CL_AGN_220517_PC_AgendaPacket_F1.CALL TO ORDER
2.ROLL CALL
3.PLEDGE OF ALLEGIANCE
4.APPROVE ORDER OF THE AGENDA
This is the appropriate time for the Chair or Commissioners to approve the agenda as is or reorder.
5.BLUE FOLDER ITEMS (SUPPLEMENTAL)
Blue folder items are additional back up material to administrative reports and/or public comments received after the
printing and distribution of the agenda packet for receive and file.
6.PUBLIC COMMENTS ON NON-AGENDA ITEMS
This section is intended to provide members of the public with the opportunity to comment on any subject that does not
appear on this agenda for action. Each speaker will be permitted to speak only once. Written requests, if any, will be
considered first under this section.
2 PORTUGUESE BEND ROAD
ROLLING HILLS, CA 90274
(310) 377-1521
AGENDA
Regular Planning Commission
Meeting
PLANNING COMMISSION
Tuesday, May 17, 2022
CITY OF ROLLING HILLS
6:30 PM
Executive Order N-29-20
This meeting is held pursuant to Executive Order N-29-20 issued by Governor Newsom on
March 17, 2020. All Planning Commissioners will participate by teleconference. Public
Participation: City Hall will be closed to the public until further notice.
A live audio of the Planning Commission meeting will be available on the City's website
(https://www.rolling-hills.org/PC%20Meeting%20Zoom%20Link.pdf).
The meeting agenda is also available on the City's website
(https://www.rolling-hills.org/government/agenda/index.php).
Join Zoom Meeting via https://us02web.zoom.us/j/99343882035?
pwd=MWZXaG9ISWdud3NpajYwY3dF bllFZz09
Meeting ID: 993 4388 2035 Passcode: 647943
Members of the public may submit comments in real time by emailing the City Clerk's office at
cityclerk@cityofrh.net. Your comments will become a part of the official meeting record. You
must provide your full name but do not provide any other personal information (i.e., phone
numbers, addresses, etc) that you do not want to be published.
1
7.CONSENT CALENDAR
Business items, except those formally noticed for public hearing, or those pulled for discussion are assigned to the
Consent Calendar. The Chair or any Commissioner may request that any Consent Calendar item(s) be removed,
discussed, and acted upon separately. Items removed from the Consent Calendar will be taken up under the "Excluded
Consent Calendar" section below. Those items remaining on the Consent Calendar will be approved in one motion. The
Chair will call on anyone wishing to address the Commission on any Consent Calendar item on the agenda, which has
not been pulled by Commission for discussion.
7.A.CONTINUATION OF REMOTE CITY COUNCIL AND COMMISSION MEETINGS
DURING THE MONTH OF MAY, 2022 PURSUANT TO THE REQUIREMENTS OF
AB 361.
RECOMMENDATION: Approve as presented.
7.B.APPROVE THE FOLLOWING MINUTES: APRIL 19, 2021, PLANNING
COMMISSION SPECIAL FIELD TRIP MEETING; APRIL 19, 2021, PLANNING
COMMISSION REGULAR MEETING
RECOMMENDATION: Approve as presented.
8.EXCLUDED CONSENT CALENDAR ITEMS
9.PUBLIC HEARINGS ON ITEMS CONTINUED FROM PREVIOUS MEETING
10.NEW PUBLIC HEARINGS
10.A.2021-2029 DRAFT ROLLING HILLS HOUSING ELEMENT AND RESPONSES TO
HCD'S COMMENTS
RECOMMENDATION: Accept public comment on the revisions to the Housing
Element and provide Commission feedback. The Commission is also asked
to recommend action on the document by the City Council (i.e., submittal of
the revised draft to HCD).
10.B.ZONING CASE 21-16: REQUEST FOR APPROVAL FOR A SITE PLAN REVIEW
FOR GRADING AND CONSTRUCTION OF A NEW RETAINING WALL;
CONDITIONAL USE PERMIT FOR A RECREATIONAL GAME COURT; AND
VARIANCE TO EXCEED THE MAXIMUM PERMITTED LOT DISTURBANCE FOR
A PROPERTY LOCATED AT 18 EASTFIELD DRIVE (LOT 69-A-EF) (RICH)
RECOMMENDATION: Adopt Resolution No. 2022-05 approving a Site Plan
Review for grading and construction of a new recreational game court,
retaining wall, hardscape, landscape, and appurtenant structures;
Conditional Use Permit for use of a recreational game court; and Variance to
exceed the maximum permitted lot disturbance in Zoning Case No. 21-16.
CL_MIN_220419_PC_FieldTrip_F.pdf
CL_MIN_220419_PC_F.pdf
A. April 11, 2022 Comment letter from HCD
B. May 9, 2022 City Responses to HCD Comments
C. Tracked Change Adoption Draft Housing Element
D. Clean Adoption Draft Housing Element
Vicinity Map - 18 Eastfield Dr.pdf
Development Table (ZC 21-16).pdf
Email from Sam Galletti 050922.pdf
RICH RESIDENCE - FINAL SUBMITTAL FOR PLANNING - reduced.pdf
2
10.C.ZONING CASE NO. 21-02: REQUEST FOR APPROVAL OF A SITE PLAN
REVIEW TO DEMOLISH AN EXISTING RESIDENCE AND CONSTRUCT A NEW
5,215-SQUARE-FOOT SINGLE-FAMILY RESIDENCE AND RELATED
IMPROVEMENTS; AND A VARIANCE TO CONSTRUCT A FIVE-FOOT-HIGH
RETAINING WALL IN THE SETBACK AREA AND CONDUCT NON-EXEMPT
GRADING ON A PROPERTY LOCATED AT 11 FLYING MANE ROAD (LOT 53-
SF), ROLLING HILLS, CA (NEVENKA LCC)
RECOMMENDATION:
Open the public hearing, discuss the item, direct the applicant and staff, and
continue the item to the June 21, 2022 regularly scheduled meeting.
10.D.ZONING CASE NO. 22-20: REQUEST FOR APPROVAL OF A SITE PLAN
REVIEW FOR CONSTRUCTION OF A 1,583-SQUARE-FOOT ADDITION AND
REMODEL TO AN EXISTING RESIDENCE, MAXIMUM FIVE-FOOT-HIGH
RETAINING WALLS, GRADING, AND OTHER IMPROVEMENTS; AND
VARIANCES TO CONSTRUCT IN THE FRONT YARD SETBACK AND FOR A
FIVE-FOOT-HIGH RETAINING WALL TO BE CONSTRUCTED IN THE SETBACK
AREA FOR A PROPERTY LOCATED AT 16 SOUTHFIELD DRIVE (LOT 33-SF),
ROLLING HILLS, CA (BURGOYNE)
RECOMMENDATION: Adopt Resolution No. 2022-06 approving Zoning Case
No. 22-20 for a Site Plan Review and Variance.
11.OLD BUSINESS
12.NEW BUSINESS
13.SCHEDULE FIELD TRIPS
14.ITEMS FROM STAFF
15.ITEMS FROM THE PLANNING COMMISSION
16.ADJOURNMENT
Next meeting: Tuesday, June 21, 2022 at 6:30 p.m. via teleconference.
Previously Approved Resolutions - 18 Eastfield Dr.pdf
Vicinity Map - 11 Flying Mane Rd.pdf
Development Table (ZC 21-02).pdf
11 Flying Mane - Initial Planning Submittal - 22 0314r.pdf
Vicinity Map - 16 Southfield Dr.pdf
Development Table (ZC 22-20).pdf
16 Southfield Drive_Combined Plan Set_2022.05.11(reduced).pdf
Notice:
In compliance with the Americans with Disabilities Act (ADA), if you need special assistance to participate in
this meeting due to your disability, please contact the City Clerk at (310) 377-1521 at least 48 hours prior to the
meeting to enable the City to make reasonable arrangements to ensure accessibility and accommodation for
your review of this agenda and attendance at this meeting.
3
Documents pertaining to an agenda item received after the posting of the agenda are available for review in
the City Clerk's office or at the meeting at which the item will be considered.
All of the above resolutions and zoning case items have been determined to be categorically exempt pursuant
to the California Environmental Quality Act (CEQA) Guidelines unless otherwise stated.
4
Agenda Item No.: 7.A
Mtg. Date: 05/17/2022
TO:HONORABLE CHAIR AND MEMBERS OF THE PLANNING
COMMISSION
FROM:CHRISTIAN HORVATH,
THRU:ELAINE JENG P.E., CITY MANAGER
SUBJECT:CONTINUATION OF REMOTE CITY COUNCIL AND COMMISSION
MEETINGS DURING THE MONTH OF MAY, 2022 PURSUANT TO THE
REQUIREMENTS OF AB 361.
DATE:May 17, 2022
BACKGROUND:
With the Governor ’s approval of AB 361, public agencies have been granted the continuing
ability to conduct virtual meetings during declared public health emergencies under specified
circumstances until January 1, 2024. Based on the requirements of AB 361, in order for the
City to hold virtual meetings, the Planning Commission needs to determine monthly that the
following conditions exist:
1) There continues to be a health and safety risk due to COVID-19 as a proclaimed state of
emergency with recommended measures to promote social distancing; and
2) Meeting in person during the proclaimed state of emergency would present imminent risks
to the health and safety of attendees.
The other requirements associated with continued virtual meetings are outlined in the text of
AB 361. The recommended action is for the Planning Commission to find that the following
conditions exist and that they necessitate remote Committee meetings for the coming month:
1) There continues to be a health and safety risk due to COVID-19 as a proclaimed state of
emergency with recommended measures to promote social distancing; and
2) Meeting in person during the proclaimed state of emergency would present imminent
risks to the health and safety of attendees. These findings will need to be made by the City
Council each month that the City opts to continue with remote meetings.
5
DISCUSSION:
None.
FISCAL IMPACT:
None.
RECOMMENDATION:
None.
ATTACHMENTS:
6
Agenda Item No.: 7.B
Mtg. Date: 05/17/2022
TO:HONORABLE CHAIR AND MEMBERS OF THE PLANNING
COMMISSION
FROM:CHRISTIAN HORVATH,
THRU:ELAINE JENG P.E., CITY MANAGER
SUBJECT:APPROVE THE FOLLOWING MINUTES:
APRIL 19, 2021, PLANNING COMMISSION SPECIAL FIELD TRIP
MEETING;
APRIL 19, 2021, PLANNING COMMISSION REGULAR MEETING
DATE:May 17, 2022
BACKGROUND:
None.
DISCUSSION:
None.
FISCAL IMPACT:
None.
RECOMMENDATION:
Approve as presented.
