medical Examiner's current facility to a larger facility with state-of-the-art equipment and disruptive toxicological labs. Regardless of how or why the existing facilities are deteriorating, the concern of seismic retrofit safety has to be addressed R 7.5 X promptly, both on a global and granular level for the good of the employees and the general public. The DME is housed (since 1972) in an antiquated building complex constructed in R 7.10 the 1920's that doesn't meet today's minimal X X earthquake safety standards. Must relocate to a larger facility. DENIMAXE TEG SRENIMAXE EHT reciffO evitucexE feihC .oC selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses DME should eliminate the critical issues which are preventing achievement of full accreditation by the National Board of Medical Examiners, including: i) 90% of the R 7.1 autopay reports completed in ninety days or X less. ii) 90% of the autopsies and exams performed within seventy-two hours. iii) DME needs to promptly submit the latest DME's Annual Report for 2023. Continue to develop additional facilities for Medical Examiner investigators in north, R 7.4 valley, and south portions of the County to X improve efficiency, prompt response, and to demonstrate coverage of the DME fieldwork. Regardless of how or why the existing facilities are deteriorating, the concern of seismic retrofit safety has to be addressed R 7.5 X promptly, both on a global and granular level for the good of the employees and the general public. DENIMAXE TEG SRENIMAXE EHT srenimaxE lacideM fo .tpeD .oC selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses When the ME relocates to new quarters, the building should be designed with the purpose of housing the activities of the R 7.9 X X ODA, with consideration being given to moving those functions from the hospital into the Department of the DME. The DME is housed (since 1972) in an antiquated building complex constructed in R 7.10 the 1920's that doesn't meet today's minimal X earthquake safety standards. Must relocate to a larger facility. DME should ensure adequate qualified staffing in the Medical Examiners' three satellite offices to relieve the workload off of R 7.11 X HQ. This may facilitate support of the need a major disaster or a catastrophic earthquake bring. ODA & DME jointly consult with the publisher of the VertiQ case management software to see if the two agencies could share various common forms and the R 7.12 X practical simplicity of output. In addition, the publisher would "detect" the "path" of processing decedents to see similarities in tracking. DENIMAXE TEG SRENIMAXE EHT srenimaxE lacideM fo .tpeD .oC selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses DHS should provide additional staffing for ODA attendants, aids, and crematory operators, and transport vans [preferably R 7.2 electric]; Hire more transport drivers so that X three drivers are on duty twenty-four seven to account for the fact that a death occurs at any time. The fee the Public Administrator charges for claiming the cremated remains of a decedent should be reviewed, with the intent R 7.7 X X to increase them for the services & convenience rendered to make them more representative of actual costs. The ODA should explore the possibility of R 7.8 using the same VertiQ case management X system that is already in use by the DME. When the ME relocates to new quarters, the building should be designed with the purpose of housing the activities of the R 7.9 X ODA, with consideration being given to moving those functions from the hospital into the Department of the DME. ODA & DME jointly consult with the publisher of the VertiQ case management software to see if the two agencies could share various common forms and the R 7.12 X practical simplicity of output. In addition, the publisher would "detect" the "path" of processing decedents to see similarities in tracking. DENIMAXE TEG SRENIMAXE EHT sriaffA tnadnecseD .tpeD .oC selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses DHS should provide additional staffing for ODA attendants, aids, and crematory operators, and transport vans [preferably R 7.2 electric]; Hire more transport drivers so that X three drivers are on duty twenty-four seven to account for the fact that a death occurs at any time. DHS should ensure that future ceremonies for unclaimed dead are widely publicized R 7.6 prior to the event and ensure as many X private citizens are allowed to attend as possible. DENIMAXE TEG SRENIMAXE EHT htlaeH fo .tpeD .oC selegnA soL secivreS eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses The City and County of Los Angeles should R 8.1 review and consider raising Quimby fees to X purchase more park land. LAC & LA City Park Dept. should consider issuing bonds and measures for park acquisitions and development like the Land and Water Conservation Funds, which was established in 1964 at no cost to the R 8.2 X taxpayer, the Outdoors Equity Program, Los Angeles County Measure A, and the California Parks, Environment, Energy, and Water Bond Measure, so help areas that are park-poor. The City of Los Angeles should consider R 8.3 using the funds available from Quimby and X other fees to purchase park space. LAC and LA development should not be approved in areas that are park poor until R 8.4 X enough land is acquired in those areas before more development is approved. LAC and LA City should complete a study and target areas that are park-poor to R 8.5 X evaluate the reason why these areas are park poor and develop remedies. LAC and LA City should consider issuing bonds in addition to charging developers R 8.6 X Quimby fees to purchase land for park development. LAC and LA City should realign land use R 8.7 X zoning to increase available land for parks. LAC and LA City should consider exploring R 8.8 options to make more timely use of available X Quimby funds. tnempoleveD dna seeF kraP gniknihteR - SEEF KRAP YBMIUQ srosivrepuS fo draoB .oC selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses The City and County of Los Angeles should R 8.1 review and consider raising Quimby fees to X purchase more park land. LAC & LA City Park Dept. should consider issuing bonds and measures for park acquisitions and development like the Land and Water Conservation Funds, which was established in 1964 at no cost to the R 8.2 X taxpayer, the Outdoors Equity Program, Los Angeles County Measure A, and the California Parks, Environment, Energy, and Water Bond Measure, so help areas that are park-poor. The City of Los Angeles should consider R 8.3 using the funds available from Quimby and X other fees to purchase park space. LAC and LA development should not be approved in areas that are park poor until R 8.4 X enough land is acquired in those areas before more development is approved. LAC and LA City should complete a study and target areas that are park-poor to R 8.5 X evaluate the reason why these areas are park poor and develop remedies. LAC and LA City should consider issuing bonds in addition to charging developers R 8.6 X Quimby fees to purchase land for park development. LAC and LA City should realign land use R 8.7 X zoning to increase available land for parks. LAC and LA City should consider options to R 8.8 X make more timely use of Quimby funds tnempoleveD dna seeF kraP gniknihteR - SEEF KRAP YBMIUQ evitucexE feihC fo eciffO .oC selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses The City and County of Los Angeles should R 8.1 review and consider raising Quimby fees to purchase more park land. X LAC & LA City Park Dept. should consider issuing bonds and measures for park acquisitions and development like the Land and Water Conservation Funds, which was established in 1964 at no cost to the R 8.2 X taxpayer, the Outdoors Equity Program, Los Angeles County Measure A, and the California Parks, Environment, Energy, and Water Bond Measure, so help areas that are park-poor. The City of Los Angeles should consider R 8.3 using the funds available from Quimby and X other fees to purchase park space. LAC and LA development should not be approved in areas that are park poor until R 8.4 enough land is acquired in those areas before more development is approved. X LAC and LA City should complete a study and target areas that are park-poor to R 8.5 X evaluate the reason why these areas are park poor and develop remedies. LAC and LA City should consider issuing bonds in addition to charging developers R 8.6 X Quimby fees to purchase land for park development. LAC and LA City should realign land use R 8.7 zoning to increase available land for parks. X LAC and LA City should consider exploring R 8.8 options to make more timely use of available X Quimby funds. tnempoleveD dna seeF kraP gniknihteR - SEEF KRAP YBMIUQ royaM - selegnA soL fo ytiC eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses The City and County of Los Angeles should R 8.1 review and consider raising Quimby fees to purchase more park land. X LAC & LA City Park Dept. should consider issuing bonds and measures for park acquisitions and development like the Land and Water Conservation Funds, which was established in 1964 at no cost to the R 8.2 X taxpayer, the Outdoors Equity Program, Los Angeles County Measure A, and the California Parks, Environment, Energy, and Water Bond Measure, so help areas that are park-poor. The City of Los Angeles should consider R 8.3 using the funds available from Quimby and X other fees to purchase park space. LAC and LA development should not be approved in areas that are park poor until R 8.4 X enough land is acquired in those areas before more development is approved. LAC and LA City should complete a study and target areas that are park-poor to R 8.5 X evaluate the reason why these areas are park poor and develop remedies. LAC and LA City should consider issuing bonds in addition to charging developers R 8.6 X Quimby fees to purchase land for park development. LAC and LA City should realign land use R 8.7 X zoning to increase available land for parks. LAC and LA City should consider exploring R 8.8 options to make more timely use of available X Quimby funds. tnempoleveD dna seeF kraP gniknihteR - SEEF KRAP YBMIUQ licnuoC ytiC selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses The City and County of Los Angeles should R 8.1 review and consider raising Quimby fees to X purchase more park land. LAC & LA City Park Dept. should consider issuing bonds and measures for park acquisitions and development like the Land and Water Conservation Funds, which was established in 1964 at no cost to the R 8.2 X taxpayer, the Outdoors Equity Program, Los Angeles County Measure A, and the California Parks, Environment, Energy, and Water Bond Measure, so help areas that are park-poor. The City of Los Angeles should consider R 8.3 using the funds available from Quimby and X other fees to purchase park space. LAC and LA development should not be approved in areas that are park poor until R 8.4 X enough land is acquired in those areas before more development is approved. LAC and LA City should complete a study and target areas that are park-poor to R 8.5 X evaluate the reason why these areas are park poor and develop remedies. LAC and LA City should consider issuing bonds in addition to charging developers R 8.6 X Quimby fees to purchase land for park development. LAC and LA City should realign land use R 8.7 X zoning to increase available land for parks. X LAC and LA City should consider exploring R 8.8 options to make more timely use of available X Quimby funds. tnempoleveD dna seeF kraP gniknihteR - SEEF KRAP YBMIUQ noitaerceR dna skraP fo .tpeD - .oC selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses The City and County of Los Angeles should R 8.1 review and consider raising Quimby fees to X purchase more park land. LAC & LA City Park Dept. should consider issuing bonds and measures for park acquisitions and development like the Land and Water Conservation Funds, which was established in 1964 at no cost to the R 8.2 taxpayer, the Outdoors Equity Program, Los Angeles County Measure A, and the California Parks, Environment, Energy, and Water Bond Measure, so help areas that are park-poor. X The City of Los Angeles should consider R 8.3 using the funds available from Quimby and X other fees to purchase park space. LAC and LA development should not be approved in areas that are park poor until R 8.4 X enough land is acquired in those areas before more development is approved. LAC and LA City should complete a study and target areas that are park-poor to R 8.5 X evaluate the reason why these areas are park poor and develop remedies. LAC and LA City should consider issuing bonds in addition to charging developers R 8.6 Quimby fees to purchase land for park development. X LAC and LA City should realign land use R 8.7 zoning to increase available land for parks. X LAC and LA City should consider exploring R 8.8 options to make more timely use of available X Quimby funds. tnempoleveD dna seeF kraP gniknihteR - SEEF KRAP YBMIUQ skraP dna noitaerceR fo .tpeD - ytiC selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses The City and County of Los Angeles should R 8.1 review and consider raising Quimby fees to X purchase more park land. LAC & LA City Park Dept. should consider issuing bonds and measures for park acquisitions and development like the Land and Water Conservation Funds, which was established in 1964 at no cost to the R 8.2 X taxpayer, the Outdoors Equity Program, Los Angeles County Measure A, and the California Parks, Environment, Energy, and Water Bond Measure, so help areas that are park-poor. The City of Los Angeles should consider R 8.3 using the funds available from Quimby and X other fees to purchase park space. LAC and LA development should not be approved in areas that are park poor until R 8.4 X enough land is acquired in those areas before more development is approved. LAC and LA City should complete a study and target areas that are park-poor to R 8.5 X evaluate the reason why these areas are park poor and develop remedies. LAC and LA City should consider issuing bonds in addition to charging developers R 8.6 X Quimby fees to purchase land for park development. LAC and LA City should realign land use R 8.7 X zoning to increase available land for parks. LAC and LA City should consider exploring R 8.8 options to make more timely use of available X Quimby funds. tnempoleveD dna seeF kraP gniknihteR - SEEF KRAP YBMIUQ gninnalP lanoigeR .oC selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses The DPH should evaluate the current system for capturing visits to the WBC's R 10.1 (REDcap) to see if the system is appropriate X and can be improved, or if it needs to be replaced. Relevant Data Analysis metrics need to be R 10.2 X developed by the Program Director. Measures of success or outcomes need to be developed in cooperation with stakeholders, especially with administration R 10.3 X of the high schools with WBC's. These measures must be collected and reported from the beginning of the program. The Program Director should develop standards describing accountability for the R 10.4 X practices in use for the WBC's in high schools. The Program, Director should make a R 10.5 survey of programs used to evaluate the X effectiveness of the Wellbeing Centers. The Department. of Public Health needs to develop a process to consistently distribute R 10.6 Wellbeing Center Reports, and ensure X information is shared across all schools that host a Wellbeing Center. Other Healthcare providers should be R 10.7 considered to provide student related X services for any future Wellbeing Centers sloohcS ytnuoC selegnA soL nI - SRETNEC GNIEBLLEW srosivrepuS fo draoB .oC selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses The DPH should evaluate the current system for capturing visits to the WBC's R 10.1 (REDcap) to see if the system is appropriate X and can be improved, or if it needs to be replaced. Relevant Data Analysis metrics need to be R 10.2 X developed by the Program Director. Measures of success or outcomes need to be developed in cooperation with stakeholders, especially with administration R 10.3 X of the high schools with WBC's. These measures must be collected and reported from the beginning of the program. The Program Director should develop standards describing accountability for the R 10.4 X practices in use for the WBC's in high schools. The Program, Director should make a R 10.5 survey of programs used to evaluate the X effectiveness of the Wellbeing Centers. The Department. of Public Health needs to develop a process to consistently distribute R 10.6 Wellbeing Center Reports, and ensure X information is shared across all schools that host a Wellbeing Center. Other Healthcare providers should be R 10.7 considered to provide student related X services for any future Wellbeing Centers sloohcS ytnuoC selegnA soL nI - SRETNEC GNIEBLLEW evitucexE feihC eht fo eciffO .oC selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses The DPH should evaluate the current system for capturing visits to the WBC's R 10.1 (REDcap) to see if the system is appropriate X and can be improved, or if it needs to be replaced. Relevant Data Analysis metrics need to be R 10.2 X developed by the Program Director. Measures of success or outcomes need to be developed in cooperation with stakeholders, especially with administration R 10.3 X of the high schools with WBC's. These measures must be collected and reported from the beginning of the program. The Program Director should develop standards describing accountability for the R 10.4 X practices in use for the WBC's in high schools. The Program, Director should make a R 10.5 survey of programs used to evaluate the X effectiveness of the Wellbeing Centers. The Department. of Public Health needs to develop a process to consistently distribute R 10.6 Wellbeing Center Reports, and ensure X information is shared across all schools that host a Wellbeing Center. Other Healthcare providers should be R 10.7 considered to provide student related X services for any future Wellbeing Centers sloohcS ytnuoC selegnA soL nI - SRETNEC GNIEBLLEW htlaeH cilbuP fo .tpeD .oC selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses Measures of success or outcomes need to be developed in cooperation with stakeholders, especially with administration R 10.3 X of the high schools with WBC's. These measures must be collected and reported from the beginning of the program. The Program Director should develop standards describing accountability for the R 10.4 X practices in use for the WBC's in high schools. The Department. of Public Health needs to develop a process to consistently distribute R 10.6 Wellbeing Center Reports, and ensure X information is shared across all schools that host a Wellbeing Center. Measures of success or outcomes need to be developed in cooperation with stakeholders, especially with administration R 10.3 X of the high schools with WBC's. These measures must be collected and reported from the beginning of the program. The Program Director should develop standards describing accountability for the R 10.4 X practices in use for the WBC's in high schools. The Department. of Public Health needs to develop a process to consistently distribute R 10.6 Wellbeing Center Reports, and ensure X information is shared across all schools that host a Wellbeing Center. sloohcS ytnuoC selegnA soL nI - SRETNEC GNIEBLLEW noitacudE fo eciffO .oC selegnA soL tcirtsiD loohcS deifinU selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses Measures of success or outcomes need to be developed in cooperation with stakeholders, especially with administration R 10.3 X of the high schools with WBC's. These measures must be collected and reported from the beginning of the program. The Program Director should develop standards describing accountability for the R 10.4 X practices in use for the WBC's in high schools. The Department. of Public Health needs to develop a process to consistently distribute R 10.6 Wellbeing Center Reports, and ensure X information is shared across all schools that host a Wellbeing Center. Measures of success or outcomes need to be developed in cooperation with stakeholders, especially with administration R 10.3 X of the high schools with WBC's. These treasures must be collected and reported from the beginning of the program. The Program Director should develop standards describing accountability for the R 10.4 X practices in use for the WBC's in high schools. The Department. of Public Health needs to develop a process to consistently distribute R 10.6 Wellbeing Center Reports, and ensure X information is shared across all schools that host a Wellbeing Center. sloohcS ytnuoC selegnA soL nI - SRETNEC GNIEBLLEW tcirtsiD loohcS deifinU ollebetnoM tcirtsiD loohcS deifinU doownnyL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses fo draoB .oC selegnA soL srosivrepuS Both LAPD and LASD should implement findings of the Study of traffic stops which was published in the Proceedings of the R 11.3 National Academy of Science in May 2023. X "The First 45 Words" specifies what law enforcement should say when they initially make a traffic stop of a driver in LA County. fo eciffO .oC selegnA soL evitucexE feihC eht Both LAPD and LASD should implement findings of the Study of traffic stops which was published in the Proceedings of the R 11.3 National Academy of Science in May 2023. X "The First 45 Words" specifies what law enforcement should say when they initially make a traffic stop of a driver in LA County. gnitaeB a toN ,taeB a ekaT - NOITALACSE-ED eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses LASD has tested a new App relating to traffic stops for drivers. This App is called "SafeStop". A recommendation is made for LASD and LAPD to advertise on their websites this App to enable drivers in LA R 11.1 County to add it to their cell phones. The App will assist drivers to have a dialogue with the officers or deputies who initiated the stop, thus alleviate potential adverse situations. X LASD and LAPD should provide pamphlets similar to the ones that Antelope Valley Sheriff's Department offers their citizens which gives guidance on what to do when you are involved in a traffic stop with a R 11.2 deputy sheriff. This pamphlet can be made available at all LASD and LAPD station. These pamphlets should also be placed at other traffic related locations such as car rental agencies, Automobile Association of America offices and Insurance Agencies. X gnitaeB a toN ,taeB a ekaT - NOITALACSE-ED .tpeD eciloP selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses Both LAPD and LASD should implement findings of the Study of traffic stops which was published in the Proceedings of the R 11.3 National Academy of Science in May 2023. X "The First 45 Words" specifies what law enforcement should say when they initially make a traffic stop of a driver in LA County. Direct LASD and LAPD to monitor and explore all new Artificial Intelligence (AI) R 11.4 currently being created to provide improved X training, augment their current policies and reporting. gnitaeB a toN ,taeB a ekaT - NOITALACSE-ED .tpeD eciloP selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses LASD has tested a new App relating to traffic stops for drivers. This App is called "SafeStop". A recommendation is made for LASD and LAPD to advertise on their websites this App to enable drivers in LA R 11.1 X County to add it to their cell phones. The App will assist drivers to have a dialogue with the officers or deputies who initiated the stop, thus alleviate potential adverse situations. LASD and LAPD should provide pamphlets similar to the ones that Antelope Valley Sheriff's Department offers their citizens which gives guidance on what to do when you are involved in a traffic stop with a R 11.2 deputy sheriff. This pamphlet can be made X available at all LASD and LAPD station. These pamphlets should also be placed at other traffic related locations such as car rental agencies, Automobile Association of America offices and Insurance Agencies. gnitaeB a toN ,taeB a ekaT - NOITALACSE-ED .tpeD s'ffirehS selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses Both LAPD and LASD should implement findings of the Study of traffic stops which was published in the Proceedings of the R 11.3 National Academy of Science in May 2023. X "The First 45 Words" specifies what law enforcement should say when they initially make a traffic stop of a driver in LA County. Direct LASD and LAPD to monitor and explore all new Artificial Intelligence (AI) R 11.4 currently being created to provide improved X training, augment their current policies and reporting. a toN ,taeB a ekaT - NOITALACSE-ED gnitaeB .tpeD s'ffirehS selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses The LAPD and the LASD should use training officers who have a more inclusive attitude toward other ethnic minorities and dissuade patrol training officers from passing on R 12.1 outdated and racially bias procedures. a) X LAPD should source creative strategies and anti-racist curriculum for training officers. b) LASD should source creative strategies and anti-racist curriculum for training officers. LACY LE agencies should make a more concerted effort to recruit officers who live in or near areas they are assigned to patrol. R 12.3 X LASD should collect racial data on officers to include for consideration when assigning officer patrol locations. R 12.5 REC Not in final report R 12.6 REC Not in final report All LACY LE agencies and departments should follow California Assembly Bill 748 to the letter of the law. LACY LE oversight R 12.2 X authorities should stop allowing LE to do whatever they please when it comes to releasing BWV. LACY LE agencies should make a more concerted effort to recruit officers who live in or near areas they are assigned to patrol. R 12.3 X LASD should collect racial data on officers to include for consideration when assigning officer patrol locations. R 12.5 REC Not in final report R 12.6 REC Not in final report saiB laicaR gnivlovnI - ECROF FO ESU TNEMECROFNE WAL feihC eht fo eciffO .oC selegnA soL srosivrepuS fo draoB .oC selegnA soL evitucexE eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses The LAPD and the LASD should use training officers who have a more inclusive attitude toward other ethnic minorities and dissuade patrol training officers from passing on R 12.1 outdated and racially bias procedures. a) X LAPD should source creative strategies and anti-racist curriculum for training officers. b) LASD should source creative strategies and anti-racist curriculum for training officers. All LACY LE agencies and departments should follow California Assembly Bill 748 to the letter of the law. LACY LE oversight R 12.2 X authorities should stop allowing LE to do whatever they please when it comes to releasing BWV. LACY LE agencies should make a more concerted effort to recruit officers who live in or near areas they are assigned to patrol. R 12.3 X LASD should collect racial data on officers to include for consideration when assigning officer patrol locations. R 12.5 REC Not in final report R 12.6 REC Not in final report saiB laicaR gnivlovnI - ECROF FO ESU TNEMECROFNE WAL selegnA soL fo ytiC eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses The LAPD and the LASD should use training officers who have a more inclusive attitude toward other ethnic minorities and dissuade patrol training officers from passing on R 12.1 outdated and racially bias procedures. a) X LAPD should source creative strategies and anti-racist curriculum for training officers. b) LASD should source creative strategies and anti-racist curriculum for training officers. All LACY LE agencies and departments should follow California Assembly Bill 748 to the letter of the law. LACY LE oversight R 12.2 X authorities should stop allowing LE to do whatever they please when it comes to releasing BWV. LE oversight entities should do their jobs and be outraged at their own failing to hold LE officers and their commanders R 12.4 X accountable for continued unwanted missuses of authority and to deprive citizens of fair treatment under the law. R 12.5 REC Not in final report R 12.6 REC Not in final report saiB laicaR gnivlovnI - ECROF FO ESU TNEMECROFNE WAL licnuoC ytiC selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses The LAPD and the LASD should use training officers who have a more inclusive attitude toward other ethnic minorities and dissuade patrol training officers from passing on R 12.1 outdated and racially bias procedures. a) X LAPD should source creative strategies and anti-racist curriculum for training officers. b) LASD should source creative strategies and anti-racist curriculum for training officers. All LACY LE agencies and departments should follow California Assembly Bill 748 to the letter of the law. LACY LE oversight R 12.2 X authorities should stop allowing LE to do whatever they please when it comes to releasing BWV. LACY LE agencies should make a more concerted effort to recruit officers who live in or near areas they are assigned to patrol. R 12.3 X LASD should collect racial data on officers to include for consideration when assigning officer patrol locations. LE oversight entities should do their jobs and be outraged at their own failing to hold LE officers and their commanders R 12.4 X accountable for continued unwanted missuses of authority and to deprive citizens of fair treatment under the law. R 12.6 REC Not in final report saiB laicaR gnivlovnI - ECROF FO ESU TNEMECROFNE WAL .tpeD eciloP selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses The LAPD and the LASD should use training officers who have a more inclusive attitude toward other ethnic minorities and dissuade patrol training officers from passing on R 12.1 