ATTACHMENTS:
CL_MIN_220419_PC_FieldTrip_F.pdf
CL_MIN_220419_PC_F.pdf
7
MINUTES – PLANNING COMMISSION MEETING
Tuesday, April 19, 2022
Page 1
Minutes
Rolling Hills Planning Commission
Tuesday, April 19, 2022
Field Trip Meeting 7:30 a.m.
8 Middleridge Lane South
1. CALL MEETING TO ORDER
The Planning Commission of the City of Rolling Hills met at 8 Middleridge Lane South on the above date at
7:33 a.m. Chair Brad Chelf presiding.
2. ROLL CALL
Commissioners Present: Cardenas, Cooley, Douglass, Vice Chair Kirkpatrick, Chair Chelf
Commissioners Absent: None
Staff Present: John Signo, Planning & Community Services Director
Melissa Flores, Administrative Clerk
Public Present: Ralph & Shari Cimmarusti, Criss Gunderson, Kim McCarthy,
Irene Keng, Steven & Mary Weinstein, Ron & Geri Becker
3. COMMENTS FROM THE PUBLIC ON ITEMS NOT ON THE AGENDA– NONE
4. FIELD TRIP
4.A. ZONING CASE NO. 21-10: REQUEST FOR APPROVAL FOR A MAJOR MODIFICATION TO A
SITE PLAN REVIEW FOR THE CONSTRUCTION OF A NEW 6,094-SQUARE-FOOT RESIDENCE,
4,491-SQUARE-FOOT BASEMENT, 987-SQUARE-FOOT ATTACHED GARAGE, COVERED
PORCHES, SWIMMING POOL AND SPA, 1,000-SQUARE-FOOT ACCESSORY DWELLING
UNIT, AND OTHER IMPROVEMENTS FOR A PROPERTY LOCATED AT 8 MIDDLERIDGE LANE
SOUTH (LOT 254 -UR), ROLLING HILLS, CA 90274 (CIMMARUSTI)
Presentation by John Signo, Planning & Community Services Director.
Criss Gunderson represented the owner.
Public Comment: Mary Weinstein, Steven Weinstein, Irene Keng, Geri Becker, Ralph Cimmarusti, Shari
Cimmarusti, Kim McCarthy
5. ADJOURNMENT: 7:55 A.M.
The meeting was adjourned at 7:55 a.m. to a regular meeting of the Planning Commission scheduled to be
held on Tuesday, April 19, 2022 beginning at 6:30 p.m. via tele-conference.
Respectfully submitted,
____________________________________
Christian Horvath, City Clerk
8
MINUTES – PLANNING COMMISSION MEETING
Tuesday, April 19, 2022
Page 2
Approved,
____________________________________
Brad Chelf, Chair
9
MINUTES – PLANNING COMMISSION MEETING
Tuesday, April 19, 2022
Page 1
Minutes
Rolling Hills Planning Commission
Tuesday, April 19, 2022
Regular Meeting 6:30 p.m.
Via tele-conference
1. CALL MEETING TO ORDER
The Planning Commission of the City of Rolling Hills met via teleconference on the above date at 6:33 p.m.
Chair Brad Chelf presiding.
2. ROLL CALL
Commissioners Present: Cardenas, Cooley, Douglass, Vice Chair Kirkpatrick, Chair Chelf
Commissioners Absent: None
Staff Present: John Signo, Planning & Community Services Director
Melissa Flores, Administrative Clerk
Jane Abzug, City Attorney
3. PLEDGE OF ALLEGIANCE
Planning & Community Services Director John Signo led the Pledge.
4. APPROVE ORDER OF THE AGENDA
Motion by Commissioner Douglas seconded by Commissioner Cooley to approve. Motion carried
unanimously with the following roll call vote:
AYES: Cardenas, Cooley, Douglass, Kirkpatrick, Chair Chelf
NOES: None
ABSENT: None
5. BLUE FOLDER ITEMS (SUPPLEMENTAL) – NONE
6. PUBLIC COMMENTS ON NON-AGENDA ITEMS – NONE
7. CONSENT CALENDAR
7.A. CONTINUATION OF REMOTE CITY COUNCIL AND COMMISSION MEETINGS DURING THE
MONTH OF APRIL 2022 PURSUANT TO THE REQUIREMENTS OF AB 361
7.B. APPROVE THE FOLLOWING MINUTES: MARCH 15, 2021, PLANNING COMMISSION SPECIAL
FIELD TRIP MEETING; MARCH 15, 2021, PLANNING COMMISSION REGULAR MEETING;
MARCH 15, 2021, TREES AND VIEWS COMMITTEE SPECIAL MEETING
Motion by Commissioner Cooley seconded by Commissioner Cardenas to approve. Motion carried
unanimously with the following roll call vote:
AYES: Cardenas, Cooley, Douglass, Kirkpatrick, Chair Chelf
NOES: None
ABSENT: None
8. EXCLUDED CONSENT CALENDAR ITEMS – NONE
9. PUBLIC HEARINGS ON ITEMS CONTINUED FROM PREVIOUS MEETINGS
10
MINUTES – PLANNING COMMISSION MEETING
Tuesday, April 19, 2022
Page 2
9.A. ZONING CASE NO. 21-11: REQUEST FOR APPROVAL OF A SITE PLAN REVIEW TO
CONSTRUCT A NEW 8,460 -SQUARE-FOOT RESIDENCE, 8,460-SQUARE-FOOT BASEMENT,
1,510-SQUARE-FOOT ATTACHED GARAGES, 4,120 SQUARE FEET OF COVERED PORCHES,
1,130-SQUARE-FOOT SWIMMING POOL AND SPA, 8,050-SQUARE-FOOT DRIVEWAY, AND
64,220 CUBIC YARDS OF GRADING, WHICH INCLUDES OVER-EXCAVATION AND RE-
COMPACTION, A CONDITIONAL USE PERMIT TO CONSTRUCT AN 800-SQUARE-FOOT
GUEST HOUSE AND 2,456-SQUARE-FOOT STABLE; AND A VARIANCE TO CONSTRUCT A
STABL E AND CORRAL IN THE FRONT YARD AND ALLOW A PORTION OF THE CORRAL TO
ENCROACH INTO THE FRONT YARD SETBACK LOCATED AT 23 CREST ROAD EAST (LOT
132A-MS), ROLLING HILLS, CA 90274 (WILLIAMS)
Item was pulled by staff.
10. NEW PUBLIC HEARINGS
10.A. ZONING CASE NO. 21-10: REQUEST FOR APPROVAL FOR A MAJOR MODIFICATION TO A
SITE PLAN REVIEW FOR THE CONSTRUCTION OF A NEW 6,094-SQUARE-FOOT RESIDENCE,
4,491-SQUARE-FOOT BASEMENT, 987-SQUARE-FOOT ATTACHED GARAGE, COVERED
PORCHES, SWIMMING POOL AND SPA, 1,000-SQUARE-FOOT ACCESSORY DWELLING
UNIT, AND OTHER IMPROVEMENTS FOR A PROPERTY LOCATED AT 8 MIDDLERIDGE LANE
SOUTH (LOT 254-UR), ROLLING HILLS, CA 90274 (CIMMARUSTI)
Presentation by John Signo, Planning & Community Services Director
Motion by Commissioner Cardenas seconded by Commissioner Kirkpatrick to adopt Resolution No. 2022-
04 approving the project as presented. Motion carried unanimously with the following roll call vote:
AYES: Cardenas, Cooley, Douglass, Kirkpatrick, Chair Chelf
NOES: None
ABSENT: None
11. OLD BUSINESS – NONE
12. NEW BUSINESS – NONE
13. SCHEDULED FIELD TRIPS – NONE
14. ITEMS FROM STAFF – NONE
15. ITEMS FROM THE PLANNING COMMISSION – NONE
16. ADJOURNMENT: 6:56 P.M.
The meeting was adjourned at 6:56 p.m. to a regular meeting of the Planning Commission scheduled to be
held on Tuesday, May 17, 2022 beginning at 6:30 p.m. via tele-conference.
Respectfully submitted,
____________________________________
Christian Horvath, City Clerk
11
MINUTES – PLANNING COMMISSION MEETING
Tuesday, April 19, 2022
Page 3
Approved,
____________________________________
Brad Chelf, Chair
12
Agenda Item No.: 10.A
Mtg. Date: 05/17/2022
TO:HONORABLE CHAIR AND MEMBERS OF THE PLANNING
COMMISSION
FROM:JOHN SIGNO, DIRECTOR OF PLANNING & COMMUNITY SERVICES
THRU:ELAINE JENG P.E., CITY MANAGER
SUBJECT:2021-2029 DRAFT ROLLING HILLS HOUSING ELEMENT AND
RESPONSES TO HCD'S COMMENTS
DATE:May 17, 2022
BACKGROUND:
State law requires all cities and counties in California to adopt a Housing Element as part of
their General Plans. The Housing Element must be updated every eight years and certified by
the State. Through the Housing Element, each jurisdiction must demonstrate that it is
accommodating its fair share of the region’s housing needs and taking proactive measures to
accommodate housing of all types for persons of all incomes. All cities and counties are
subject to this requirement, regardless of their size, physical constraints, or real estate market
characteristics.
The current Housing Element cycle (referred to as the “6 th Cycle”) extends from October 15,
2021 through October 15, 2029. To comply with State law, Rolling Hills must show that it has
the capacity to add 45 housing units during this period, including 29 that are affordable to low-
and very low-income households. The City is not required to build 45 housing units; rather, it
must demonstrate that it has created the opportunity for the private and non-profit sectors to
do so. There are numerous other Housing Element requirements, including a mandate to
affirmatively further fair housing, programs to remove government constraints to housing
development, and requirements to allow specific housing types (such as emergency shelters)
in every jurisdiction.
The City’s housing strategy is to meet its 45 unit Regional Housing Needs Allocation (RHNA)
through a combination of an affordable housing overlay zone on the Rancho Del Mar School
site (16 units) and the development of accessory dwelling units (ADUs—at a rate of roughly
five units a year). The City published its Draft 6th Cycle Element on December 3, 2021 and
circulated this draft for a State-mandated 30 day review period. The Planning Commission
convened a hearing on December 16, 2021 to discuss the Draft and provide an opportunity for
public comment during the 30-day period.
13
On January 10, 2022, the Rolling Hills City Council directed staff to submit a working draft of
the 2021-2029 Housing Element to the State Department of Housing and Community
Development (HCD) for their review. All California cities are required to have their documents
reviewed by HCD before adopting them. Once HCD receives the Draft, it has 90 days to issue
a “findings” letter indicating the revisions to the document that are needed to receive State
certification. Rolling Hills submitted its draft on January 11, 2022 and received its State
comments on April 11, 2022. The State indicated that the City had met many of the statutory
requirements but indicated the Element required revision before it could be certified. Their
findings letter requested 34 changes, some of which were specific and others that were more
generalized. The HCD comment letter is included as Attachment “A” of this staff report.