outdated and racially bias procedures. a) X LAPD should source creative strategies and anti-racist curriculum for training officers. b) LASD should source creative strategies and anti-racist curriculum for training officers. X All LACY LE agencies and departments should follow California Assembly Bill 748 to the letter of the law. LACY LE oversight R 12.2 X authorities should stop allowing LE to do whatever they please when it comes to releasing BWV. LACY LE agencies should make a more concerted effort to recruit officers who live in or near areas they are assigned to patrol. R 12.3 LASD should collect racial data on officers to include for consideration when assigning officer patrol locations. X LE oversight entities should do their jobs and be outraged at their own failing to hold LE officers and their commanders R 12.4 accountable for continued unwanted missuses of authority and to deprive citizens of fair treatment under the law. X R 12.6 REC Not in final report saiB laicaR gnivlovnI - ECROF FO ESU TNEMECROFNE WAL noissimmoC eciloP selegnA soL ,lareneG rotcepsnI eht fo eciffO eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses The LAPD and the LASD should use training officers who have a more inclusive attitude toward other ethnic minorities and dissuade patrol training officers from passing on R 12.1 outdated and racially bias procedures. a) X LAPD should source creative strategies and anti-racist curriculum for training officers. b) LASD should source creative strategies and anti-racist curriculum for training officers. All LACY LE agencies and departments should follow California Assembly Bill 748 to the letter of the law. LACY LE oversight R 12.2 X authorities should stop allowing LE to do whatever they please when it comes to releasing BWV. LACY LE agencies should make a more concerted effort to recruit officers who live in or near areas they are assigned to patrol. R 12.3 X LASD should collect racial data on officers to include for consideration when assigning officer patrol locations. LE oversight entities should do their jobs and be outraged at their own failing to hold LE officers and their commanders R 12.4 X accountable for continued unwanted missuses of authority and to deprive citizens of fair treatment under the law. R 12.6 REC Not in final report saiB laicaR gnivlovnI - ECROF FO ESU TNEMECROFNE WAL .tpeD s'ffirehS selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses The LAPD and the LASD should use training officers who have a more inclusive attitude toward other ethnic minorities and dissuade patrol training officers from passing on R 12.1 outdated and racially bias procedures. a) X LAPD should source creative strategies and anti-racist curriculum for training officers. b) LASD should source creative strategies and anti-racist curriculum for training officers. All LACY LE agencies and departments should follow California Assembly Bill 748 to the letter of the law. LACY LE oversight R 12.2 X authorities should stop allowing LE to do whatever they please when it comes to releasing BWV. LACY LE agencies should make a more concerted effort to recruit officers who live in or near areas they are assigned to patrol. R 12.3 X LASD should collect racial data on officers to include for consideration when assigning officer patrol locations. LE oversight entities should do their jobs and be outraged at their own failing to hold LE officers and their commanders R 12.4 X accountable for continued unwanted missuses of authority and to deprive citizens of fair treatment under the law. R 12.6 REC Not in final report saiB laicaR gnivlovnI - ECROF FO ESU TNEMECROFNE WAL lareneG rotcepsnI eht fo eciffO .oC selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses All LACY LE agencies and departments should follow California Assembly Bill 748 to the letter of the law. LACY LE oversight R 12.2 X authorities should stop allowing LE to do whatever they please when it comes to releasing BWV. R 12.5 REC Not in final report R 12.6 REC Not in final report R 12.5 REC Not in final report R 12.6 REC Not in final report FO ESU TNEMECROFNE WAL saiB laicaR gnivlovnI - ECROF soL tcirtsiD .oC selegnA soL selegnA yenrottA ytiC eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses Increase the number of EV Charging Stations at all large parking facilities that R 13.1a currently have less than ten percent of their X total parking spaces set up as EV charging stations Request that funding from BOS for the EV Charging Infrastructure be tripled to six R 13.1b X million dollars annually at LAC controlled parking facilities. At the entrance of each large parking facility, install the following signage: "Follow green R 13.2 line to EV Charging Stations" as well as X install a green line from each entrance of the parking facilities to charging station. Install an EV-Only sign and paint the ground R 13.3 "EV-Charging Only" at each charging X station. Train parking personnel to regularly monitor EV Charging Stations and report broken or R 13.4 X missing signs and missing or problematic QR codes to ISD management. Refresh EV-Only ground signs when they R 13.5 X are difficult to read. Enforcement policy of EV Only laws need to be done on a case by case basis. Train parking personnel to recognize that if no EVCS are available, we recommend a paper warning sign be place under the windshield R 13.6 wiper of the gas powered vehicle stating that X their vehicle is in violation of the EV Charging statutes. If an EV is not connected to charging station, then a similar notice should be placed under the windshield wiper of the EV not charging. yrotS "gnikcohS" ehT - .oC selegnA soL NI GNIGRAHC VE kroW cilbuP fo .tpeD & ,.tpeD secivreS lanretnI ,eciffO evitucexE feihC ,srosivrepuS fo draoB selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses It is recommended that after paper warning been placed on a specific vehicle for violation of the EV statute, the next offense R 13.7 X should be enforced with a $100 ticket or that their car be towed or that a boot be placed on the vehicle tire. ISD management to train parking personnel R 13.8 X on parking enforcement protocols. It is recommended that a Wi-Fi extender (strengthens Wi-Fi signal) be placed in areas where repeated Wi-Fi issues occur. R 13.9a X The optimal solution is to install a Wi-Fi booster or repeater to increase Wi-Fi strength to those areas with poor reception. It is recommended that the EV-Optional signs be placed in areas of the weakest Wi- Fi signal for those parking facilities that have R 13.9b X reversible signs reading EV-Optional on one side and the 4 hr. limit with the violation codes on the other side. ISD to examine the feasibility placing Wi-Fi R 13.9c boosters or repeaters in areas with poor X reception. It is recommended that when a charging project is slated to begin that data be collected and recorded on an excel spread sheet. The following information would facilitate incremental improvements to the installation process: a) Actual start date of R 13.10 EV charger project at (address of location). X b) Actual completion date of installation of charging stations. c) Actual date the charging stations come online and are available for charging. d) Actual date when wall signs are installed. e) Actual date when ground signs are installed. yrotS "gnikcohS" ehT - .oC selegnA soL NI GNIGRAHC VE kroW cilbuP fo .tpeD & ,.tpeD secivreS lanretnI ,eciffO evitucexE feihC ,srosivrepuS fo draoB selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses It is recommended that a contract be established with at least one to three reliable repair contractors so that an independent R 13.11 X service provider can respond to a problem if PowerFlex is not able to respond within 48 hours. It is recommended that all DC fast chargers in publicly accessed parking facilities to removed and replaced Level 2 chargers. The DC Fast Chargers should be used R 13.12 X primarily for emergency response electric vehicles, police electric vehicles, public transportation electric vehicles and the LAC Sheriff's electric vehicles. Education is needed for the EV owner to understand how to use the EVCSs. A QR code could be created for EV owners to R 13.13 X provide them with the education that they need to make their EV driving and charging experience seamless and enjoyable. At 145 Broadway, Los Angeles, (Parking Lot 10, the Committee recommends that either R 13.14a the wall and ground signs be remove d or X additional chargers be installed to replace the ones that have been removed. At 11705 Alameda St in Lynwood. Either R 13.14b install EV Chargers where the signs are or X remove the signs At 8300 S Vermont, Los Angeles. Install an R 13.14c X additional 10-20 EVCS. ISD & DPW work together to include EV CS R 13.15 when new or upgraded parking facilities are X being planned. yrotS "gnikcohS" ehT - .oC selegnA soL NI GNIGRAHC VE kroW cilbuP fo .tpeD & ,.tpeD secivreS lanretnI ,eciffO evitucexE feihC ,srosivrepuS fo draoB selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses soL NI GNIGRAHC VE ehT - .oC selegnA yrotS "gnikcohS" fo draoB selegnA soL evitucexE feihC ,srosivrepuS secivreS lanretnI ,eciffO Training of parking facilities managers by ISD is recommended. This training would include: Things to watch for like broken or damaged signs, pealing QR codes on EV R 13.16 Chargers, EVs parked at charging stations X but not charging their vehicle, gas vehicles parked in EV Charging spots. All problems should be reported to parking management who in turn report to ISD management. BOS direct CEO to find funding to meet R 14.1a X staffing needs of DA&C DA&R should report to BOS and CEO with staffing requirements; with special R 14.1b consideration towards creating foundational X program infrastructure and accounting for future opportunities for the Department. DA&C should use sole source contracts to R 14.3 rehire those Creative Strategists with X incomplete and easily revived projects. BOS should direct CEO to find funding for R 14.4a unaddressed strategies outlined in the X Countywide Cultural Policy Strategic Plan. BOS should direct CEO to find remaining funding for partially-funded Strategies R 14.4b X outlined in the Countrywide Cultural Policy Strategic Plan. BOS should direct all Department Heads to engage DA&C to incorporate Countywide R 14.4c Cultural Policy goals, such as, but not X limited to, allocating resources to engage Creative Strategies and other programs strA-non gnitroppuS tsigetartS evitaerC - GNIKAMECALP CIVIC DNA TSITRA snoitcnuF tnemnrevoG srosivrepuS fo draoB .oC selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses BOS should direct all Department Heads to explore incorporating Cultural Policy goals, and especially Creative Strategist, into their operations or service models. Internal R 14.5a X surveys, open calls and program evaluations can help make this determination for allocating departmental resources to engage DA&C programming. BOS should direct all Department Heads to engage with DA&C for guidance, recommendations and development during this exploratory period. BOS direct CEO R 14.5b X and DA&C to designate anticipated staffing and funding needs to properly interface with other Departments regarding the Countywide Cultural Policy. DA&C should create necessary infrastructure (program availability, educational materials, vendor lists, compliance blueprints, and inter- R 14.5c X departmental relations person). We recognized this recommendation cannot be implemented unless DA&C received additional staff positions. BOS should direct CEO to find funding to meet staffing needs for DA&C's cross-sector R 14.7a X work to enable the necessary infrastructure to be set in place. DA&C report to BOS and CEO with staffing requirements to fully-support the cross- R 14.7b sector division; ensure special consideration X regarding potential opportunities for future expansion. BOS and CEO should refer to Strategy 15 in R 14.7c DA&C's 2022 Countrywide Cultural Strategic X Plan for funding and staffing considerations. BOS should direct CEO to find funding to R 14.8 X adopt DA&C's Strategic Plan Strategy 15. snoitcnuF tnemnrevoG strA-non gnitroppuS tsigetartS evitaerC - GNIKAMECALP CIVIC DNA TSITRA srosivrepuS fo draoB .oC selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses BOS and CEO assist Departments in reallocating funding and resources to engage a Creative Strategist in their priority R 14.9a X projects. Direct Departments to find outside sources, if necessary, with consultation with DA&C. Our Committee understands that fully funding of the Strategic Plan and/or the Creative Strategist Program cannot happen overnight. In the interim, BOS direct CEO to R 14.10a X find funding to rehire via sole source contract process Creative Strategist identified by DA&C whose projects would benefit from expansion into all five districts. BOS should direct CEO to find funding for a non-arts grant writer staff position. Much of the Countywide Cultural Policy situates R 14.11 X DA&C in the role of arts facilitator or cultural programing administrator, not as a creative entity itself. BOS and DA&C should direct LACAC to assemble a working group to explore potential outside financial opportunities; fundraising, fund-matching, grant partners, R 14.12 X etc. Commissioners can utilize their professional experience working in the County's creative economy to guide the Department towards guaranteed sources. BOS should direct CEO to find funding for R 14.13 X cross-sector continuity Staffing position. snoitcnuF tnemnrevoG strA-non gnitroppuS tsigetartS evitaerC - GNIKAMECALP CIVIC DNA TSITRA srosivrepuS fo draoB .oC selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses srosivrepuS fo draoB .oC selegnA soL Regarding DA&C's need for an entrepreneurial pivot, BOS should directs all Departments to consult with DA&C to evaluate whether a Creative Strategist shall be utilized or engaged for any and all proposed third-party consulting contracts. R 14.16 Adding an artist would provide grassroots, X people-focused engagement as a compliment to the top-down, analytical lens of a FUSE Fellow's report recommendations. Their pairing would directly support the Cultural Policy's robust vision for the future of County governance. BOS to direct CEO to find funding to meet R 14.1a X staffing needs of DA&C DA&R should report to BOS and CEO with staffing requirements; with special R 14.1b consideration towards creating foundational X program infrastructure and accounting for future opportunities for the Department. DA&R should use sole source contracts to R 14.3 rehire those Creative Strategists with X incomplete and easily revived projects. BOS should direct CEO to find funding for R 14.4a unaddressed strategies lined in the X Countywide Cultural Policy Strategic Plan. BOS should direct CEO to find remaining funding for partially-funded Strategies R 14.4b X outlined in the Countrywide Cultural Policy Strategic Plan. BOS should direct all Department Heads to engage DA&C to incorporate Countywide R 14.4c Cultural Policy goals, such as, but not X limited to, allocating resources to engage Creative Strategies and other programs. snoitcnuF tnemnrevoG strA-non gnitroppuS tsigetartS evitaerC - GNIKAMECALP CIVIC DNA TSITRA reciffO evitucexE feihC .oC selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses DA&C should create necessary infrastructure (program availability, educational materials, vendor lists, compliance blueprints, and inter- R 14.5c X X departmental relations person). We recognized this recommendation cannot be implemented unless DA&C received additional staff positions. BOS should direct CEO to find funding to meet the staffing needs for DA&C's cross- R 14.7a X sector work to enable the necessary infrastructure to be set in place. DA&C report to BOS and CEO with staffing requirements to fully-support the cross- R 14.7b sector division; ensure special consideration X regarding potential opportunities for future expansion. BOS and CEO should refer to Strategy 15 in R 14.7c DA&C's 2022 Countrywide Cultural Strategic X Plan for funding and staffing considerations. BOS should direct CEO to find funding to R 14.8 X adopt DA&C's Strategic Plan Strategy 15. BOS and CEO assist Departments in reallocating funding and resources to engage a Creative Strategist in their priority R 14.9a X projects. Direct Departments to find outside sources, if necessary, with consultation with DA&C. Our Committee understands that fully funding of the Strategic Plan and/or the Creative Strategist Program cannot happen overnight. In the interim, BOS direct CEO to R 14.10a X find funding to rehire via sole source contract process Creative Strategist identified by DA&C whose projects would benefit from expansion into all five districts. snoitcnuF tnemnrevoG strA-non gnitroppuS tsigetartS evitaerC - GNIKAMECALP CIVIC DNA TSITRA reciffO evitucexE feihC .oC selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses BOS should direct CEO to find funding for a non-arts grant writer staff position. Much of the Countywide Cultural Policy situates R 14.11 X DA&C in the role of arts facilitator or cultural programing administrator, not as a creative entity itself. BOS and DA&C should direct LACAC to assemble a working group to explore potential outside financial opportunities; fundraising, fund-matching, grant partners, R 14.12 X etc. Commissioners can utilize their professional experience working in the County's creative economy to guide the Department towards guaranteed sources. BOS should direct CEO to find funding for R 14.13 X cross-sector continuity Staffing position. DA&R should report to BOS and CEO with staffing requirements; with special 14.1b consideration towards creating foundational X program infrastructure and accounting for future opportunities for the Department. DA&C should use sole source contracts to R 14.3 rehire those Creative Strategists with X incomplete and easily revived projects. BOS should direct all Department Heads to engage DA&C to incorporate Countywide R 14.4c Cultural Policy goals, such as, but not X limited to, allocating resources to engage Creative Strategies and other programs. DA&C should create necessary infrastructure (program availability, educational materials, vendor lists, compliance blueprints, and inter- R 14.5c X departmental relations person). We recognized this recommendation cannot be implemented unless DA&C received additional staff positions. snoitcnuF tnemnrevoG strA-non gnitroppuS tsigetartS evitaerC - GNIKAMECALP CIVIC DNA TSITRA reciffO evitucexE feihC .oC selegnA soL erutluC & strA fo .tpeD eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses DA&C should expand preparatory period timelines from six to twelve months, given the project's scope. Build in clause to allow R 14.6 X for additional time if necessary, recognizing that Creative Strategists should be engaged for a minimum of two years. BOS should direct CEO to find funding to meet the staffing needs for DA&C's cross- R 14.7a X sector work to enable the necessary infrastructure to be set in place. DA&C report to BOS and CEO with staffing requirements to fully-support the cross- R 14.7b sector division; ensure special consideration X regarding potential opportunities for future expansion. BOS and CEO should refer to Strategy 15 in R 14.7c DA&C's 2022 Countrywide Cultural Strategic X Plan for funding and staffing considerations. BOS and CEO assist Departments in reallocating funding and resources to engage a Creative Strategist in their priority R 14.9a X projects. Direct Departments to find outside sources, if necessary, with consultation with DA&C. Our Committee understands that fully funding the Strategic Plan and/or the Creative Strategist program cannot happen R 14.10b overnight. In the interim, DA&C should X review the completed Creative Strategist residencies and assess which projects could be re-implemented. BOS should direct CEO to find funding for a non-arts grant writer staff position. Much of the Countywide Cultural Policy situates R 14.11 X DA&C in the role of arts facilitator or cultural programing administrator, not as a creative entity itself. snoitcnuF tnemnrevoG strA-non gnitroppuS tsigetartS evitaerC - GNIKAMECALP CIVIC DNA TSITRA erutluC & strA fo .tpeD eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses BOS and DA&C should direct LACAC to assemble a working group to explore potential outside financial opportunities; fundraising, fund-matching, grant partners, R 14.12 X etc. Commissioners can utilize their professional experience working in the County's creative economy to guide the Department towards guaranteed sources. BOS should direct CEO to find funding for R 14.13 X cross-sector continuity Staffing position. DA&C should build out a paid "item menu" of specialized services (ex. Cross-sector R 14.15a local jurisdictional exchange); including but X not limited to expansion of impact and grant- matching. DA&C should direct LACAC to investigate R 14.15b alternative funding sources (Galas, benefits, X bond measures, percentage tax allocations). Regarding DA&C's need for an entrepreneurial pivot, BOS should directs all Departments to consult with DA&C to evaluate whether a Creative Strategist shall be utilized or engaged for any and all proposed third-party consulting contracts. R 14.16 Adding an artist would provide grassroots, X people-focused engagement as a compliment to the top-down, analytical lens of a FUSE Fellow's report recommendations. Their pairing would directly support the Cultural Policy's robust vision for the future of County governance. snoitcnuF tnemnrevoG strA-non gnitroppuS tsigetartS evitaerC - GNIKAMECALP CIVIC DNA TSITRA erutluC & strA fo .tpeD eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses County should draft an ordinance for R 15.1 X retrofitting soft-story first floor buildings. County should extend the proposed non- R 15.2 ductile retro-fit to buildings of every height, X not just those over 75 feet. All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.6 X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. LAC CEO should develop and earthquake R 15.7 X recovery/resilience plan. The Medical Examiner should make/update their emergency plans to include no ground access to the Antelope Valley (Lancaster, Palmdale). Where will autopsies and exams R 15.12 X be done? Where will mutual and volunteers from other medical examiners work, eat, park their vehicles? How can people work without water or electricity? !"enO" giB eht evivruS ot woH - SSENIDAER YTEFAS EKAUQHTRAE srosivrepuS fo draoB .oC selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses County should draft an ordinance for R 15.1 X retrofitting soft-story first floor buildings. County should extend the proposed non- R 15.2 ductile retro-fit to buildings of every height, X not just those over 75 feet. Once the cost estimate is complete LAC PW should develop a Request for Proposal (RFP) to gain detailed cost estimates. Once R 15.6 X the RFP is complete LAC CEO should solicit bids for Hall of Administration retrofit project and chose winning bidder. LAC CEO should develop and earthquake R 15.7 X recovery/resilience plan. The Medical Examiner should make/update their emergency plans to include no ground access to the Antelope Valley (Lancaster, Palmdale). Where will autopsies and exams R 15.12 X be done? Where will mutual and volunteers from other medical examiners work, eat, park their vehicles? How can people work without water or electricity? !"enO" giB eht evivruS ot woH - SSENIDAER YTEFAS EKAUQHTRAE renimaxE lacideM fo .tpeD ,.oC selegnA soL eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses County should draft an ordinance for R 15.1 X retrofitting soft-story first floor buildings. County should extend the proposed non- R 15.2 ductile retro-fit to buildings of every height, X not just those over 75 feet. LAC PW should complete design phase for R 15.3 earthquake safety retrofit for Hall of X Administration. Once the design phase for the earthquake safety/seismic retrofit is complete for the R 15.4 X Hall of Administration LAC PW should develop a project schedule. Once the design phase for the Hall of R 15.5 Administration is complete LAC PW should X obtain a cost estimate. Once the cost estimate is complete LAC PW should develop a Request for Proposal (RFP) to gain detailed cost estimates. Once R 15.6 X the RFP is complete LAC CEO should solicit bids for Hall of Administration retrofit project and chose winning bidder. !"enO" giB eht evivruS ot woH - SSENIDAER YTEFAS EKAUQHTRAE skroW cilbuP fo .tpeD eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses lanretnI fo .oC selegnA soL .tpeD secivreS The County should buy enough radio or satellite phones so that each agency and city referenced in the Responses section has at least two phones. ISD should track who the phones are assigned to, provide R 15.13 X video or written training for how to use the phones, and ask that the agency or city use them in their annual ShakeOut Drill as well as export their success/failure to ISD each year. eriF .oC selegnA soL tnemtrapeD The Medical Examiner should make/update their emergency plans to include no ground access to the Antelope Valley (Lancaster, Palmdale). Where will autopsies and exams R 15.12 X be done? Where will mutual and volunteers from other medical examiners work, eat, park their vehicles? How can people work without water or electricity? selegnA soL fo troP The LA and Long Beach ports should make/update plans for cargo that needs to be moved, especially perishables, when R 15.14 roads and railways out of the county may be X damaged. They also need to create/update their plans for damage in their harbors, including things that could possibly fall over. hcaeB gnoL fo troP The LA and Long Beach ports should make/update plans for cargo that needs to be moved, especially perishables, when R 15.14 roads and railways out of the county may be X X damaged. They also need to create/update their plans for damage in their harbors, including things that could possibly fall over. !"enO" giB eht evivruS ot woH - SSENIDAER YTEFAS EKAUQHTRAE eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses selegnA soL fo ytiC The City of Los Angeles is requested to commend on each of its 18 goals in their "Resilience By Design Plan" as to any R 15.8 misunderstandings the Civil Grand Jury may X have had as well as progress that has been made that was not mentioned. This is meant to help those who build on this in the future. selegnA soL & retaW fo .tpeD rewoP The City of Los Angeles's DWP should continue to work on water transport and R 15.9 X storage, especially in regards to putting out fires. Long Beach, Santa Clarita, Glendale, Lancaster, and Palmdale should inventory their buildings to determine if they have R15.10 X enough need in their city for retrofitting buildings of certain types. If So, create appropriate ordinances. If there is a lot of damage to building, more building inspectors would be needed. Plan for how temporary inspectors will be obtained and how they will be assigned, R 15.15 X keeping in mind that businesses in the medical field should be inspected first, followed by those who were enrolled in the Back to Business program. !"enO" giB eht evivruS ot woH - SSENIDAER YTEFAS EKAUQHTRAE hcaeB gnoL fo ytiC eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses Long Beach, Santa Clarita, Glendale, Lancaster, and Palmdale should inventory their buildings to determine if they have R 15.10 X enough need in their city for retrofitting buildings of certain types. If So, create appropriate ordinances. If there is a lot of damage to building, more building inspectors would be needed. Plan for how temporary inspectors will be obtained and how they will be assigned, R 15.15 X keeping in mind that businesses in the medical field should be inspected first, followed by those who were enrolled in the Back to Business program. Long Beach, Santa Clarita, Glendale, Lancaster, and Palmdale should inventory their buildings to determine if they have R 15.10 X enough need in their city for retrofitting buildings of certain types. If So, create appropriate ordinances. If there is a lot of damage to building, more building inspectors would be needed. Plan for how temporary inspectors will be obtained and how they will be assigned, R 15.15 X keeping in mind that businesses in the medical field should be inspected first, followed by those who were enrolled in the Back to Business Program. !"enO" giB eht evivruS ot woH - SSENIDAER YTEFAS EKAUQHTRAE atiralC atnaS fo ytiC eladnelG fo ytiC eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses Long Beach, Santa Clarita, Glendale, Lancaster, and Palmdale should inventory their buildings to determine if they have R 15.10 X enough need in their city for retrofitting buildings of certain types. If So, create appropriate ordinances. If there is a lot of damage to building, more building inspectors would be needed. Plan for how temporary inspectors will be obtained and how they will be assigned, R 15.15 X keeping in mind that businesses in the medical field should be inspected first, followed by those who were enrolled in the Back to Business Program. If there is a lot of damage to buildings, more building inspectors would be needed. Plan for how temporary inspectors will be obtained and how they will be assigned, R 15.10 X keeping in mind that businesses in the medical field should be inspected first, followed by those who were enrolled in the Back to Business Program If there is a lot of damage to building, more building inspectors would be needed. Plan for how temporary inspectors will be obtained and how they will be assigned, R 15.15 X keeping in mind that businesses in the medical field should be inspected first, followed by those who were enrolled in the Back to Business