On April 22, 2022 City staff and its Housing Element consultant met with the HCD reviewer by
Zoom to go over the State’s comments. The reviewer provided guidance on how the City
could respond to some of the comments. The City then prepared written responses to each of
the 34 HCD comments. The City’s responses are included as Attachment “B” of this staff
report. Concurrently, the City revised the December Draft to incorporate all changes
requested by the State. Both a “tracked change” and “clean” copy were produced, making it
easier for City officials, the public, and State reviewers to see the changes between the two
documents. The new version of the document is referred to as the “Adoption Draft.” (the prior
version was referred to as the “HCD Draft).” The tracked change and clean versions are
included with this staff report and are referred to as Attachments C and D, respectively.
Commissioners should be aware that HCD has been much more stringent in its review of 6 th
Cycle Housing Elements than it has been during earlier cycles. Housing Elements for the
Southern California Association of Governments (SCAG) region, which consists of 190 cities
and six counties, were due on October 15, 2021. As of May 10, nearly seven months later,
only 13 of the 196 jurisdictions have received State certification. The status of Elements in the
SCAG region are as follows:
13 are certified
100 have been reviewed by HCD, revised, adopted, and then found out of compliance
22 are on their second drafts, after their first draft was found out of compliance
50 have yet to be adopted, but their first drafts have been found out of compliance
(Rolling Hills is in this group)
3 are awaiting HCD’s responses on their first drafts
8 have submitted nothing to HCD yet
DISCUSSION:
The City’s comment letter includes a two-page cover letter and an eight-page appendix. The
two-page cover letter is “standard” and is almost identical to what every other city has received
following HCD’s review of their initial draft. The letter reiterates the October 15, 2021 due
date, reminds the City that any zoning required to meet the RHNA must be completed by
October 15, 2022, and identifies the financial benefits of having a certified element (eligibility
for grants).
The “Appendix” to the Element lists HCD’s specific findings. It is organized according to the
requirements of the Government Code. The City’s Housing Element is similarly organized,
although the State’s “Affirmatively Furthering Fair Housing” AFFH requirements are covered in
an appendix. To facilitate responses to the State’s questions, the City’s consultant reviewed
14
responses from the 13 jurisdictions that have been found in compliance with Housing Element
law, as well as the edits made by these cities in response to HCD.
Comment 1 asked the City to document the effectiveness of its past efforts to help persons
with special needs. In response, the City has amended Chapter 2 to describe efforts to assist
seniors and facilitate “aging in place” through home retrofits.
Comments 2 through 6 address the AFFH analysis (Appendix A). HCD asked for additional
information on how the City complies with fair housing laws, additional tables and maps
comparing Rolling Hills to the region, additional explanation of how public input is reflected in
the Housing Element, and additional evidence that housing on the Rancho Del Mar site would
not result in the concentration of lower income people in a single area. Staff edited Appendix
A with responses to all of these comments. HCD is looking for a particular format that links
the AFFH analysis to the City’s policies and programs, and the City has provided that format
(see pages A-44 to A-47 in the tracked change version).
Comments 7, 8, and 9 address various aspects of the Needs Assessment. This is Chapter 3
of the Housing Element. HCD requested a projection of the future number of “extremely low
income households” in Rolling Hills and an analysis of how many lower income homeowners
and renters are paying more than 30% of their incomes on rent. They also asked for an
estimate of the number of substandard housing units in the city. Chapter 3 of the Element
was revised to address these requests.
Comments 10, 11, and 14 address Chapter 4, which is the Sites Inventory. Comment 10
questions the City’s ability to meet its lower income housing needs through ADUs, and
specifically asks for more data on the units that were approved in 2021. The City has
provided this data. Comment 11 reminds the City that it needs to enter its list of housing sites
in an on-line State data base (after adoption). Comment 14 asks the City to show that the 31-
acre Rancho Del Mar site is large enough to accommodate an emergency shelter, single room
occupancy hotel, and 16-unit affordable housing development. The City has responded to all
of these comments through edits to Chapter 4.
Comments 12, 13, and 15-17 address Chapter 5, which is the Constraints Analysis. Comment
12 asks for more detail on the parking requirements for emergency shelters, and the exact
wording of the city’s requirement than shelters must be 300 feet apart. Comment 13 reminds
the City that it must allow supportive and transitional housing in its residential zones under
state law (there is already a Program in the Housing Element to comply). Comment 15
indicates that the City’s ADU requirements need to be updated, but do not specify what needs
to change. The City has added a program to its Housing Element to update the standards.
Comment 16 reminds the City of its obligation to send the adopted Housing Element to water
and sewer service providers. Comment 17 asks for an analysis of dry utilities (gas and
electricity). The City has amended Chapter 5 to address Comments 12 and 17 and has
amended Chapter 6 to address Comments 13 and 15.
Comments 18-25 also address Chapter 5 (and to a lesser extent, Chapter 6). Comment 18
asks the City to provide more information on the development approval process, including the
site plan review process and approval findings. We have edited Chapter 5 (p 5-17) in
response. Comment 19 asks for more information on site improvement requirements
(specifically with respect to the Rancho Del Mar site). This has been added to P 5-18.
Comment 20 reminds the City that it must allow residential care facilities (group homes) under
15
State law. The City has added a program to Chapter 6 to meet this requirement. Comment
21 asks the City to explain its reasonable accommodation procedure. This has been added to
Page 5-13. Comment 22 asks the City to identify any other local ordinances that impact the
cost and supply of housing. We have added a new section (P 5-22) in response.
Comment 23 requests that the City confirm that it complies with AB 1483, which requires fee
information to be posted on line (it does). Comment 24 asks the City to create a written
procedure for SB 35 applications (we have added this as a new program in Chapter 6).
Comment 25 asks the City to add an analysis of the lag time between when projects are
approved and when they are actually constructed. This has been added to Chapter 5 (page 5-
24).
Comments 26-34 primarily relate to Chapter 6, which contains the City’s housing goals,
policies, and programs. Many of these comments are quite vague, as they simply say that
because the analysis in Chapters 2-5 did not address the issues in the earlier comments, the
State cannot confirm that the programs are adequate.
Comment 26 asks the City to assign timelines and metrics to some of its programs. The City
has done this through revisions to Chapter 6. Comment 27 is a global statement that indicates
the City may not have identified adequate sites. This is followed by more specific comments
on the Rancho Del Mar site (Comment 28) and ADUs (Comment 29). The City has asked the
City to provide more information supporting its plan to rely on these sites to meet its need for
29 lower income units. This includes a request to monitor ADU production and actively
facilitate development of the school site. Comment 30 links back to the earlier comment (13)
that a program is needed to allow supportive and transitional housing.
Comments 31 and 32 are general statements that additional programs might be needed to
address constraints and AFFH, but nothing specific is requested. The City has strengthened
its programs in response to earlier comments, effectively addressing these two comments.
Comment 33 is moot, since HCD retracted it after sending it. Comment 34 asks the City to
show how it has incorporated public input. Chapter 1 has been edited to provide a few
examples.
NEXT STEPS
The Planning Commission hearing on May 17 is an opportunity to discuss the HCD comments,
the City’s responses, and edits to the document. It is also an opportunity for public comment,
which is an important part of the Housing Element process. Any comments from the
Commission hearing will be relayed to the City Council, who will consider the Housing Element
at their meeting on May 23. The Commission may recommend specific actions to the Council
related to the contents of the document, the HCD comments, and the HCD review and
approval process.
On May 25, the Council will be asked to authorize re-submittal of the “Adoption Draft” to HCD.
Assuming this direction is provided, the document will be sent to HCD on May 26. State
comments are expected back in late July. At that time, HCD may find that the Element is
substantially in compliance due to the changes made by the City, or it may determine that
changes are still needed. If the latter occurs, the City expects a substantially smaller list of
objections. The City will meet with HCD again to discuss any remaining changes.
Following the second HCD review, the City will move ahead with Housing Element adoption.
16
A follow-up hearing with the Planning Commission and City Council will be required at that
time. An environmental review document will be adopted concurrently with the Element.
CALIFORNIA ENVIRONMENTAL QUALITY ACT (CEQA):
Amendment of the Housing Element is considered a Project under CEQA. The City had
initially planned a single CEQA document covering the Housing Element and Safety Element,
but this was bifurcated at the time the Safety Element was adopted in March 2022 due to
comments received from an agency to include mitigation measures that address potential
housing development described in the Housing Element. An amended CEQA document is
being prepared for the Housing Element that will consider mitigation measures to address the
concerns. Although the Housing Element was expected to be adopted in May 2022, it cannot
be adopted without an accompanying CEQA document. Staff will be preparing the amended
CEQA document and circulating it for public review. In the meantime, staff is recommending
that the Draft Element be sent to HCD for a second review. The amended CEQA document
will be issued and circulated when the Housing Element is being considered for adoption.
FISCAL IMPACT:
The Housing Element is a planning document that establishes policies for the City of Rolling
Hills and will not have a direct fiscal impact on the City. Certification of the Element provides
an indirect positive fiscal impact by reducing legal risks and qualifying the City for State
planning grants. The City was awarded $65,000 from HCD through the Local Early Action
Planning Grants Program (LEAP) to help fund the Housing Element. Remaining costs are paid
through the FY2021-2022 General Fund.
RECOMMENDATION:
Accept public comment on the revisions to the Housing Element and provide Commission
feedback. The Commission is also asked to recommend action on the document by the City
Council (i.e., submittal of the revised draft to HCD).
ATTACHMENTS:
A. April 11, 2022 Comment letter from HCD
B. May 9, 2022 City Responses to HCD Comments
C. Tracked Change Adoption Draft Housing Element
D. Clean Adoption Draft Housing Element
17
STATE OF CALIFORNIA - BUSINESS, CONSUMER SERVICES AND HOUSING AGENCY GAVIN NEWSOM, Governor
DEPARTMENT OF HOUSING AND COMMUNITY DEVELOPMENT
DIVISION OF HOUSING POLICY DEVELOPMENT
2020 W. El Camino Avenue, Suite 500
Sacramento, CA 95833
(916) 263-2911 / FAX (916) 263-7453
www.hcd.ca.gov
April 11, 2022
John F. Signo, Director
Planning & Community Services Department
City of Rolling Hills
2 Portuguese Bend Road
Rolling Hills, CA 90274
Dear John F. Signo:
RE: City of Rolling Hill’s 6th Cycle (2021-2029) Draft Housing Element
Thank you for submitting the City of Rolling Hill’s draft housing element received for
review on January 11, 2022. Pursuant to Government Code section 65585, subdivision
(b), the California Department of Housing and Community Development (HCD) is
reporting the results of its review.
The draft element addresses many statutory requirements; however, revisions will be
necessary to comply with State Housing Element Law (Article 10.6 of the Gov. Code.