Program. !"enO" giB eht evivruS ot woH - SSENIDAER YTEFAS EKAUQHTRAE retsacnaL fo ytiC eladmlaP fo ytiC eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses The Cities of Industry and Vernon should consider having a Back to Business R 15.11 program to benefit the large number of X businesses in their cities and to help the economy recover. If there is a lot of damage to building, more building inspectors would be needed. Plan for how temporary inspectors will be obtained and how they will be assigned, R 15.15 X keeping in mind that businesses in the medical field should be inspected first, followed by those who were enrolled in the Back to Business program. The Cities of Industry and Vernon should consider having a Back to Business R 15.11 program to benefit the large number of X X businesses in their cities and to help the economy recover. If there is a lot of damage to building, more building inspectors would be needed. Plan for how temporary inspectors will be obtained and how they will be assigned, R 15.15 X keeping in mind that businesses in the medical field should be inspected first, followed by those who were enrolled in the Back to Business program. !"enO" giB eht evivruS ot woH - SSENIDAER YTEFAS EKAUQHTRAE yrtsudnI fo ytiC nonreV fo ytiC eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses .tpeD eriF arbmahlA All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. .tpeD eriF aidacrA All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. !"enO" giB eht evivruS ot woH - SSENIDAER YTEFAS EKAUQHTRAE eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses .tpeD eriF slliH ylreveB All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. .tpeD eriF knabruB All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. !"enO" giB eht evivruS ot woH - SSENIDAER YTEFAS EKAUQHTRAE eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses .tpeD eriF notpmoC All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English . Add "refresher" classes for those that were previously trained. When responding please indicate the 15.16 X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO) The Dept. of Sustainability should include this information in their annual reports. .tpeD eriF yenwoD All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. !"enO" giB eht evivruS ot woH - SSENIDAER YTEFAS EKAUQHTRAE eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses .tpeD eriF eladnelG All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. .tpeD eriF hcaeB gnoL All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When R 15.16 responding please indicate the languages X that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. !"enO" giB eht evivruS ot woH - SSENIDAER YTEFAS EKAUQHTRAE eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses .tpeD eriF selegnA soL All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. .tpeD eriF ollebetnoM All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. !"enO" giB eht evivruS ot woH - SSENIDAER YTEFAS EKAUQHTRAE eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses .tpeD eriF yeretnoM All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English . Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X languages that would be included. By august 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO) The Dept. of Sustainability should include this information in their annual reports. .tpeD eriF anedasaP All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. !"enO" giB eht evivruS ot woH - SSENIDAER YTEFAS EKAUQHTRAE eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses .tpeD eriF hcaeB odnodeR All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. .tpeD eriF acinoM atnaS All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. !"enO" giB eht evivruS ot woH - SSENIDAER YTEFAS EKAUQHTRAE eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses .tpeD eriF erdaM arreiS All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. .tpeD eriF anedasaP htuoS All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. !"enO" giB eht evivruS ot woH - SSENIDAER YTEFAS EKAUQHTRAE eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses .tpeD eriF ecnarroT All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. .tpeD eriF anivoC tseW All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. !"enO" giB eht evivruS ot woH - SSENIDAER YTEFAS EKAUQHTRAE DETENTION COMMITTEE DUTIES Each fiscal year, as mandated by the California Penal Code, section 919 article (b), every Civil Grand Jury must inquire into the condition and management of the public detention centers, jails, and courthouse holding provisions within the County of its purview. Per section 921 of the California Penal Code, the Civil Grand Jury is entitled to free access at all reasonable times to these facilities. It is the responsibility of the Detention Committee to ensure that the Civil Grand Jury makes a good faith effort to visit each of the detention facilities within the County of Los Angeles (County), and makes a record of each facility visited. ACTIVITIES In order to ensure that all detention facilities in the County could be visited, the Detention Committee must assign Civil Grand Jury members to groups, each group consisting of at least two members, and then assign each group to a subset of detention facilities within the County. A spreadsheet containing all such facilities was made, and was used to generate a list of facilities for each group. In addition, the same spreadsheet kept track of all facilities that were visited, the dates of visitations, and the group members who participated in each visit. The 2024-2025 Los Angeles County Civil Grand Jury Members formed seven groups. Each group was comprised of at least two jurors, and was responsible for visiting a subset of the detention centers within the County. In order to minimize travel requirements for individuals, each group represented a particular area of the County, and members were chosen for each group based on the proximity of their homes to the areas visited by the group. For example, the group that visited several detention facilities in the southern reaches of the County was comprised of jurors from Long Beach and San Pedro. Wednesdays were set aside as the day of the week on which detention facilities would be visited. On those Wednesdays that facilities were visited, each group was able to visit between four and six detention sites. Thus, between 28 and 42 sites could be visited each week. Over a period of weeks beginning August 21, 2024 and continuing until September 18, 2024, the Civil Grand Jury was able to physically 1 arrive at 128 detention locations, though not all could be visited. Some sites are no longer in use, and some are closed due to issues that preclude the housing of detainees for the present time. The table below lists the detention facilities and stations visited by the 2024-2025 Los Angeles County Civil Grand Jury. For the purpose of ease of reading, the table begins on the following page. Facility Agency Visited Date Visited 77th Street Community Station LAPD Yes 8/21/2024 7600 S Broadway Los Angeles, CA 90003 (323) 786-5075 Alfred J. McCourtney Juvenile Justice LASD Yes 8/28/2024 Center 1040 W Avenue J Lancaster, CA 93534 (661) 945-6354 Alhambra Courthouse LASD Yes 8/21/2024 150 W Commonwealth Ave Alhambra, CA 91801 (626) 293-2100 Alhambra Police Station City PD Yes 8/21/2024 211 1st St Alhambra, CA 91801 (626) 570-5151 Altadena Station LASD Yes 9/18/2024 780 E Altadena Drive Altadena, CA 91001 (626) 798-1131 Arcadia Police Station City PD Yes 8/28/2024 250 W Huntington Drive Arcadia, CA 91007 (626) 574-5151 Avalon Station LASD Yes 9/11/2024 215 Sumner Ave Avalon, CA 90704 (310) 510-0174 Azusa Police City PD Yes 8/28/2024 725 N Akaneda Ave Azusa, CA 91702 (626) 812-3200 Baldwin Park Police City PD Yes 9/4/2024 14403 E Pacific Ave Baldwin Park, CA 91706 (626) 960-1955 Barry J Nidorf Juvenile Hall LASD Yes 8/21/2024 16350 Filbert St Sylmar, CA 91342 (818) 364-2011 Bell Gardens Police City PD Yes 9/4/2024 7100 Garfield Ave Bell Gardens, CA 90201 (562) 806-7700 3 Facility Agency Visited Date Visited Bell Police City PD Yes 8/28/2024 6326 Pine Ave Remodel in Bell, CA 90201 process (323) 585-1245 Bellflower Courthouse LASD Yes 8/21/2024 10025 Flower St Bellflower, CA 90706 (562) 345-3300 Beverly Hills Courthouse LASD Not in Use 8/21/2024 9555 Burton Way #191 Beverly Hills, CA 90210 (310) 288-1279 Beverly Hills Police City PD Yes 8/28/2024 464 N Rexford Drive Beverly Hills, CA 90210 (310) 550-4951 Burbank Courthouse LASD Yes 9/11/2024 300 E Olive St Burbank, CA 91502 (818) 260-8498 Burbank Police Station City PD Yes 9/11/2024 200 N Third St Burbank, CA 91502 (818) 238-3333 Camp Clinton B Afflerbaugh Probation Yes 9/4/2024 6621 N Stephens Ranch Rd La Verne, CA 91750 (909) 593-4926 Camp Glenn Rockey Probation Yes 9/18/2024 1900 Sycamore Canyon San Dimas, CA 91773 (909) 599-2391 Camp Joseph Paige Probation Yes 9/4/2024 6601 Stephens Ranch Rd La Verne, CA 91750 (909) 593-4921 Camp Vernon Kilpatrick Probation Yes 9/4/2024 427 S Encinal Canyon Rd Malibu, CA 90265 (818) 899-1353 Carson Station LASD Yes 8/21/2024 21356 S Avalon Blvd Carson, CA 90745 (310) 485-3294 4 Facility Agency Visited Date Visited Central Arraignment Courthouse LASD Yes 9/11/2024 429 Bauchet St Los Angeles, CA 90012 (213) 974-6068 Central Community Station LAPD Yes 9/11/2024 215 E 6th St Los Angeles, CA 90014 (213) 486-6606 Central Juvenile Hall LASD No 1605 Eastvale Ave Closed Los Angeles, CA 90033 (323) 226-8611 Century Regional Correction Facility LASD Yes 8/28/2024 11705 S Alameda St 9/4/2024 Lynwood, CA 90262 (323) 568-4500 Cerritos Station LASD Yes 8/21/2024 18135 Bloomfield Ave Cerritos, CA 90703 (562) 860-0044 City of Industry LASD Yes 9/18/2024 150 N Hudson St City of Industry, CA 91744 (626) 330-3322 Clara Shortridge-Foltz Criminal Justice LASD Yes 9/11/2024 Center 210 W Temple St Los Angeles, CA 90012 (213)628-7900 Claremont Police City PD Yes 9/4/2024 570 W Bonita Ave Claremont, CA 91711 (909) 399-5411 Compton Courthouse LASD Yes 8/28/2024 200 W Compton Blvd Compton, CA 90220 (310) 761-4300 Covina Police Department City PD Yes 9/4/2024 444 N Citrus Ave Covina, CA 91733 (626) 331-3391 Crescenta Valley Station LASD Yes 9/18/2024 4554 N Briggs Ave La Crescenta, CA 91214 (818) 248-3464 5 Facility Agency Visited Date Visited Culver City Police City PD Yes 8/21/2024 4040 Duquesne Ave Culver City, CA 90232 (310) 253-6208 Devonshire Community Station LAPD Yes 8/28/2024 10250 Etiwanda Ave Northridge, CA 91325 (818) 832-0622 Dodger Stadium Security Office LAPD Yes 9/11/2024 1000 Elysian Park Los Angeles, CA 90012 (323) 224-2611 Dorothy Kirby Center LASD Yes 9/18/2024 1500 S McDonnell Ave Los Angeles, CA 90022 (323) 981-4301 Downey Courthouse LASD Yes 8/21/2024 7500 Imperial Hwy Downey, CA 90242 (562) 658-0500 Downey Police City PD Yes 8/21/2024 10911 Brookshire Drive #2700 Downey, CA 91502 (562) 861-0771 East Los Angeles Courthouse LASD Yes 9/11/2024 4848 Civic Center Way Los Angeles, CA 90022 (323) 780-2025 Ed Edelman Children’s Court LASD Yes 9/4/2024 201 Centre Plaza Drive #2700 Monterey Park, CA 91754 (323) 307-8098 El Monte Courthouse LASD Yes 8/21/2024 11234 E Valley Blvd El Monte, CA 91731 (626) 401-2298 El Monte Police City PD Yes 8/21/2024 11333 Valley Blvd El Monte, CA 91731 (626) 580-2100 El Segundo Police Station City PD Yes 8/21/2024 348 Main St El Segundo, CA 90245 (310) 524-2200 6 Facility Agency Visited Date Visited Foothill Community Station LAPD Yes 8/21/2024 12670 Osborne St Pacoima, CA 91331 (818) 756-8861 Gardena Police City PD Yes 8/21/2024 1718 162nd St Gardena, CA 90247 (310) 217-9670 George Deukmejian Courthouse LASD Yes 9/4/2024 275 Magnolia Ave Long Beach, CA 90802 (562) 256-3100 Glendale Courthouse LASD Yes 8/28/2024 600 E Broadway Ave Glendale, CA 91206 (818) 265-6400 Glendale Police City PD Yes 8/28/2024 131 N Isabel St Glendale, CA 91206 (818) 548-4840 Glendora Police City PD Yes 8/28/2024 150 S Glendora Ave Glendora, CA 91741 (626) 914-8250 Harbor Community Station LAPD Yes 8/28/2024 2175 John Gibson Blvd San Pedro, CA 90731 (310) 726-7700 Hawthorne Police Station City PD Yes 8/21/2024 12501 Hawthorne Blvd Hawthorne, CA 90250 (310) 675-4444 Hermosa Beach Police City PD Yes 8/21/2024 540 Pier Ave Hermosa Beach, CA 90254 (310) 318-0360 Hollenbeck Community Station LASD Yes 9/11/2024 2111 E 1st St Los Angeles, CA 90033 (323) 342-4100 Hollywood Community Station LAPD Yes 9/11/2024 1358 Wilcox Ave Los Angeles, CA 90028 (213) 972-2971 7 Facility Agency Visited Date Visited Huntington Park Police Station City PD Yes 8/28/2024 6542 Miles Ave Huntington Park, CA 90255 (323) 584-6524 Inglewood Courthouse LASD Yes 8/28/2024 1 E Regent St Inglewood, CA 90301 (310) 419-5132 Inglewood Juvenile Court LASD Yes 8/28/2024 110 E Regent St Inglewood, CA 90301 (310) 419-5255 Inglewood Police Department City PD Yes 8/28/2024 1 W Manchester Ave Inglewood, CA 90301 (310) 412-5211 Inmate Reception Center LASD Yes 9/11/2024 450 Bauchet St Los Angeles, CA 90012 (213) 893-5875 Irwindale Police Station City PD Closed 8/28/2024 505 N Irwindale Ave Irwindale, CA 91706 (626) 430-2244 LA County Fairgrounds Holding Facility Pomona No 9/4/2024 101 W McKinley Ave PD Seasonally Pomona, CA 91768 Open? La Verne Police Department City PD Storage 9/4/2024 2061 3rd St Only? La Verne, CA 91750 (909) 596-1913 LA General Hospital Jail Ward LASD Yes 9/11/2024 2051 Marengo St Los Angeles, CA 90033 (323) 409-1000 Lakewood Police Station LASD Yes 8/21/2024 5130 N Clark Ave Lakewood, CA 90712 (562) 623-3500 Lancaster Sheriff’s Station LASD Yes 8/28/2024 501 W Lancaster Blvd Lancaster, CA 93534 (661) 948-8466 8 Facility Agency Visited Date Visited LAX Courthouse LASD Yes 8/21/2024 11701 S La Cienega Blvd Los Angeles, CA 90045 (310) 725-3000 Lomita Station LASD Yes 8/28/2024 26123 Narbonne Ave Lomita, CA 90717 (310) 539-1661 Long Beach Police Department City PD Yes 9/4/2024 400 W Broadway Long Beach, CA 90802 (562) 570-7260 Los Angeles Airport Police Facility Airport Yes 8/28/2024 9160 Loyola Blvd PD Los Angeles, CA 90045 (424) 646-6100 Los Padrinos Juvenile Hall LASD Yes 8/21/2024 7285 Quill Drive Downey, CA 90242 (562) 940-8681 Lost Hills Station LASD Yes 8/28/2024 27050 Agoura Rd Calabasas, CA 91301 (818) 878-1808 Manhattan Beach Police Facility City PD Yes 8/21/2024 420 15th St Manhattan Beach, CA 90266 (310) 802-5140 Marina Del Rey Station LASD Yes 8/21/2024 13851 Fiji Way Marina Del Rey, CA 90292 (310) 482-6000 Men’s Central Jail LASD Yes 9/11/2024 441 Bauchet St Los Angeles, CA 90012 (213) 974-4921 Mental Health Courthouse LASD Yes 9/11/2024 5925 Hollywood Blvd Los Angeles, CA 90028 (323) 441-1898 Metropolitan Courthouse LASD Yes 9/11/2024 1945 S Hill St Los Angeles, CA 90007 (213) 745-3202 9 Facility Agency Visited Date Visited Metropolitan Detention Center LAPD Yes 9/11/2024 180 N Los Angeles St Los Angeles, CA 90012 (213) 485-0439 Michael D Antonovich Antelope