The enclosed Appendix describes revisions needed to comply with State Housing
Element Law.
As a reminder, the City’s 6th cycle housing element was due October 15, 2021. As of
today, the City has not completed the housing element process for the 6th cycle. The
City’s 5th cycle housing element no longer satisfies statutory requirements. HCD
encourages the City to revise the element as described above, adopt, and submit to
HCD to regain housing element compliance.
For your information, pursuant to Assembly Bill 1398 (Chapter 358, Statutes of 2021), if
a local government fails to adopt a compliant housing element within 120 days of the
statutory deadline (October 15, 2021), then any rezoning to accommodate the regional
housing needs allocation, including for lower-income households, shall be completed no
later than one year from the statutory deadline. Otherwise, the local government’s
housing element will no longer comply with State Housing Element Law, and HCD may
revoke its finding of substantial compliance pursuant to Government Code section
65585, subdivision (i).
Public participation in the development, adoption and implementation of the housing
element is essential to effective housing planning. Throughout the housing element
process, the City should continue to engage the community, including organizations that
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John F. Signo, Director
Page 2
City of Rolling Hill’s 6th Cycle Draft Housing Element Page 2
April 11, 2022
represent lower-income and special needs households, by making information regularly
available and considering and incorporating comments where appropriate.
Several federal, state, and regional funding programs consider housing element
compliance as an eligibility or ranking criteria. For example, the CalTrans Senate Bill
(SB) 1 Sustainable Communities grant; the Strategic Growth Council and HCD’s
Affordable Housing and Sustainable Communities programs; and HCD’s Permanent
Local Housing Allocation consider housing element compliance and/or annual reporting
requirements pursuant to Government Code section 65400. With a compliant housing
element, the City meets housing element requirements for these and other funding
sources.
For your information, some general plan element updates are triggered by housing
element adoption. HCD reminds the City to consider timing provisions and welcomes
the opportunity to provide assistance. For information, please see the Technical
Advisories issued by the Governor’s Office of Planning and Research at:
http://opr.ca.gov/docs/OPR_Appendix_C_final.pdf and
http://opr.ca.gov/docs/Final_6.26.15.pdf.
HCD appreciates the hard work the City’s planning staff provided during the course of
our review. We are committed to assist the City in addressing all statutory requirements
of State Housing Element Law. If you have any questions or need additional technical
assistance, please contact Gianna Marasovich, of our staff, at
Gianna.Marasovich@hcd.ca.gov.
Sincerely,
Paul McDougall
Senior Program Manager
Enclosure
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City of Rolling Hill’s 6th Cycle Draft Housing Element Page 1
April 11, 2022
APPENDIX
CITY OF ROLLING HILLS
The following changes are necessary to bring the City’s housing element into compliance with
Article 10.6 of the Government Code. Accompanying each recommended change, we cite the
supporting section of the Government Code.
Housing element technical assistance information is available on HCD’s website at
http://www.hcd.ca.gov/community-development/housing-element/housing-element-memos.shtml.
Among other resources, the housing element section contains HCD’s latest technical assistance
tool, Building Blocks for Effective Housing Elements (Building Blocks), available at
http://www.hcd.ca.gov/community-development/building-blocks/index.shtml and includes the
Government Code addressing State Housing Element Law and other resources.
A. Review and Revision
Review the previous element to evaluate the appropriateness, effectiveness, and progress in
implementation, and reflect the results of this review in the revised element. (Gov. Code, §
65588 (a) and (b).)
The element must provide a cumulative evaluation of the effectiveness of past goals,
policies, and related actions in meeting the housing needs of special needs populations
(e.g., elderly, persons with disabilities, large households, female-headed households,
farmworkers, and persons experiencing homelessness).
B. Housing Needs, Resources, and Constraints
1. Affirmatively further[ing] fair housing in accordance with Chapter 15 (commencing with
Section 8899.50) of Division 1 of Title 2…shall include an assessment of fair housing
in the jurisdiction. (Gov. Code, § 65583, subd. (c)(10)(A).)
Enforcement and Outreach: The element must describe the City’s compliance with
existing fair housing laws and regulations. For additional information, please see
pages 28-30 on HCD’s AFFH Guidance Memo at https://www.hcd.ca.gov/community-
development/affh/index.shtml.
Regional Analysis: While the element generally describes some regional data, the
element must analyze Rolling Hills relative to the rest of the region regarding
integration and segregation (disability, familial status, and income), access to
opportunity (education, economic, and environmental), and disproportionate housing
needs (cost burdened, overcrowding, and homelessness).
Other Relevant Factors: The element must include other relevant factors that
contribute to fair housing issues in the jurisdiction. For instance, the element should
analyze historical land use, zoning, governmental and nongovernmental spending
including transportation investments, demographic trends, historical patterns of
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City of Rolling Hill’s 6th Cycle Draft Housing Element Page 2
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segregation, or other information that may have impeded housing choices and
mobility.
Sites Inventory: The element must identify sites throughout the community to foster
inclusive communities. While the element identifies and show sites and zoning
throughout the community, it also notes the plan to accommodate half of the regional
housing need for lower income households at the Palos Verdes Unified School District
(PVUSD). The element should discuss whether this strategy potentially isolates
housing need for lower income households and include actions as appropriate.
Goals, Actions, Metrics, and Milestones: Goals and actions must significantly seek to
overcome contributing factors to fair housing issues. Programs generally must
address enhancing housing mobility strategies; encouraging development of new
affordable housing in high resource areas; improving place-based strategies to
encourage community conservation and revitalization, including preservation of
existing affordable housing; and protecting existing residents from displacement.
Given that most of the City is considered a high and highest resource community (pg.
3-50), the element could focus on programs that enhance housing mobility and
encourage development of more housing choices and affordable housing. Programs
also need to be based on identified contributing factors, be significant and meaningful.
The element must add, and revise programs based on a complete analysis and listing
and prioritization of contributing factors to fair housing issues. Furthermore, the
element must include metrics and milestones for evaluating progress on programs,
actions, and fair housing results. For more information, please see HCD’s guidance at
https://www.hcd.ca.gov/community-development/affh/index.shtml.
2. Include an analysis of population and employment trends and documentation of
projections and a quantification of the locality's existing and projected needs for all
income levels, including extremely low-income households. (Gov. Code, § 65583,
subd. (a)(1).)
Extremely Low-Income Households: The element includes analysis regarding
extremely low-income (ELI) households such as the number of households and
overpayment but must also identify projected housing needs. The projected housing
need for ELI households can be calculated by using available census data to
determine the number of very low-income households that qualify as ELI households
or presume that 50 percent of the regional housing need allocation (RHNA) for very
low-income households qualify as ELI households. For additional information, see the
Building Blocks at http://www.hcd.ca.gov/community-development/building-
blocks/housing-needs/extremely-low-income-housing-needs.shtml.
3. Include an analysis and documentation of household characteristics, including level of
payment compared to ability to pay, housing characteristics, including overcrowding,
and housing stock condition. (Gov. Code, § 65583, subd. (a)(2).)
Overpayment: While the element identifies the total number of households overpaying
for housing, it must quantify and analyze the number of lower-income households
overpaying for housing by tenure (i.e., renter and owner).
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City of Rolling Hill’s 6th Cycle Draft Housing Element Page 3
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Housing Stock Condition: The element analyzed the age of the housing stock,
discussed code enforcement data, and stated that there are no code enforcement or
housing problems in the City. However, the element must estimate the number of units
in need of rehabilitation and replacement.
4. An inventory of land suitable and available for residential development, including
vacant sites and sites having realistic and demonstrated potential for redevelopment
during the planning period to meet the locality’s housing need for a designated income
level, and an analysis of the relationship of zoning and public facilities and services to
these sites. (Gov. Code, § 65583, subd. (a)(3).)
Progress in Meeting the RHNA – Accessory Dwelling Unit (ADUs): The element is
counting two ADUs as credit towards RHNA. First, the element must demonstrate the
availability of these units during the planning period. For example, the element could
discuss whether these units have pending or approved building permits. Second, the
element must demonstrate affordability based on actual or anticipated rents or other
mechanisms ensuring affordability (e.g., deed-restrictions).
Electronic Sites Inventory: For your information, pursuant to Government Code section
65583.3, the City must submit an electronic sites inventory with its adopted housing
element. The City must utilize standards, forms, and definitions adopted by HCD.
Please see HCD’s housing element webpage at https://www.hcd.ca.gov/community-
development/housing-element/index.shtml#element for a copy of the form and
instructions. The City can reach out to HCD at sitesinventory@hcd.ca.gov for
technical assistance.
Zoning for a Variety of Housing Types:
• Emergency Shelters: The element must demonstrate compliance with
emergency shelters parking requirements. Pursuant to AB 139 (Chapter 335,
Statutes of 2019) emergency shelters are only required to provide sufficient
parking to accommodate all staff working in the emergency shelter, provided
that the states do not requirement more parking for emergency shelters than
other residential or commercial uses within the same zone. Additionally, the
element states emergency shelters are not allowed to be within 300 ft from
each other; however, state law only allows a maximum of 300 ft separation
requirement. The element should describe compliance with these requirements
or include programs as appropriate.
• Permanent Supportive Housing: Supportive housing shall be a use by-right in
zones where multifamily and mixed uses are permitted, including nonresidential
zones permitting multifamily uses pursuant to Government Code section 65651.
The element must demonstrate compliance with this requirement and include
programs as appropriate.
• Emergency Shelters, Single Room Occupancy (SRO), and Multifamily Zoning:
The element identifies a 31-acre site with an overlay zone that will
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City of Rolling Hill’s 6th Cycle Draft Housing Element Page 4
April 11, 2022
accommodate the City’s lower-income RHNA, allow for emergency shelters by-
right, and SROs with a CUP. The element should discuss and analyze the
suitability of this site to accommodate these various housing types and the full
spectrum of the housing needs (beyond RHNA).
• Accessory Dwelling Units (ADU): After a cursory review of the City’s ordinance,
HCD discovered several areas which were not consistent with State ADU Law.
This includes but is not limited to restricting bedroom count and permitting
procedures, among others. HCD will provide a complete listing of ADU non-
compliance issues under a separate cover. As a result, the element should add
a program to update the City’s ADU ordinance in order to comply with state law.
For more information, please consult HCD’s ADU Guidebook, published in
December 2020, which provides detailed information on new state
requirements surrounding ADU development.
Water Sewer Priority: Water and sewer service providers must establish specific
procedures to grant priority water and sewer service to developments with units
affordable to lower-income households. (Gov. Code, § 65589.7.) Local governments
are required to immediately deliver the housing element to water and sewer service
providers. The element should discuss compliance with these requirements and if
necessary, add or modify programs to establish a written procedure by a date early in
the planning period. For additional information and sample cover memo, see the
Building Blocks at http://www.hcd.ca.gov/community-development/building-
blocks/other-requirements/priority-for-water-sewer.shtml.