Valley LASD Yes 8/28/2024 Courthouse 42011 4th St Lancaster, CA 93534 (661) 974-7200 Mission Hills Community Station LAPD Yes 8/28/2024 11121 N Sepulveda Blvd Mission Hills, CA 91345 (818) 838-9800 Monrovia Police City PD Yes 8/28/2024 140 E Lime Ave Monrovia, CA 91016 (626) 256-8000 Monterey Park Police City PD Yes 9/4/2024 320 W Newmark Ave Monterey Park, CA 91754 (662) 573-1311 Newton Community Station LAPD Station 8/28/2024 3400 S Central Ave Closed 9/11/2024 Los Angeles, CA 90011 Plumbing (323) 846-6547 Problems North County Correctional Facility LASD Yes 9/4/2024 29340 The Old Road Castaic, CA 91384 (661) 295-7810 North Hollywood Community Station LAPD Yes 9/4/2024 11640 Burbank Blvd North North Hollywood, CA 91601 (818) 623-4016 Northeast Community Station LAPD Yes 9/4/2024 3353 San Fernando Rd Los Angeles, CA 90065 (323) 561-3218 Norwalk Courthouse LASD Yes 9/4/2024 12720 Norwalk Blvd Norwalk, CA 90650 (562) 345-3700 Norwalk Station LASD Yes 9/4/2024 12335 Civic Center Drive Norwalk, CA 90650 (562) 863-8711 10 Facility Agency Visited Date Visited Olympic Community Station LAPD Yes 8/21/2024 1130 S Vermont Ave Los Angeles, CA 90006 (213) 382-9102 Pacific Community Station LAPD Yes 8/21/2024 12312 Culver Blvd Los Angeles, CA 90066 (310) 482-63334 Palmdale Sheriff’s Station LASD Yes 8/28/2024 750 East Ave Q Palmdale, CA 93550 (661) 272-2400 Palos Verdes Police City PD Yes 8/28/2024 340 Palos Verdes Drive Palos Verdes, CA 90274 (310) 378-4211 Pasadena Courthouse LASD Yes 8/28/2024 300 E Walnut St Pasadena, CA 91101 (626) 396-3300 Pasadena Police City PD Yes 8/28/2024 207 N Garfield Ave Pasadena, CA 91101 (626) 744-4501 Pico Rivera Station LASD Yes, 9/4/2024 6631 Passons Blvd Station Pico Rivera, CA 90660 Visited, (562) 848-2421 Jail Closed Pitchess Detention Center East Facility LASD Yes 9/4/2024 29330 The Old Road Castaic, CA 91384 (661) 295-7810 Pitchess Detention Center North Facility LASD Yes 9/4/2024 29320 The Old Road Castaic, CA 91384 (661) 295-8840 Pitchess Detention Center South Facility LASD Yes 9/4/2024 29330 The Old Road Castaic, CA 91384 (661) 295-8840 Pomona Courthouse LASD Yes 9/4/2024 400 W Mission Blvd Pomona, CA 91766 (909) 802-1100 11 Facility Agency Visited Date Visited Pomona Police City PD Yes 9/4/2024 490 W Mission Blvd Pomona, CA 91766 (909) 620-2155 Rampart Community Station LAPD Yes 8/21/2024 1401 W 6th Street Los Angeles, CA 90017 (213) 484-3400 Redondo Beach Police City PD Yes 8/28/2024 401 Diamond St Redondo Beach, CA 90277 (310) 379-2477 San Fernando Courthouse LASD Yes 8/21/2024 900 3rd Street San Fernando, CA 91340 (818) 256-1800 San Fernando Police City PD Yes 8/21/2024 910 1st Street San Fernando, CA 91340 (818) 898-1267 San Gabriel Police City PD Closed. 8/21/2024 625 Del Mar Ave San Gabriel, CA 91776 (626) 308-2828 San Marino Police City PD Yes 8/28/2024 2200 Huntington Drive San Marino, CA 91108 (626) 399-0720 Santa Clarita Courthouse LASD Yes 9/4/2024 23747 W Valencia Blvd Valencia, CA 91355 (661) 253-5600 Santa Clarita Sheriff’s Station LASD Yes 9/4/2024 26201 Golden Valley Road Santa Clarita, CA 91350 (661) 260-4000 Santa Clarita Valley Station LASD Yes 9/11/2024 23740 W Magic Mountain Pkwy Valencia, CA 91355 (661) 253-5699 Santa Monica Courthouse LASD Closed. 8/21/2024 1725 Main St #114 Santa Monica, CA 90401 (310) 260-3515 12 Facility Agency Visited Date Visited Santa Monica Police Station City PD Yes 8/21/2024 333 Olympic Dr. Santa Monica, CA 90401 (323) 395-9931 Sierra Madre Police City PD Yes 8/28/2024 242 W Sierra Madre Blvd Sierra Madre, CA 91024 (626) 355-1414 Signal Hill Police City PD Yes 9/4/2024 2745 Walnut Ave Signal Hill, CA 90755 (562) 989-7200 South Gate Police City PD Yes 8/28/2024 8620 California Ave South Gate, CA 90280 (323) 563-5436 South Pasadena Police City PD Yes 8/28/2024 1422 Mission St South Pasadena, CA 91030 (626) 403-7270 Southwest Community Station LAPD Yes 8/21/2024 1546 Martin Luther King Jr Blvd Los Angeles, CA 90062 (213) 972-7828 Temple City Station LASD Yes 8/21/2024 8838 Las Tunas Drive Temple City, CA 91780 (626) 285-7171 Topanga Community Station LAPD Yes 8/28/2024 21501 Schoenborn St Canoga Park, CA 91304 (818) 756-4800 Torrance Courthouse LASD Yes 8/28/2024 825 Maple Ave Torrance, CA 90503 (310) 787-3700 Torrance Police City PD Yes 8/28/2024 3300 Civic Center Drive Torrance, CA 90503 (310) 328-3456 Twin Towers LASD Yes 9/11/2024 450 Bauchet St Los Angeles, CA 90012 (213) 893-5100 13 Facility Agency Visited Date Visited Van Nuys Community Station LAPD Yes 9/11/2024 6240 Sylmar Ave Van Nuys, CA 91401 (818) 374-9500 Van Nuys Courthouse West LASD Yes 9/11/2024 14400 Erwin St Mall Van Nuys, CA 91401 (818) 989-6900 West Hollywood Station LASD Yes 9/4/2024 780 N San Vicente Blvd West Hollywood 90089 (310) 855-8850 West LA Community Station LAPD Yes 8/21/2024 1663 Butler Ave Los Angeles, CA 90025 (310) 444-0702 West Valley Community Station LAPD Yes 8/28/2024 19020 Vanowen St Reseda, CA 91335 (818) 374-7611 Whittier Police City PD Yes 9/4/2024 13200 Penn St Whittier, CA 90602 (562) 567-9200 Wilshire Community Station LAPD Yes 8/21/2024 4861 W Venice Blvd Los Angeles, CA 90019 (213) 473-0476 14 ACRONYMS Jury 2024 -2025 Los Angeles County Civil Grand Jury LASD Los Angeles County Sheriff’s Department LAPD Los Angeles Police Department City PD For cities within the County other than Los Angeles which have their own police force, the local police department County County of Los Angeles COMMITTEE MEMBERS William Allen, Committee Chair Ken Jefferson, Committee Co-chair Terry Maynes, Committee Secretary Lee Jenkins 15 16 EDIT COMMITTEE REPORT According to California Penal Code 933 (a), each Civil Grand Jury shall submit a Final Report to the Presiding Judge of the Los Angeles Superior Court, which includes the findings, investigations, and the recommendations that concern the Los Angeles County government during the calendar year. DUTIES The 2024-2025 Los Angeles County Civil Grand Jury (Jury) is charged with thoroughly examining the submitted written contents of each Investigative and Standing Committee report before it is submitted to the Edit Committee for potential corrections. The Jury must approve the overall content of the report by a supermajority of its membership. Jury members are encouraged to submit their suggestions for grammatical, factual, and stylistic revisions to the Edit Committee once the content has been approved. The Edit Committee works with Jury members – at the Jury members’ requests – to solve any problems encountered in writing their reports. Once the document has been approved by the Jury, the Edit Committee meets with the committee that produced the original document to discuss any problems encountered during editorial review. The Edit Committee makes suggestions for changes to the written report in order to improve the presentation, but such changes are approved by the committee that created the report. All reports are compiled into the Final Report by the Publication Committee, which creates the layout for the printed proof of the Final Report. The report is submitted to the Presiding Judge of the Los Angeles Superior Court for final approval. For this publication, including this report, the Edit Committee has reviewed and edited every Investigative and Standing Committee report. ACRONYM Jury 2024-2025 Los Angeles County Civil Grand Jury COMMITTEE MEMBERS Bob Nathan, Committee Chair Jenalea Smith, Committee Co-chair Lee Jenkins, Committee Secretary Bill Allen Michele McKinley Margaret Hatfield Jesse Rhines 2 HOSPITALITY COMMITTEE REPORT EXECUTIVE SUMMARY The Hospitality Committee is made up of six members of the Civil Grand Jury. The Hospitality Committee organized social events, provided beverages and supplies, and promoted collegiality among the members which allowed for a general feeling of togetherness and a friendly working environment. By general vote and agreement of the Grand Jury, the Committee established a monthly contribution amount for the general fund. The monies collected were used to buy needed supplies, monthly birthday celebrations and incidentals. Members of the Civil Grand Jury were assigned in teams of two, on rotation, for weekly clean-up duties. Holiday lunches were catered or celebrated in a local establishment. Birthday celebrations were marked with assorted bakery items and/or ice cream brought into the office lunch area. COMMITTEE MEMBERS Lynn Gidlow Co-Chair Margaret Hatfield Co-Chair Wayne Metcalf Co-Treasurer Terry Maynes Co-Treasurer Joel Floyd 1 2 INFORMATION TECHNOLOGY DUTIES The members of the 2024-2025 Los Angeles County Civil Grand Jury (CGJ) were provided touch-screen laptop computing devices, primarily for performing research using the global Internet, creating content to be shared within the CGJ, and creating, editing, and reviewing reports generated by the investigations carried out by the CGJ. The Information Technology Committee (IT) is a small collection of individuals who are experienced in the use of, and interaction with, the programs and operating system provided to the CGJ, and is responsible for assisting the Jury in using the platform and software. That is, IT has NO responsibility for implementing or maintaining information and networking systems, firewalls, databases, virtual private networks, computer hardware or operating system configuration, as one might be misled to expect given the common usage of the acronym IT. The basic responsibilities of IT are to explain things like how to store created content in appropriate locations on the server, how to save and retrieve information downloaded from the Internet, and how to integrate created content with content provided from other sources. In addition, IT was responsible for ensuring that all information stored on the local shared server is backed up on a regular basis. Finally, IT created the templates, agreed upon by the entire Jury, to ensure reports conform to an accepted format, so that the final publication has a uniform appearance. ACTIVITIES In the preceding section, we noted that content shared on the local server must be backed up regularly. IT chose to perform daily backups starting August 6, 2024. Lacking automation software, the backups are performed by copying from the server onto multi-terabyte USB hard drives. There is a complete backup of content and data that is accessible to Jury members for every day that the Jury was in session. IT began by backing up every afternoon, but as the time to back up the server increased beyond fifteen minutes per day, IT began coming in early and backing up before the Jury opened the daily session. This saved the previous day’s work, and did not sacrifice any part of the session during the day. To provide uniformity to reports, IT created templates for Microsoft Word documents that are inserted – by IT – into the Microsoft Word Templates subfolder within each juror’s Documents folder. The templates specify fonts, margins, spacing, and other formatting rules that were agreed upon by a super- majority of jurors. Templates for Standing Committee Reports, and for Investigative Reports were created and provided to Jury members before the writing of reports was begun. Most remaining activities consisted of instructive presentations, assistance to jurors with the usage of laptops and Microsoft Office software, and methodology for documents accepted by the Jury and submitted to the Edit Standing Committee. It was also the job of IT to recognize problems created by faulty hardware, and submit the information to CGJ administrators. RECOMMENDATIONS In order to obscure visibility to content supporting and created for Jury Investigations, the IT committee felt there should be a server volume that is exclusively available to the members of the Jury, and a separate volume that is used to share information between members of the Jury and the administrative staff. This provided a more effective method of keeping research and investigations confidential to the Jury. The new Microsoft SharePoint server was extremely helpful to providing a method that allowed external agencies to get information to the Jury in a way that is confidential and fast. We would ask the administration to consider using the SharePoint portal in a complementary way. SharePoint can be used to create a temporary location, available over the Internet, where an external agent, or external agents, may provide temporary login credentials to access files in the temporary location. This can be used to implement a method for getting documents to informants and agencies that is more secure than electronic mail, faster than postal mail, and in many cases more expedient and cheaper than hand delivery. Finally, on November 5, 2024, IT made a request to Grand Jury administration that the site http://grandjury.co.la.ca.us/ be replaced with a SSL secured site. We include a copy of the request in an appendix. The next Civil Grand Jury might follow-up on this request if it is of interest. ACRONYMS IT The Information Technology Committee CGJ 2024-2025 Los Angeles County Civil Grand Jury Jury 2024 -2025 Los Angeles County Civil Grand Jury USB Universal Serial Bus COMMITTEE MEMBERS William Allen, Committee Chair Nestor Apuya, Co-chair 3
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R6: 5 Improve communication and coordination between Medical Center staff, security personnel, and the Sheriff's Department to ensure a consistent and effective response.
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R7: LA General and LA Care, in consultation with DHS, should work together to develop a written plan that maximizes LA General’s impact in qualifying eligible Medi-Cal beneficiaries for ECM.
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R8: LA General, as an ECM provider, should work with LA Care to generate a study on the effective recruitment of ECM eligible beneficiaries for the purpose of increasing the current 30% success rate in enrolling ECM eligible beneficiaries. 83
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R9: The Board of Supervisors should direct DHS to conduct a detailed study of the incremental costs of DHS’s current and anticipated participation in CalAIM as an ECM provider, and the resulting financial benefits to the County and the State.
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R10: The Board of Supervisors should direct DHS to conduct a detailed study of the incremental costs of LA General’s anticipated participation in CalAIM as an ECM provider, and the resulting financial and operational benefits to both the County and the State.
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R11: LA General and LA Care, in consultation with DHS, should work together to develop strategies to obtain and analyze available data, including data generated by LA General’s ECM patients, for the purpose of evaluating the impact of the CalAIM program on beneficiary well-being and cost reduction.