Availability of Infrastructure: While the element describes infrastructure capacity to
accommodate the regional housing need, the element must also provide an analysis
on access to dry utilities for the sites identified in the inventory.
5. An analysis of potential and actual governmental constraints upon the maintenance,
improvement, or development of housing for all income levels, including the types of
housing identified in paragraph (1) of subdivision (c), and for persons with disabilities
as identified in the analysis pursuant to paragraph (7), including land use controls,
building codes and their enforcement, site improvements, fees and other exactions
required of developers, and local processing and permit procedures. The analysis
shall also demonstrate local efforts to remove governmental constraints that hinder the
locality from meeting its share of the regional housing need in accordance with
Government Code section 65584 and from meeting the need for housing for persons
with disabilities, supportive housing, transitional housing, and emergency shelters
identified pursuant to paragraph (7). Transitional housing and supportive housing shall
be considered a residential use of property, and shall be subject only to those
restrictions that apply to other residential dwellings of the same type in the same zone.
(Gov. Code, § 65583, subd. (a)(5).)
Processing and Permit Procedures: While the element included some information on
approving single family homes, the analysis should address the approval body, the
number of public hearings, if any, approval findings, and any other relevant
information such as any design review requirements. The analysis should address
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City of Rolling Hill’s 6th Cycle Draft Housing Element Page 5
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impacts on housing cost, supply, timing, and approval certainty. For example, the
element mentioned the requirement of a site plan review for any proposed
development, the use of conditional use permit for single room occupancy units, and
that City Council and Planning Commission take field trips to the proposed site as part
of the review process. The element should specifically identify timing, approval
findings, and criteria for approvals.
On/Off Site Improvements: While the element stated that specific parcels zoned for
multifamily such as the PVUSD site will require ingress and egress improvements (p.
5-23), the element should identify typical site improvement requirements, such as
minimum street widths (e.g., 40-foot minimum street width), and analyze their impact
as potential constraints on housing supply and affordability. For additional information
and a sample analysis, see the Building Blocks at http://www.hcd.ca.gov/community-
development/building-blocks/constraints/codes-and-enforcement-on-offsite-
improvement-standards.shtml.
Constraints on Housing for Persons with Disabilities:
• Group Homes for Seven or More: The element must discuss how the City
defines and permits group homes for seven or more persons. For your
information, excluding these uses from residential zones or subjecting the uses
to conditional use permits (CUP) is generally considered a constraint and
programs should be modified as appropriate with specific commitment to allow
the use in residential zones with objectivity and certainty.
• Reasonable Accommodation: While the element briefly describes its
reasonable accommodation procedures, it must describe the process and
decision-making criteria such as approval findings and analyze any potential
constraints on housing for persons with disabilities.
Other Local Ordinances: The element must analyze any locally adopted ordinances
that directly impacts the cost and supply or residential development (e.g., inclusionary
requirements, short term rentals, growth controls).
Zoning, Development Standards and Fees: The element must clarify compliance with
new transparency requirements for posting all zoning, development standards and
fees on the City’s website and add a program to address these requirements, as
necessary.
SB 35 Streamlined Ministerial Approval Process: The element must clarify whether
there are written procedures for the SB 35 (Chapter 366, Statutes of 2017)
Streamlined Ministerial Approval Process and add a program to address these
requirements, if necessary.
6. An analysis of potential and actual nongovernmental constraints upon the
maintenance, improvement, or development of housing for all income levels, including
the availability of financing, the price of land, the cost of construction, the requests to
develop housing at densities below those anticipated in the analysis required by
subdivision (c) of Government Code section 65583.2, and the length of time between
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City of Rolling Hill’s 6th Cycle Draft Housing Element Page 6
April 11, 2022
receiving approval for a housing development and submittal of an application for
building permits for that housing development that hinder the construction of a
locality’s share of the regional housing need in accordance with Government Code
section 65584. The analysis shall also demonstrate local efforts to remove
nongovernmental constraints that create a gap between the locality’s planning for the
development of housing for all income levels and the construction of that housing.
(Gov. Code, § 65583, subd. (a)(6).)
Approval Time: The element must analyze the length of time between receiving
approval for a housing development and submittal of an application for building
permits that potentially hinder the construction of a locality’s share of the regional
housing need.
C. Housing Programs
1. Include a program which sets forth a schedule of actions during the planning period,
each with a timeline for implementation, which may recognize that certain programs
are ongoing, such that there will be beneficial impacts of the programs within the
planning period, that the local government is undertaking or intends to undertake to
implement the policies and achieve the goals and objectives of the Housing Element
through the administration of land use and development controls, the provision of
regulatory concessions and incentives, and the utilization of appropriate federal and
state financing and subsidy programs when available. The program shall include an
identification of the agencies and officials responsible for the implementation of the
various actions. (Gov. Code, § 65583, subd. (c).)
To have a beneficial impact in the planning period and address the goals of the
housing element, programs must be revised with discrete timelines and specific
commitment. Several programs included various actions but still must include a
timeline for implementing each action including, Program 8 – Assist Senior and
Disabled Households, Program 9 – Assist Extremely Low-Income Households,
Program 12 – Facilitate Communication with Affordable Housing Service
Providers…Program 14 – Sewer Feasibility Studies and Phase One Construction,
Program 20 – Fair Housing Services Program Administration, Program 22 – Fair
Housing Training for Staff.
2. Identify actions that will be taken to make sites available during the planning period
with appropriate zoning and development standards and with services and facilities to
accommodate that portion of the city’s or county’s share of the regional housing need
for each income level that could not be accommodated on sites identified in the
inventory completed pursuant to paragraph (3) of subdivision (a) without rezoning, and
to comply with the requirements of Government Code section 65584.09. Sites shall be
identified as needed to facilitate and encourage the development of a variety of types
of housing for all income levels, including multifamily rental housing, factory-built
housing, mobilehomes, housing for agricultural employees, supportive housing, single-
room occupancy units, emergency shelters, and transitional housing. (Gov. Code, §
65583, subd. (c)(1).)
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As noted in Finding B4, the element does not include a complete site analysis;
therefore, the adequacy of sites and zoning was not established. Based on the results
of a complete sites inventory and analysis, the City may need to add or revise
programs to address a shortfall of sites or zoning available to encourage a variety of
housing types. In addition, the element must be revised, as follows:
Program 2 – Rancho Del Mar Opportunity Site Monitoring: The element identifies one
site to accommodate a portion of its lower-income RHNA. While the program includes
several actions such as subdividing the site, coordination with the school district,
technical assistance and incentives, the program does not commit to these actions nor
provide a date for when these actions will occur. Specifically, the element should
include timelines for various actions and include commitments to outreaching,
coordination, and establishing incentives that facilitate development on this site, as
mentioned in the program.
Program 6 – Accessory Dwelling Unit (ADU) Production, Monitoring, and Incentives:
The element heavily relies on ADUs to accommodate most of the City’s RHNA for all
income levels. Given the City’s assumptions for ADUs exceed recent trends, the
element should include a program to monitor permitted ADUs and affordability every
other year and take appropriate action such as adjusting assumptions or rezoning
within a specified time period (e.g., six months).
Zoning for a Variety of Housing Types: The element identifies Program 4 and 5
committing to provide a variety of housing types (e.g., SROs, transitional and
supportive housing, employee housing, etc.,) and address constraints for people with
disabilities. These actions were also identified in the last planning period but have not
been completed. HCD encourages the City to utilize HCD’s technical assistance
resources and model ordinances to ensure effective and efficient implementation.
Please see the Housing Hub Site: Housing Planning Hub Site (arcgis.com)
3. Address and, where appropriate and legally possible, remove governmental and
nongovernmental constraints to the maintenance, improvement, and development of
housing, including housing for all income levels and housing for persons with
disabilities. The program shall remove constraints to, and provide reasonable
accommodations for housing designed for, intended for occupancy by, or with
supportive services for, persons with disabilities. (Gov. Code, § 65583, subd. (c)(3).)
As noted in Finding(s) B5 and B6, the element requires a complete analysis of
potential governmental. Depending upon the results of that analysis, the City may
need to revise or add programs and address and remove or mitigate any identified
constraints.
4. Promote and affirmatively further fair housing opportunities and promote housing
throughout the community or communities for all persons regardless of race, religion,
sex, marital status, ancestry, national origin, color, familial status, or disability, and
other characteristics protected by the California Fair Employment and Housing Act
(Part 2.8 (commencing with Section 12900) of Division 3 of Title 2), Section 65008,
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City of Rolling Hill’s 6th Cycle Draft Housing Element Page 8
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and any other state and federal fair housing and planning law. (Gov. Code, § 65583,
subd. (c)(5).)
As noted in Finding B1, the element must include a complete analysis of affirmatively
furthering fair housing. Based on the outcome of that analysis, the element must add
or modify programs.
D. Quantified Objectives
Establish the number of housing units, by income level, that can be constructed,
rehabilitated, and conserved over a five-year time frame. (Gov. Code, § 65583, subd.
(b)(1 & 2).)
While the element does include quantified objectives (p. 6-20), it must be revised to
include quantified objectives for number of housing units that will be rehabilitated for low,
moderate, and above moderate households.
E. Public Participation
Local governments shall make a diligent effort to achieve public participation of all
economic segments of the community in the development of the Housing Element, and
the element shall describe this effort. (Gov. Code, § 65583, subd.(c)(9).)
While the element described various efforts to achieve public participation in the preparation of the
housing element update, it should also describe how comments were considered and
incorporated into the element.
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Revisions Made in Response to HCD Comments on Rolling Hills Draft 2021-2029 Housing Element Page 1
May 9, 2022
Revisions Made in Response to HCD Comments on 2021-2029 Rolling Hills Draft
Housing Element (HCD’s comments are numbered 1-34 in the left-hand margin)
A. Review of the Previous Element (Element Chapter 2)
The element must provide a cumulative evaluation of the effectiveness of past goals, policies, and
related actions in meeting the housing needs of special needs populations (e.g., elderly, persons with
disabilities, large households, female-headed households, farmworkers, and persons experiencing
homelessness).
City Response: A new section has been added to Page 2-4 to evaluate the cumulative effectiveness of
past goals, policies, and actions in meeting the needs of special needs populations. See Section 2.3.5 of
Adoption document.
B1. Needs Assessment/ Affirmatively Fair Housing (Appendix A: AFFH Analysis)
Enforcement and Outreach: The element must describe the City’s compliance with existing fair housing
laws and regulations.
City Response: This has been added to Appendix A: Affirmatively Furthering Fair Housing. Please see
page A-4, which lists various federal and state programs which the City implements and abides by. The
Element includes a number of programs to increase awareness of fair housing laws (Chapter 6).
Regional Analysis: While the element generally describes some regional data, the element must analyze
Rolling Hills relative to the rest of the region regarding integration and segregation (disability, familial
status, and income), access to opportunity (education, economic, and environmental), and
disproportionate housing needs (cost burdened, overcrowding, and homelessness).
City Response: Each of the listed items is covered below:
Disability. A map showing the percentage of disabled residents by Census tract was included in the prior
draft (Figure A-3), and an analysis was provided. This analysis has been expanded to more deeply
interpret the data shown on the map. The City has a higher percentage of disabled residents than many
surrounding tracts due to its higher median age (55). In general, health indicators for Rolling Hills
confirm the community’s designation as a high resource area. See Page A-10.
Familial Status: A map showing familial status by Census tract has been added (Figure A-4) and an
analysis of this map has been provided. See Page A-15.
Income: Maps of income by Census tract were included in the prior draft (formerly Figures A-4 and A-5,
renumbered A-5 and A-6), and an analysis was provided. The analysis has been expanded by adding a
new map (Figure A-7) showing a larger geographic area. An analysis of the map has been added on
pages A-12 and A-13.
1
2
3
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Revisions Made in Response to HCD Comments on Rolling Hills Draft 2021-2029 Housing Element Page 2
Access to Education: A map showing regional data on education was included in the previous draft
(formerly Figure A-9, now Figure A-11). Additional text has been added interpreting the data on the
map for Rolling Hills, surrounding cities, and nearby parts of the region. See Page A-23.
Economic Opportunities: A map showing regional economic opportunity data was included in the
previous draft (formerly Figure A-8, now Figure A-10). Additional text has been added interpreting the
data on the map for Rolling Hills, surrounding cities, and nearby parts of the region. See Page A-22.
Environmental Factors: A map showing environmental outcomes was included in the previous draft
(formerly Figure A-7, now Figure A-9). Additional text has been added interpreting the scores for Rolling
Hills, surrounding cities, and nearby parts of the region. See Page A-22.
Cost Burdened: Two maps showing cost burdened households in the region (one for owners and one for
renters) were included in the previous draft (formerly Figures A-11 and A-12, now renumbered as Figures
A-13 and A-14). Data on these maps has been described in more detail through revisions to the text. See
Pages A-30 and A-31.
Overcrowding: A map showing overcrowding was included in the previous draft (formerly Figure A-13,
now Figure A-15). Data on the map has been described in more detail through revisions to the text. See
Pages A-32 and A-33.
Homelessness: A new map has been added based on data from the County of Los Angeles. It shows the
density of the homeless population throughout the County, providing a regional perspective (see new
Figure A-17.) A new text section has been added to discuss the data. See Pages A-39 and A-40.
In HCD’s subsequent clarification to this comment (correspondence from Gianna Marasovich on 4/26 at
4:38 PM), it was suggested that the City add the tables on pages 75-78 of HCD’s AFFH Guidance Memo in
response to this comment. We have done this and inserted eight new tables into the AFFH analysis
(Appendix A), with data for 2010 and 2020 for Rolling Hills and Los Angeles County in each table, as
requested. These tables are found on pages A-6, 7, 11, 13, 20, 29, 31, and 32 (page references are to the
tracked changes version). We have also added narrative text that interprets the data.
Other Relevant Factors: The element must include other relevant factors that contribute to fair housing
issues in the jurisdiction. For instance, the element should analyze historical land use, zoning,
governmental and nongovernmental spending including transportation investments, demographic
trends, historical patterns of segregation, or other information that may have impeded housing choices
and mobility.
City Response: Please see Page A-41 (tracked change version). Additional data on land use, zoning,
infrastructure, and historical patterns is included, and a table has been added showing tenure by race.
Information on historical patterns of segregation is included in the section under “local knowledge” on
page A-42.
4
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Revisions Made in Response to HCD Comments on Rolling Hills Draft 2021-2029 Housing Element Page 3
Sites Inventory: The element must identify sites throughout the community to foster inclusive
communities. While the element identifies and show sites and zoning throughout the community, it also
notes the plan to accommodate half of the regional housing need for lower income households at the
Palos Verdes Unified School District (PVUSD). The element should discuss whether this strategy
potentially isolates housing need for lower income households and include actions as appropriate.
City Response: Please see Page A-43 (tracked change version). We have added a new section called
“Distribution of Proposed Housing Sites.” Given the City’s physical constraints and the small size of the
RHNA (29 lower income units), the City’s strategy to meet its regional housing need is practical,
responsive to economic conditions, and the most effective way to meet State AFFH objectives. As noted
in the text, this strategy combines a vacant, developable affordable housing site (Rancho Del Mar) with
scattered site ADUs. A single 16-unit affordable housing development plus 40 scattered site ADUs would
not result in the isolation of lower income households.
Goals, Actions, Metrics, and Milestones: Goals and actions must significantly seek to overcome
contributing factors to fair housing issues. Programs generally must address enhancing housing mobility
strategies; encouraging development of new affordable housing in high resource areas; improving place-
based strategies to encourage community conservation and revitalization, including preservation of
existing affordable housing; and protecting existing residents from displacement. Given that most of the
City is considered a high and highest resource community (pg. 3-50), the element could focus on
programs that enhance housing mobility and encourage development of more housing choices and
affordable housing. Programs also need to be based on identified contributing factors, be significant and
meaningful. The element must add, and revise programs based on a complete analysis and listing and
prioritization of contributing factors to fair housing issues. Furthermore, the element must include
metrics and milestones for evaluating progress on programs, actions, and fair housing results. For more
information, please see HCD’s guidance at https://www.hcd.ca.gov/community-
development/affh/index.shtml.
City Response: Text edited. See text on pages A-44 to A-47 (tracked change version). The discussion of
contributing factors and priorities has been substantially rewritten in response to this comment, and in
response to our review of recently certified elements that were deemed to comply with AB 686. We have
documented the four categories of programs that address contributing factors (enhancing mobility, new
affordable housing development in high resource areas, etc.); we have established priorities in two of
these areas; we have ranked these priorities 1, 2, and 3 (disparities in access to opportunity, fair housing
education and outreach, access for persons with disabilities), we have identified contributing factors in
each case, and we have identified the significant and meaningful actions that are included in Chapter 6
of the Housing Element addressing each contributing factor.
B2. Needs Assessment/ Documentation of projections and existing/projected needs for all
income levels (Element Chapter 3)
Extremely Low-Income Households: The element includes analysis regarding extremely low-income
(ELI) households such as the number of households and overpayment but must also identify projected
housing needs. The projected housing need for ELI households can be calculated by using available
census data to determine the number of very low-income households that qualify as ELI households or
presume that 50 percent of the regional housing need allocation (RHNA) for very low-income
households qualify as ELI households. For additional information, see the Building Blocks at
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Revisions Made in Response to HCD Comments on Rolling Hills Draft 2021-2029 Housing Element Page 4
http://www.hcd.ca.gov/community-development/building-blocks/housing-needs/extremely-low-
income-housing-needs.shtml.
City Response: This information was provided in our December 2021 draft on page 6-20 (Table 6-1). As
indicated there, the City used the CHAS data (consistent with the link cited by HCD above) to determine
that 35 percent of the City’s very low income households were extremely low income. We have edited
Chapter 3 so that this same data and conclusion is referenced there. Please see Page 3-33 for new text.
B3. Needs Assessment/ Analysis of Household Characteristics, Overpayment, Housing
Condition (Element Chapter 3)
Overpayment: While the element identifies the total number of households overpaying for housing, it
must quantify and analyze the number of lower-income households overpaying for housing by tenure
(i.e., renter and owner).
City Response: We have edited the document so that this information appears in two places. First,
please see Table A-7, which was added to Appendix A (Affirmatively Furthering Fair Housing) to compare
cost-burdens among extremely low income and low income renter and owner households in Rolling Hills
and Los Angeles County. A new Table also has been added to Chapter 3 showing overpayment for
housing by tenure among lower income households (see Page 3-17 of tracked change document, Table
3.11) along with supplemental narrative interpreting the table. This is based on CHAS HUD User data.
Housing Stock Condition: The element analyzed the age of the housing stock, discussed code
enforcement data, and stated that there are no code enforcement or housing problems in the City.
However, the element must estimate the number of units in need of rehabilitation and replacement.
City Response: Text edited. There are approximately 700 homes in Rolling Hills. City staff is aware of
five houses in need of rehabilitation and replacement. This has been documented and is now included on
Page 3-27 (tracked change version). This represents 0.8 percent of the city’s housing stock.
B4. Sites Inventory (Element Chapter 4)
Progress in Meeting the RHNA –The element is counting two ADUs as credit towards RHNA. First, the
element must demonstrate the availability of these units during the planning period. For example, the
element could discuss whether these units have pending or approved building permits. Second, the
element must demonstrate affordability based on actual or anticipated rents or other mechanisms
ensuring affordability (e.g., deed-restrictions).
City Response: Text edited. ADU permits were issued for the units in question on October 27, 2020 and
May 20, 2021 respectively. Both of these projects involve converting existing two-story stables (located
on two separate parcels about a mile apart) into ADUs of approximately 600 square feet each. Neither
of these units has a finaled building permit yet. Given the eight year timeframe of the Housing Element,
both units are expected to be completed before 2029.
These are market rate units. The assumption that they will be affordable to low income households is
based on the size of the units and the fact that they are being created by repurposing existing space
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Revisions Made in Response to HCD Comments on Rolling Hills Draft 2021-2029 Housing Element Page 5
rather than building new space, which presumably would cost more. Current HCD income limits for Los
Angeles County indicate that the upper end of the low-income range for a two-person household is
$75,700. At 30 percent of household income, monthly housing costs would need to be $1,892 to be
considered affordable. The City’s survey of comparable properties in 2021 found that ADUs of 400 to 600
square feet in the Palos Verdes Peninsula sub-market were renting for $900 to $1,800 per month. The
two new ADUs can be reasonably presumed to rent for comparable rates. Moreover, SCAG’s ADU survey
for Los Angeles County found that 60% of all ADUs in the coastal region could be presumed affordable to
lower income households. As these two ADUs are the smallest of the nine approved units that are listed
in the Housing Element (see Table 4-1), it is reasonable to presume they would fall in this range.
This information has been added to Chapter 4 (see Page 4-2).
Electronic Sites Inventory: Pursuant to Government Code section 65583.3, the City must submit an
electronic sites inventory with its adopted housing element. The City must utilize standards, forms, and
definitions adopted by HCD.
City Response: The City intends to comply with this requirement immediately following adoption and
concurrently with submittal to HCD, consistent with the Government Code.