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R12: 11 County of Los Angeles Chief R12.1, R12.2, R12.3, R12.4, R12.5, Executive Office R12.6, R12.7, R12.8, R12.9, R12.10,
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R13: The Board of Supervisors should direct the Hospitals and Health Delivery Commission to investigate the potential benefits and structural challenges of the LA County Restorative Care Villages, and make recommendations regarding their organization, management, coordination and operation for the purposes of maximizing high quality care for County patients, especially focusing on: (1) the importance of establishing centralized control and management over each Restorative Care Village, (2) the benefits of each Restorative Care Village effectively communicating and coordinating with its associated County Hospital, (3) the Restorative Care Village’s effective participation in CalAIM, especially in coordination with providers of Community Supports, and (4) the apparent lack of 84 a County-wide vision for the Restorative Care Villages; and the Board of Supervisors should review and respond to such recommendations. 85
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R14: 1a X staffing needs of DA&C DA&R should report to BOS and CEO with staffing requirements; with special
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R15: 10 X enough need in their city for retrofitting buildings of certain types. If So, create appropriate ordinances. If there is a lot of damage to building, more building inspectors would be needed. Plan for how temporary inspectors will be obtained and how they will be assigned, R 15.15 X keeping in mind that businesses in the medical field should be inspected first, followed by those who were enrolled in the Back to Business program. !"enO" giB eht evivruS ot woH - SSENIDAER YTEFAS EKAUQHTRAE hcaeB gnoL fo ytiC eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses Long Beach, Santa Clarita, Glendale, Lancaster, and Palmdale should inventory their buildings to determine if they have R 15.10 X enough need in their city for retrofitting buildings of certain types. If So, create appropriate ordinances. If there is a lot of damage to building, more building inspectors would be needed. Plan for how temporary inspectors will be obtained and how they will be assigned, R 15.15 X keeping in mind that businesses in the medical field should be inspected first, followed by those who were enrolled in the Back to Business program. Long Beach, Santa Clarita, Glendale, Lancaster, and Palmdale should inventory their buildings to determine if they have R 15.10 X enough need in their city for retrofitting buildings of certain types. If So, create appropriate ordinances. If there is a lot of damage to building, more building inspectors would be needed. Plan for how temporary inspectors will be obtained and how they will be assigned, R 15.15 X keeping in mind that businesses in the medical field should be inspected first, followed by those who were enrolled in the Back to Business Program. !"enO" giB eht evivruS ot woH - SSENIDAER YTEFAS EKAUQHTRAE atiralC atnaS fo ytiC eladnelG fo ytiC eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses Long Beach, Santa Clarita, Glendale, Lancaster, and Palmdale should inventory their buildings to determine if they have R 15.10 X enough need in their city for retrofitting buildings of certain types. If So, create appropriate ordinances. If there is a lot of damage to building, more building inspectors would be needed. Plan for how temporary inspectors will be obtained and how they will be assigned, R 15.15 X keeping in mind that businesses in the medical field should be inspected first, followed by those who were enrolled in the Back to Business Program. If there is a lot of damage to buildings, more building inspectors would be needed. Plan for how temporary inspectors will be obtained and how they will be assigned, R 15.10 X keeping in mind that businesses in the medical field should be inspected first, followed by those who were enrolled in the Back to Business Program If there is a lot of damage to building, more building inspectors would be needed. Plan for how temporary inspectors will be obtained and how they will be assigned, R 15.15 X keeping in mind that businesses in the medical field should be inspected first, followed by those who were enrolled in the Back to Business Program. !"enO" giB eht evivruS ot woH - SSENIDAER YTEFAS EKAUQHTRAE retsacnaL fo ytiC eladmlaP fo ytiC eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses The Cities of Industry and Vernon should consider having a Back to Business R 15.11 program to benefit the large number of X businesses in their cities and to help the economy recover. If there is a lot of damage to building, more building inspectors would be needed. Plan for how temporary inspectors will be obtained and how they will be assigned, R 15.15 X keeping in mind that businesses in the medical field should be inspected first, followed by those who were enrolled in the Back to Business program. The Cities of Industry and Vernon should consider having a Back to Business R 15.11 program to benefit the large number of X X businesses in their cities and to help the economy recover. If there is a lot of damage to building, more building inspectors would be needed. Plan for how temporary inspectors will be obtained and how they will be assigned, R 15.15 X keeping in mind that businesses in the medical field should be inspected first, followed by those who were enrolled in the Back to Business program. !"enO" giB eht evivruS ot woH - SSENIDAER YTEFAS EKAUQHTRAE yrtsudnI fo ytiC nonreV fo ytiC eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses .tpeD eriF arbmahlA All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. .tpeD eriF aidacrA All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. !"enO" giB eht evivruS ot woH - SSENIDAER YTEFAS EKAUQHTRAE eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses .tpeD eriF slliH ylreveB All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. .tpeD eriF knabruB All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. !"enO" giB eht evivruS ot woH - SSENIDAER YTEFAS EKAUQHTRAE eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses .tpeD eriF notpmoC All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English . Add "refresher" classes for those that were previously trained. When responding please indicate the 15.16 X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO) The Dept. of Sustainability should include this information in their annual reports. .tpeD eriF yenwoD All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. !"enO" giB eht evivruS ot woH - SSENIDAER YTEFAS EKAUQHTRAE eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses .tpeD eriF eladnelG All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. .tpeD eriF hcaeB gnoL All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When R 15.16 responding please indicate the languages X that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. !"enO" giB eht evivruS ot woH - SSENIDAER YTEFAS EKAUQHTRAE eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses .tpeD eriF selegnA soL All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. .tpeD eriF ollebetnoM All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. !"enO" giB eht evivruS ot woH - SSENIDAER YTEFAS EKAUQHTRAE eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses .tpeD eriF yeretnoM All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English . Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X languages that would be included. By august 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO) The Dept. of Sustainability should include this information in their annual reports. .tpeD eriF anedasaP All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. !"enO" giB eht evivruS ot woH - SSENIDAER YTEFAS EKAUQHTRAE eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses .tpeD eriF hcaeB odnodeR All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. .tpeD eriF acinoM atnaS All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. !"enO" giB eht evivruS ot woH - SSENIDAER YTEFAS EKAUQHTRAE eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses .tpeD eriF erdaM arreiS All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. .tpeD eriF anedasaP htuoS All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. !"enO" giB eht evivruS ot woH - SSENIDAER YTEFAS EKAUQHTRAE eltiT tropeR ot ycnegA DERIUQER dnopseR noitadnemmoceR Description eergA detnemelpmI eergA yllaitraP detnemelpmI yllaitraP eergasiD yllaitraP eergasiD detnemelpmI eb tonnaC esnopseR oN tnemelpmI toN lliW /ytilibisnopseR ruO toN noitcidsiruJ dedeeN ydutS rehtruF Responses .tpeD eriF ecnarroT All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. .tpeD eriF anivoC tseW All Fire Departments within the county should grow their CERT training so that one out of every 2,000 residents in their jurisdiction in trained each year. Repeat this level of training for at least 3 years. Attempt to conduct 30% of the training in languages other than English. Add "refresher" classes for those that were previously trained. When responding please indicate the R 15.16 X languages that would be included. By August 1 each year, report the number of trainees and the language in which they were trained during the previous 12 months to the County Chief Sustainability Office (in the Dept. of the Department of the County CEO). The Dept. of Sustainability should include this information in their annual reports. !"enO" giB eht evivruS ot woH - SSENIDAER YTEFAS EKAUQHTRAE DETENTION COMMITTEE DUTIES Each fiscal year, as mandated by the California Penal Code, section 919 article (b), every Civil Grand Jury must inquire into the condition and management of the public detention centers, jails, and courthouse holding provisions within the County of its purview. Per section 921 of the California Penal Code, the Civil Grand Jury is entitled to free access at all reasonable times to these facilities. It is the responsibility of the Detention Committee to ensure that the Civil Grand Jury makes a good faith effort to visit each of the detention facilities within the County of Los Angeles (County), and makes a record of each facility visited. ACTIVITIES In order to ensure that all detention facilities in the County could be visited, the Detention Committee must assign Civil Grand Jury members to groups, each group consisting of at least two members, and then assign each group to a subset of detention facilities within the County. A spreadsheet containing all such facilities was made, and was used to generate a list of facilities for each group. In addition, the same spreadsheet kept track of all facilities that were visited, the dates of visitations, and the group members who participated in each visit. The 2024-2025 Los Angeles County Civil Grand Jury Members formed seven groups. Each group was comprised of at least two jurors, and was responsible for visiting a subset of the detention centers within the County. In order to minimize travel requirements for individuals, each group represented a particular area of the County, and members were chosen for each group based on the proximity of their homes to the areas visited by the group. For example, the group that visited several detention facilities in the southern reaches of the County was comprised of jurors from Long Beach and San Pedro. Wednesdays were set aside as the day of the week on which detention facilities would be visited. On those Wednesdays that facilities were visited, each group was able to visit between four and six detention sites. Thus, between 28 and 42 sites could be visited each week. Over a period of weeks beginning August 21, 2024 and continuing until September 18, 2024, the Civil Grand Jury was able to physically 1 arrive at 128 detention locations, though not all could be visited. Some sites are no longer in use, and some are closed due to issues that preclude the housing of detainees for the present time. The table below lists the detention facilities and stations visited by the 2024-2025 Los Angeles County Civil Grand Jury. For the purpose of ease of reading, the table begins on the following page. Facility Agency Visited Date Visited 77th Street Community Station LAPD Yes 8/21/2024 7600 S Broadway Los Angeles, CA 90003 (323) 786-5075 Alfred J. McCourtney Juvenile Justice LASD Yes 8/28/2024 Center 1040 W Avenue J Lancaster, CA 93534 (661) 945-6354 Alhambra Courthouse LASD Yes 8/21/2024 150 W Commonwealth Ave Alhambra, CA 91801 (626) 293-2100 Alhambra Police Station City PD Yes 8/21/2024 211 1st St Alhambra, CA 91801 (626) 570-5151 Altadena Station LASD Yes 9/18/2024 780 E Altadena Drive Altadena, CA 91001 (626) 798-1131 Arcadia Police Station City PD Yes 8/28/2024 250 W Huntington Drive Arcadia, CA 91007 (626) 574-5151 Avalon Station LASD Yes 9/11/2024 215 Sumner Ave Avalon, CA 90704 (310) 510-0174 Azusa Police City PD Yes 8/28/2024 725 N Akaneda Ave Azusa, CA 91702 (626) 812-3200 Baldwin Park Police City PD Yes 9/4/2024 