Emergency Shelters: The element must demonstrate compliance with emergency shelters parking
requirements. Pursuant to AB 139 (Chapter 335, Statutes of 2019) emergency shelters are only required
to provide sufficient parking to accommodate all staff working in the emergency shelter, provided that
the states do not requirement more parking for emergency shelters than other residential or
commercial uses within the same zone [sic]. Additionally, the element states emergency shelters are not
allowed to be within 300 ft from each other; however, state law only allows a maximum of 300 ft
separation requirement. The element should describe compliance with these requirements or include
programs as appropriate.
City Response: Text edited, see Chapter 5 (P 5-11, tracked change version). The City’s emergency shelter
standards were reviewed by HCD in December 2020 and were determined to be legally compliant.
Rolling Hills does not require more parking for emergency shelter than for other residential and
commercial uses in this zone. This statement has been added to the text. The RDMO overlay is a
residential zone, and the parking standards for other uses (multi-family housing and SROs) in this zone
are based on the number of units and or bedrooms, which would be substantially higher than the
requirements for a shelter. The separation standard used by the City is consistent with State law and is
the same as the standard used by other jurisdictions with recently-certified Housing Elements. The
current standard would allow two shelters to be 300 feet apart, as required by the Government Code.
The wording in Chapter 5 has been amended for clarity. Please see Page 5-10 (tracked change version)
for these edits.
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Revisions Made in Response to HCD Comments on Rolling Hills Draft 2021-2029 Housing Element Page 6
Permanent Supportive Housing: Supportive housing shall be a use by-right in zones where multifamily
and mixed uses are permitted, including nonresidential zones permitting multifamily uses pursuant to
Government Code section 65651. The element must demonstrate compliance with this requirement and
include programs as appropriate.
City Response: Text edited, See Chapter 5 (P 5-12). The City acknowledges this requirement and intends
to comply with it. It was previously documented on Page 5-12 and also on Page 6-6, where there is a
Program to address it (Program 4). The program will be implemented within six months.
Emergency Shelters, Single Room Occupancy (SRO), and Multifamily Zoning: The element identifies a
31-acre site with an overlay zone that will accommodate the City’s lower-income RHNA, allow for
emergency shelters by-right, and SROs with a CUP. The element should discuss and analyze the
suitability of this site to accommodate these various housing types and the full spectrum of the housing
needs (beyond RHNA).
City Response: We have added text to Page 4-10 which highlights the findings of Appendix B.
Appendix B (included in the HCD Draft) demonstrates the suitability of this site for emergency shelters,
SROs, and multi-family housing. As a 31-acre property, the site has the capacity for any one of these
uses on its own, any combination of these uses, or all three uses (multi-family housing, SRO, and shelter),
either in a single development or in three entirely separate developments within the property. As
Appendix B notes, the parcel includes multiple subareas, some of which may be more conducive to
shelters and SROs and some of which may be better suited for multi-family housing.
Accessory Dwelling Units (ADU) (Addressed in Chapter 5): After a cursory review of the City’s
ordinance, HCD discovered several areas which were not consistent with State ADU Law. This includes
but is not limited to restricting bedroom count and permitting procedures, among others. HCD will
provide a complete listing of ADU non-compliance issues under a separate cover. As a result, the
element should add a program to update the City’s ADU ordinance in order to comply with state law.
For more information, please consult HCD’s ADU Guidebook, published in December 2020, which
provides detailed information on new state requirements surrounding ADU development.
City Response: Text edited. See Chapter 5 (P 5-7) As of May 9, 2022, the City has not received
supplemental correspondence from HCD regarding ADU non-compliance issues. However, the ADU
provisions in the Municipal Code were last updated in February 2020 and the City recognizes that State
ADU legislation has changed in the last two years. Accordingly, we have added a new Program to
Chapter 6 (see Program 6, new Program 6.10) to update the Municipal Code no later than October 15,
2022 to ensure that it complies with all current ADU regulations. This includes eliminating references to
the two-bedroom maximum and updating the permitting procedures so that they are compliant with
State law.
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Revisions Made in Response to HCD Comments on Rolling Hills Draft 2021-2029 Housing Element Page 7
Water Sewer Priority: Water and sewer service providers must establish specific procedures to grant
priority water and sewer service to developments with units affordable to lower-income households.
(Gov. Code, § 65589.7.) Local governments are required to immediately deliver the housing element to
water and sewer service providers. The element should discuss compliance with these requirements and if
necessary, add or modify programs to establish a written procedure by a date early in the planning period.
City Response: Text edited. See Chapter 1, page 1-8 (tracked change version). The following language
has been added. The City will follow through as described:
In addition, as required by SB 1087, the City sent an electronic copy of its Housing Element
to the appropriate water and sewer providers immediately after adoption. The document
was accompanied by a letter reminding these agencies they must have adopted written
policies and procedures that grant a priority for service hook-ups to developments that help
meet the community’s share of the regional need for lower-income housing.
Availability of Infrastructure: While the element describes infrastructure capacity to accommodate the
regional housing need, the element must also provide an analysis on access to dry utilities for the sites
identified in the inventory.
City Response: Text has been added to Chapter 5, P 5-29 (tracked change version). All of the housing
opportunity sites would be able to receive gas, electric, and telecommunication services if they are
developed. The Rancho Del Mar site currently has access to these services, as it is a former school.
B5. Constraints Analysis (Element Chapter 5)
Processing and Permit Procedures: While the element included some information on approving single
family homes, the analysis should address the approval body, the number of public hearings, if any,
approval findings, and any other relevant information such as any design review requirements. The
analysis should address impacts on housing cost, supply, timing, and approval certainty. For example,
the element mentioned the requirement of a site plan review for any proposed development, the use of
conditional use permit for single room occupancy units, and that City Council and Planning Commission
take field trips to the proposed site as part of the review process. The element should specifically
identify timing, approval findings, and criteria for approvals.
City Response: Text edited. See Chapter 5, P 5-17 and -18 (tracked change version). The City has
provided more information on the approval body for single family homes (Planning Commission), the
number of public hearings (minimum one hearing, plus one field trip, although more hearings typically
occur), and the approval findings (these are described in the text). Design review is conducted privately
by the RHCA, and is addressed as a non-governmental constraint on Pages 5-22 and 5-23. The text
concludes that the processing and permit procedures do not substantially affect the cost, supply, timing
or approval certainty for affordable units, ADUs, or multi-family housing, since these housing types are
permitted by right (provided they comply with the objective standards in the Municipal Code) and would
be exempt from these requirements. The text also documents the high rate of approval for site plan
review applications for single family homes. As the text notes, single family homes are typically multi-
million dollar construction projects requiring extensive grading and development on sites with geological
hazards and very high fire danger. The review process provides an important opportunity to address
public health and safety issues, respond to community concerns regarding construction, and establish
approval conditions where necessary.
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Revisions Made in Response to HCD Comments on Rolling Hills Draft 2021-2029 Housing Element Page 8
On/Off Site Improvements: While the element stated that specific parcels zoned for multifamily such as
the PVUSD site will require ingress and egress improvements (p. 5-23), the element should identify
typical site improvement requirements, such as minimum street widths (e.g., 40-foot minimum street
width), and analyze their impact as potential constraints on housing supply and affordability.
City Response: Text added. See Page 5-18 (tracked change version). Site improvement requirements are
documented in the previously submitted draft. The edited text confirms that there would be no special or
unique site improvement requirements imposed on the PVUSD site. Off-site improvements are not typically
required for new homes. Site improvements are associated with extension of electric service, installation of
a septic system, and conformance to lighting standards (there are no street lights). The newly added text
describes the site improvements specifically associated with subdivision of land, including street width
standards, and requirements to install on-site water and storm drainage systems and to dedicate
easements for gas and electric services. The text notes that all streets in Rolling Hills are private.
Constraints on Housing for Persons with Disabilities:
• Group Homes for Seven or More: The element must discuss how the City defines and permits group
homes for seven or more persons. For your information, excluding these uses from residential zones or
subjecting the uses to conditional use permits (CUP) is generally considered a constraint and programs
should be modified as appropriate with specific commitment to allow the use in residential zones with
objectivity and certainty.
City Response: Text added. See Page 5-14 (tracked change version). The City does not reference either
large or small group homes in its Municipal Code, and treats these uses the same as other residential
uses, as required by State law. The newly added text acknowledges that the absence of a definition and
explicit listing of large and small residential care facilities as a permitted use could be a constraint. We
have also added language to Program 4 (Chapter 6) calling for Code changes to add definitions or large
and small residential care facilities, and to list these as permitted uses as required by State law.
• Reasonable Accommodation: While the element briefly describes its reasonable accommodation
procedures, it must describe the process and decision-making criteria such as approval findings and
analyze any potential constraints on housing for persons with disabilities.
City Response: Text added. See Page 5-13 (tracked change version). As requested, we have added a
description of the process and decision-making criteria, including approval findings. No constraints have
been identified.
Other Local Ordinances: The element must analyze any locally adopted ordinances that directly impacts
the cost and supply or residential development (e.g., inclusionary requirements, short term rentals,
growth controls).
City Response: Text added. See Page 5-22 (tracked change version). We have added a new Section 5.2.9
called “Other Local Ordinances.” There are no other ordinances that directly affect the cost or supply of
housing in the city.
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Revisions Made in Response to HCD Comments on Rolling Hills Draft 2021-2029 Housing Element Page 9
Zoning, Development Standards and Fees: The element must clarify compliance with new transparency
requirements for posting all zoning, development standards and fees on the City’s website and add a
program to address these requirements, as necessary.
City Response: Text added. See Page 5-22 (tracked change version). The newly added Section 5.2.9 now
includes a summary of AB 1483, requiring the posting of the referenced information on the City’s website.
The analysis concludes that the City complies with the requirements. In addition, a new program has
been added to Chapter 6 to reorganize this information, including a dedicated landing page on ADUs.
SB 35 Streamlined Ministerial Approval Process: The element must clarify whether there are written
procedures for the SB 35 (Chapter 366, Statutes of 2017) Streamlined Ministerial Approval Process and
add a program to address these requirements, if necessary
City Response: Text added. See Page 5-22 (tracked change version). The newly added Section 5.2.9 now
also addresses the requirement to have written procedures for SB 35 projects. The revised Element now
includes a program to prepare written procedures for SB 35 projects and include them on the City’s website.
B6. Nongovernmental Constraints (Element Chapter 5)
Approval Time: The element must analyze the length of time between receiving approval for a housing
development and submittal of an application for building permits that potentially hinder the
construction of a locality’s share of the regional housing need.
City Response: We have added a new section 5.3.4 to the Element that addresses this issue. See Page 5-
24. This constraint is beyond the City’s control, but we acknowledge that inflated construction costs,
shortages of labor and materials, rising interest rates, and factors such as the COVID-19 pandemic, have
caused several property owners to postpone their plans, re-evaluate or redesign their projects, or sell
their properties. Please note that we have also expanded Program 6 to add a new Action relating to
follow-up communication with ADU permit recipients.