14403 E Pacific Ave Baldwin Park, CA 91706 (626) 960-1955 Barry J Nidorf Juvenile Hall LASD Yes 8/21/2024 16350 Filbert St Sylmar, CA 91342 (818) 364-2011 Bell Gardens Police City PD Yes 9/4/2024 7100 Garfield Ave Bell Gardens, CA 90201 (562) 806-7700 3 Facility Agency Visited Date Visited Bell Police City PD Yes 8/28/2024 6326 Pine Ave Remodel in Bell, CA 90201 process (323) 585-1245 Bellflower Courthouse LASD Yes 8/21/2024 10025 Flower St Bellflower, CA 90706 (562) 345-3300 Beverly Hills Courthouse LASD Not in Use 8/21/2024 9555 Burton Way #191 Beverly Hills, CA 90210 (310) 288-1279 Beverly Hills Police City PD Yes 8/28/2024 464 N Rexford Drive Beverly Hills, CA 90210 (310) 550-4951 Burbank Courthouse LASD Yes 9/11/2024 300 E Olive St Burbank, CA 91502 (818) 260-8498 Burbank Police Station City PD Yes 9/11/2024 200 N Third St Burbank, CA 91502 (818) 238-3333 Camp Clinton B Afflerbaugh Probation Yes 9/4/2024 6621 N Stephens Ranch Rd La Verne, CA 91750 (909) 593-4926 Camp Glenn Rockey Probation Yes 9/18/2024 1900 Sycamore Canyon San Dimas, CA 91773 (909) 599-2391 Camp Joseph Paige Probation Yes 9/4/2024 6601 Stephens Ranch Rd La Verne, CA 91750 (909) 593-4921 Camp Vernon Kilpatrick Probation Yes 9/4/2024 427 S Encinal Canyon Rd Malibu, CA 90265 (818) 899-1353 Carson Station LASD Yes 8/21/2024 21356 S Avalon Blvd Carson, CA 90745 (310) 485-3294 4 Facility Agency Visited Date Visited Central Arraignment Courthouse LASD Yes 9/11/2024 429 Bauchet St Los Angeles, CA 90012 (213) 974-6068 Central Community Station LAPD Yes 9/11/2024 215 E 6th St Los Angeles, CA 90014 (213) 486-6606 Central Juvenile Hall LASD No 1605 Eastvale Ave Closed Los Angeles, CA 90033 (323) 226-8611 Century Regional Correction Facility LASD Yes 8/28/2024 11705 S Alameda St 9/4/2024 Lynwood, CA 90262 (323) 568-4500 Cerritos Station LASD Yes 8/21/2024 18135 Bloomfield Ave Cerritos, CA 90703 (562) 860-0044 City of Industry LASD Yes 9/18/2024 150 N Hudson St City of Industry, CA 91744 (626) 330-3322 Clara Shortridge-Foltz Criminal Justice LASD Yes 9/11/2024 Center 210 W Temple St Los Angeles, CA 90012 (213)628-7900 Claremont Police City PD Yes 9/4/2024 570 W Bonita Ave Claremont, CA 91711 (909) 399-5411 Compton Courthouse LASD Yes 8/28/2024 200 W Compton Blvd Compton, CA 90220 (310) 761-4300 Covina Police Department City PD Yes 9/4/2024 444 N Citrus Ave Covina, CA 91733 (626) 331-3391 Crescenta Valley Station LASD Yes 9/18/2024 4554 N Briggs Ave La Crescenta, CA 91214 (818) 248-3464 5 Facility Agency Visited Date Visited Culver City Police City PD Yes 8/21/2024 4040 Duquesne Ave Culver City, CA 90232 (310) 253-6208 Devonshire Community Station LAPD Yes 8/28/2024 10250 Etiwanda Ave Northridge, CA 91325 (818) 832-0622 Dodger Stadium Security Office LAPD Yes 9/11/2024 1000 Elysian Park Los Angeles, CA 90012 (323) 224-2611 Dorothy Kirby Center LASD Yes 9/18/2024 1500 S McDonnell Ave Los Angeles, CA 90022 (323) 981-4301 Downey Courthouse LASD Yes 8/21/2024 7500 Imperial Hwy Downey, CA 90242 (562) 658-0500 Downey Police City PD Yes 8/21/2024 10911 Brookshire Drive #2700 Downey, CA 91502 (562) 861-0771 East Los Angeles Courthouse LASD Yes 9/11/2024 4848 Civic Center Way Los Angeles, CA 90022 (323) 780-2025 Ed Edelman Children’s Court LASD Yes 9/4/2024 201 Centre Plaza Drive #2700 Monterey Park, CA 91754 (323) 307-8098 El Monte Courthouse LASD Yes 8/21/2024 11234 E Valley Blvd El Monte, CA 91731 (626) 401-2298 El Monte Police City PD Yes 8/21/2024 11333 Valley Blvd El Monte, CA 91731 (626) 580-2100 El Segundo Police Station City PD Yes 8/21/2024 348 Main St El Segundo, CA 90245 (310) 524-2200 6 Facility Agency Visited Date Visited Foothill Community Station LAPD Yes 8/21/2024 12670 Osborne St Pacoima, CA 91331 (818) 756-8861 Gardena Police City PD Yes 8/21/2024 1718 162nd St Gardena, CA 90247 (310) 217-9670 George Deukmejian Courthouse LASD Yes 9/4/2024 275 Magnolia Ave Long Beach, CA 90802 (562) 256-3100 Glendale Courthouse LASD Yes 8/28/2024 600 E Broadway Ave Glendale, CA 91206 (818) 265-6400 Glendale Police City PD Yes 8/28/2024 131 N Isabel St Glendale, CA 91206 (818) 548-4840 Glendora Police City PD Yes 8/28/2024 150 S Glendora Ave Glendora, CA 91741 (626) 914-8250 Harbor Community Station LAPD Yes 8/28/2024 2175 John Gibson Blvd San Pedro, CA 90731 (310) 726-7700 Hawthorne Police Station City PD Yes 8/21/2024 12501 Hawthorne Blvd Hawthorne, CA 90250 (310) 675-4444 Hermosa Beach Police City PD Yes 8/21/2024 540 Pier Ave Hermosa Beach, CA 90254 (310) 318-0360 Hollenbeck Community Station LASD Yes 9/11/2024 2111 E 1st St Los Angeles, CA 90033 (323) 342-4100 Hollywood Community Station LAPD Yes 9/11/2024 1358 Wilcox Ave Los Angeles, CA 90028 (213) 972-2971 7 Facility Agency Visited Date Visited Huntington Park Police Station City PD Yes 8/28/2024 6542 Miles Ave Huntington Park, CA 90255 (323) 584-6524 Inglewood Courthouse LASD Yes 8/28/2024 1 E Regent St Inglewood, CA 90301 (310) 419-5132 Inglewood Juvenile Court LASD Yes 8/28/2024 110 E Regent St Inglewood, CA 90301 (310) 419-5255 Inglewood Police Department City PD Yes 8/28/2024 1 W Manchester Ave Inglewood, CA 90301 (310) 412-5211 Inmate Reception Center LASD Yes 9/11/2024 450 Bauchet St Los Angeles, CA 90012 (213) 893-5875 Irwindale Police Station City PD Closed 8/28/2024 505 N Irwindale Ave Irwindale, CA 91706 (626) 430-2244 LA County Fairgrounds Holding Facility Pomona No 9/4/2024 101 W McKinley Ave PD Seasonally Pomona, CA 91768 Open? La Verne Police Department City PD Storage 9/4/2024 2061 3rd St Only? La Verne, CA 91750 (909) 596-1913 LA General Hospital Jail Ward LASD Yes 9/11/2024 2051 Marengo St Los Angeles, CA 90033 (323) 409-1000 Lakewood Police Station LASD Yes 8/21/2024 5130 N Clark Ave Lakewood, CA 90712 (562) 623-3500 Lancaster Sheriff’s Station LASD Yes 8/28/2024 501 W Lancaster Blvd Lancaster, CA 93534 (661) 948-8466 8 Facility Agency Visited Date Visited LAX Courthouse LASD Yes 8/21/2024 11701 S La Cienega Blvd Los Angeles, CA 90045 (310) 725-3000 Lomita Station LASD Yes 8/28/2024 26123 Narbonne Ave Lomita, CA 90717 (310) 539-1661 Long Beach Police Department City PD Yes 9/4/2024 400 W Broadway Long Beach, CA 90802 (562) 570-7260 Los Angeles Airport Police Facility Airport Yes 8/28/2024 9160 Loyola Blvd PD Los Angeles, CA 90045 (424) 646-6100 Los Padrinos Juvenile Hall LASD Yes 8/21/2024 7285 Quill Drive Downey, CA 90242 (562) 940-8681 Lost Hills Station LASD Yes 8/28/2024 27050 Agoura Rd Calabasas, CA 91301 (818) 878-1808 Manhattan Beach Police Facility City PD Yes 8/21/2024 420 15th St Manhattan Beach, CA 90266 (310) 802-5140 Marina Del Rey Station LASD Yes 8/21/2024 13851 Fiji Way Marina Del Rey, CA 90292 (310) 482-6000 Men’s Central Jail LASD Yes 9/11/2024 441 Bauchet St Los Angeles, CA 90012 (213) 974-4921 Mental Health Courthouse LASD Yes 9/11/2024 5925 Hollywood Blvd Los Angeles, CA 90028 (323) 441-1898 Metropolitan Courthouse LASD Yes 9/11/2024 1945 S Hill St Los Angeles, CA 90007 (213) 745-3202 9 Facility Agency Visited Date Visited Metropolitan Detention Center LAPD Yes 9/11/2024 180 N Los Angeles St Los Angeles, CA 90012 (213) 485-0439 Michael D Antonovich Antelope Valley LASD Yes 8/28/2024 Courthouse 42011 4th St Lancaster, CA 93534 (661) 974-7200 Mission Hills Community Station LAPD Yes 8/28/2024 11121 N Sepulveda Blvd Mission Hills, CA 91345 (818) 838-9800 Monrovia Police City PD Yes 8/28/2024 140 E Lime Ave Monrovia, CA 91016 (626) 256-8000 Monterey Park Police City PD Yes 9/4/2024 320 W Newmark Ave Monterey Park, CA 91754 (662) 573-1311 Newton Community Station LAPD Station 8/28/2024 3400 S Central Ave Closed 9/11/2024 Los Angeles, CA 90011 Plumbing (323) 846-6547 Problems North County Correctional Facility LASD Yes 9/4/2024 29340 The Old Road Castaic, CA 91384 (661) 295-7810 North Hollywood Community Station LAPD Yes 9/4/2024 11640 Burbank Blvd North North Hollywood, CA 91601 (818) 623-4016 Northeast Community Station LAPD Yes 9/4/2024 3353 San Fernando Rd Los Angeles, CA 90065 (323) 561-3218 Norwalk Courthouse LASD Yes 9/4/2024 12720 Norwalk Blvd Norwalk, CA 90650 (562) 345-3700 Norwalk Station LASD Yes 9/4/2024 12335 Civic Center Drive Norwalk, CA 90650 (562) 863-8711 10 Facility Agency Visited Date Visited Olympic Community Station LAPD Yes 8/21/2024 1130 S Vermont Ave Los Angeles, CA 90006 (213) 382-9102 Pacific Community Station LAPD Yes 8/21/2024 12312 Culver Blvd Los Angeles, CA 90066 (310) 482-63334 Palmdale Sheriff’s Station LASD Yes 8/28/2024 750 East Ave Q Palmdale, CA 93550 (661) 272-2400 Palos Verdes Police City PD Yes 8/28/2024 340 Palos Verdes Drive Palos Verdes, CA 90274 (310) 378-4211 Pasadena Courthouse LASD Yes 8/28/2024 300 E Walnut St Pasadena, CA 91101 (626) 396-3300 Pasadena Police City PD Yes 8/28/2024 207 N Garfield Ave Pasadena, CA 91101 (626) 744-4501 Pico Rivera Station LASD Yes, 9/4/2024 6631 Passons Blvd Station Pico Rivera, CA 90660 Visited, (562) 848-2421 Jail Closed Pitchess Detention Center East Facility LASD Yes 9/4/2024 29330 The Old Road Castaic, CA 91384 (661) 295-7810 Pitchess Detention Center North Facility LASD Yes 9/4/2024 29320 The Old Road Castaic, CA 91384 (661) 295-8840 Pitchess Detention Center South Facility LASD Yes 9/4/2024 29330 The Old Road Castaic, CA 91384 (661) 295-8840 Pomona Courthouse LASD Yes 9/4/2024 400 W Mission Blvd Pomona, CA 91766 (909) 802-1100 11 Facility Agency Visited Date Visited Pomona Police City PD Yes 9/4/2024 490 W Mission Blvd Pomona, CA 91766 (909) 620-2155 Rampart Community Station LAPD Yes 8/21/2024 1401 W 6th Street Los Angeles, CA 90017 (213) 484-3400 Redondo Beach Police City PD Yes 8/28/2024 401 Diamond St Redondo Beach, CA 90277 (310) 379-2477 San Fernando Courthouse LASD Yes 8/21/2024 900 3rd Street San Fernando, CA 91340 (818) 256-1800 San Fernando Police City PD Yes 8/21/2024 910 1st Street San Fernando, CA 91340 (818) 898-1267 San Gabriel Police City PD Closed. 8/21/2024 625 Del Mar Ave San Gabriel, CA 91776 (626) 308-2828 San Marino Police City PD Yes 8/28/2024 2200 Huntington Drive San Marino, CA 91108 (626) 399-0720 Santa Clarita Courthouse LASD Yes 9/4/2024 23747 W Valencia Blvd Valencia, CA 91355 (661) 253-5600 Santa Clarita Sheriff’s Station LASD Yes 9/4/2024 26201 Golden Valley Road Santa Clarita, CA 91350 (661) 260-4000 Santa Clarita Valley Station LASD Yes 9/11/2024 23740 W Magic Mountain Pkwy Valencia, CA 91355 (661) 253-5699 Santa Monica Courthouse LASD Closed. 8/21/2024 1725 Main St #114 Santa Monica, CA 90401 (310) 260-3515 12 Facility Agency Visited Date Visited Santa Monica Police Station City PD Yes 8/21/2024 333 Olympic Dr. Santa Monica, CA 90401 (323) 395-9931 Sierra Madre Police City PD Yes 8/28/2024 242 W Sierra Madre Blvd Sierra Madre, CA 91024 (626) 355-1414 Signal Hill Police City PD Yes 9/4/2024 2745 Walnut Ave Signal Hill, CA 90755 (562) 989-7200 South Gate Police City PD Yes 8/28/2024 8620 California Ave South Gate, CA 90280 (323) 563-5436 South Pasadena Police City PD Yes 8/28/2024 1422 Mission St South Pasadena, CA 91030 (626) 403-7270 Southwest Community Station LAPD Yes 8/21/2024 1546 Martin Luther King Jr Blvd Los Angeles, CA 90062 (213) 972-7828 Temple City Station LASD Yes 8/21/2024 8838 Las Tunas Drive Temple City, CA 91780 (626) 285-7171 Topanga Community Station LAPD Yes 8/28/2024 21501 Schoenborn St Canoga Park, CA 91304 (818) 756-4800 Torrance Courthouse LASD Yes 8/28/2024 825 Maple Ave Torrance, CA 90503 (310) 787-3700 Torrance Police City PD Yes 8/28/2024 3300 Civic Center Drive Torrance, CA 90503 (310) 328-3456 Twin Towers LASD Yes 9/11/2024 450 Bauchet St Los Angeles, CA 90012 (213) 893-5100 13 Facility Agency Visited Date Visited Van Nuys Community Station LAPD Yes 9/11/2024 6240 Sylmar Ave Van Nuys, CA 91401 (818) 374-9500 Van Nuys Courthouse West LASD Yes 9/11/2024 14400 Erwin St Mall Van Nuys, CA 91401 (818) 989-6900 West Hollywood Station LASD Yes 9/4/2024 780 N San Vicente Blvd West Hollywood 90089 (310) 855-8850 West LA Community Station LAPD Yes 8/21/2024 1663 Butler Ave Los Angeles, CA 90025 (310) 444-0702 West Valley Community Station LAPD Yes 8/28/2024 19020 Vanowen St Reseda, CA 91335 (818) 374-7611 Whittier Police City PD Yes 9/4/2024 13200 Penn St Whittier, CA 90602 (562) 567-9200 Wilshire Community Station LAPD Yes 8/21/2024 4861 W Venice Blvd Los Angeles, CA 90019 (213) 473-0476 14
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Hallazgos & Recomendaciones 3 hallazgos
F1: The tree canopy in Los Angeles County is unevenly distributed. There are far fewer trees in formerly redlined areas than in wealthier areas.
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F2: The City and County need more trees.
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F31: 1 ...................................................................................................... 59
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Recomendaciones adicionales 2

No vinculadas a hallazgos específicos.

R3: 1 The City and the County should plant more trees.
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R4: 1 ....................................................................................... 74
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