C. Programs (Element Chapter 6)
C1. Schedule of Actions
To have a beneficial impact in the planning period and address the goals of the housing element,
programs must be revised with discrete timelines and specific commitment. Several programs included
various actions but still must include a timeline for implementing each action including, Program 8 –
Assist Senior and Disabled Households, Program 9 – Assist Extremely Low-Income Households, Program
12 – Facilitate Communication with Affordable Housing Service Providers…Program 14 – Sewer
Feasibility Studies and Phase One Construction, Program 20 – Fair Housing Services Program
Administration, Program 22 – Fair Housing Training for Staff.
City Response: The comment references Programs 8, 9, 12, 14, 20, and 22. The following edits have been
made to Chapter 6 in response:
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Revisions Made in Response to HCD Comments on Rolling Hills Draft 2021-2029 Housing Element Page 10
• Program 8 currently includes a commitment to update the City’s website to add a dedicated
page with “senior resources” by June 2023. We have added a second timeline and commitment,
which is to convene a City Council study session before December, 2023 to discuss the needs of
seniors, in collaboration with the RHCA Needs of Seniors Committee and non-profit senior
organizations (such as Peninsula Seniors).
• Program 9 currently includes a commitment to establish a roster of ADUs offered to Extremely
Low Income (ELI) households by 2024. A new quantified objective and timeline has been added
to the Program, which is to facilitate assistance to 3 ELI homeowners by 2025.
• Program 12 currently includes a commitment to facilitate a meeting with affordable housing
service providers by December 2022. The Program has been modified to facilitate such a
meeting at least once a year during the planning period.
• Program 14 has a discrete timeline and specific commitment, which is to complete the Phase 1
project by 2024. The feasibility of future phases depends in the availability of grants. Additional
timeline and commitment data has been added to the program.
• Program 20 has been modified, as the City seeks to determine the costs and benefits of different
fair housing outreach and enforcement strategies. The program commits to a Fair Housing
outreach and enforcement strategy by the end of 2022, thus providing a discrete timeline and
specific commitment.
• Program 22 previously indicated a measurable objective of one staff training per year, starting in
2022. This has been reiterated through an edit to the text.
C2. Programs relating to Sites
As noted in Finding B4, the element does not include a complete site analysis; therefore, the adequacy
of sites and zoning was not established. Based on the results of a complete sites inventory and analysis,
the City may need to add or revise programs to address a shortfall of sites or zoning available to
encourage a variety of housing types. In addition, the element must be revised, as follows:
City Response: See responses to HCD comments numbered 10 through 17, as labeled in the left-hand
margins of this document. The City has provided additional analysis demonstrating that the identified
sites, which include the 31-acre RDMO site, vacant sites zoned for single family homes, and potential
ADUs, are adequate to meet the RHNA of 45 housing units. In response to HCD’s comments and the
supplemental analysis, we have also added Programs 6.10 and 6.11 to further improve the production of
ADUs and Program 23 to support SB 35 applications (see responses to comments 15, 24, and 25 above).
Program 2 – Rancho Del Mar Opportunity Site Monitoring: The element identifies one site to
accommodate a portion of its lower-income RHNA. While the program includes several actions such as
subdividing the site, coordination with the school district, technical assistance and incentives, the
program does not commit to these actions nor provide a date for when these actions will occur.
Specifically, the element should include timelines for various actions and include commitments to
outreaching, coordination, and establishing incentives that facilitate development on this site, as
mentioned in the program.
City Response: Text modified, see Chapter 6, Program 2 (P. 6-4 and 6-5 of tracked change version). We
have edited the program to provide a timeline for subdivision, coordinate with the school district and
prepare a fact sheet for the site, all of which will facilitate its development.
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Revisions Made in Response to HCD Comments on Rolling Hills Draft 2021-2029 Housing Element Page 11
Program 6 – Accessory Dwelling Unit (ADU) Production, Monitoring, and Incentives: The element
heavily relies on ADUs to accommodate most of the City’s RHNA for all income levels. Given the City’s
assumptions for ADUs exceed recent trends, the element should include a program to monitor
permitted ADUs and affordability every other year and take appropriate action such as adjusting
assumptions or rezoning within a specified time period (e.g., six months).
City Response: The Element is presuming five ADUs per year, which is a lower number of ADUs than
were permitted in 2021. The City has expanded Program 6.2 to add provisions for monitoring ADU
production, including taking action within six months in the event the number of ADUs approved is falling
short of the projected need during any calendar year. We have also added Program 6.11 to monitor
permitted ADUs to support their construction after they are approved.
Zoning for a Variety of Housing Types: The element identifies Program 4 and 5 committing to provide a
variety of housing types (e.g., SROs, transitional and supportive housing, employee housing, etc.,) and
address constraints for people with disabilities. These actions were also identified in the last planning
period but have not been completed. HCD encourages the City to utilize HCD’s technical assistance
resources and model ordinances to ensure effective and efficient implementation. Please see the
Housing Hub Site: Housing Planning Hub Site (arcgis.com)
City Response: Staff appreciates HCD’s references to the technical assistance and model ordinances and
will follow up on available resources. The City’s Fifth Cycle Element was certified in July 2021, and there
has been insufficient time to adopt all of the program recommendations in its first year while
concurrently completing the Sixth Cycle Element. As noted in the revised Program 4, the City intends to
adopt provisions for transitional and supportive housing, large and small residential care facilities, and
employee housing in its Municipal Code by July 2022. Program 5 addresses density bonuses and is
proposed for implementation by the end of 2022.
C3. Programs Relating to Constraints
As noted in Finding(s) B5 and B6, the element requires a complete analysis of potential governmental
(sic). Depending upon the results of that analysis, the City may need to revise or add programs and
address and remove or mitigate any identified constraints.
City Response: See responses to HCD’s numbered comments 12, 13, 15, 17, 18, 19, 20, 21, 22, 23, 24,
and 25, as labeled in the left-hand margins of this document. The City has now provided a complete
analysis of potential governmental constraints, as requested by HCD. Please note that as a result of the
additional analysis, we have expanded Programs 4 and 6 (see Chapter 6 in the tracked change version),
including the addition of new programs supporting ADU monitoring and development. We have also
added programs 23 and 24 related to SB 35 and AB 1483.
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Revisions Made in Response to HCD Comments on Rolling Hills Draft 2021-2029 Housing Element Page 12
C4. Programs Relating to AFFH
As noted in Finding B1, the element must include a complete analysis of affirmatively furthering fair
housing. Based on the outcome of that analysis, the element must add or modify programs.
City Response: See responses to HCD’s numbered comments 2 through 6, as referenced in the left-hand
margins of this document. The City has now provided a complete analysis of AFFH, as requested by HCD.
Please note that as a result of the additional analysis, pages A-44 to A-47 have been added to link the
AFFH priorities and contributing factors to the specific programs listed in Chapter 6.
D. Quantified Objectives
While the element does include quantified objectives (p. 6-20), it must be revised to
include quantified objectives for number of housing units that will be rehabilitated for low, moderate,
and above moderate households.
City Response: In an email from HCD’s Housing Policy Analyst Gianna Marasovich sent on April 27 (4:37
PM), we were advised that “we determined that Rolling Hills can disregard the Quantified Objectives
finding”. Accordingly, no edits have been proposed in response to this comment.
E. Public Participation
While the element described various efforts to achieve public participation in the preparation of the
housing element update, it should also describe how comments were considered and incorporated into
the element.
City Response: Text has been added to Page 1-8 indicating how comments were considered and
incorporated into the element. Several examples are provided, including the selection of the Rancho Del
Mar site for rezoning, the focus on accessory dwelling units as a strategy to meet the RHNA, and the
importance of programs to help seniors age in place, given the large number of older adults in the
community.
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CITY OF ROLLING HILLS
2021-2029
HOUSING ELEMENT
Adoption Draft
Published May 9, 2022
TRACKED CHANGES VERSION
40
As required by State law, an initial draft of this document (referred to as the
“HCD Draft”) was circulated for public comment and review for 30 days,
beginning on December 3, 2021. More than 30 local agencies and organizations
providing housing and related supportive services were notified and invited to
comment on the Draft.The Draft was also discussed at a Planning Commission
public hearing in December 2021 and a City Council hearing that occurred on
January 10, 2022. On January 10, the City Council authorized submittal of the
Draft to the California Department of Housing and Community Developlment
(HCD) for review. Under State law, HCD had 90 days to issue its findings.
Comments from the State Department of Housing and Community Development
(HCD) were received on April 11, 2022. City staff/consultants met with HCD to
review the comments on April 22, 2022. This “Adoption Draft” incorporates
revisions that directly respond to and address the HCD comments, A revised
document was issued on May 9, 2022. This document was made available for
two weeks prior to Council action on the document (seven days is required).
Once adopted, this document will be re-submitted to HCD, inclusive of any
changes made during Planning Commission and Council hearings (including
changes responding to public comments). HCD will then have 60 days to issue its
findings.
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ROLLING HILLS
HOUSING ELEMENT
2021-2029
Adoption Draft:
Tracked Change Version
CONTACT:
City of Rolling Hills
2 Portuguese Bend Road
Rolling Hills, CA 90274
Contact: John Signo, AICP
jsigno@cityofrh.net
Published May 9, 2022
All changes between the January 2022 version and the May 2022 version of
this document are highlighted in redlined (tracked changes) font
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ACKNOWLEDGMENTS
Rolling Hills City Council
James Black, M.D., Mayor
Bea Dieringer, Councilmember
Leah Mirsch, Councilmember
Jeff Pieper, Councilmember
Patrick Wilson, Councilmember
Rolling Hills Planning Commission
Brad Chelf, Chair
Greg Kirkpatrick, Vice-Chair
Sean Cardenas, Commissioner
Jana Cooley, Commissioner
Abby Douglass, Commissioner
City Staff
Elaine Jeng, P.E., City Manager
John Signo, Planning and Community Services Director
Michael Jenkins, City Attorney
Jane Abzug, Assistant City Attorney
Consultants
Barry Miller, Barry Miller Consulting
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i
FOREWORD
This document has been prepared to comply with the requirements of California Government
Code Sections 65580-65589, which mandate that all California cities and counties adopt a
Housing Element to address local and regional housing needs. The Housing Element is part
of the Rolling Hills General Plan and covers the time period 2021-2029. State law requires
that the Housing Element is updated every eight years and submitted to the State Department
of Housing and Community Development for certification.
Certification of the Housing Element is based on a determination that the City has complied
with a variety of State laws addressing regional issues such as affordability, fair housing,
density, housing type, overcrowding, and homelessness. These laws apply universally to all
cities, including those with limited services and land capacity.
As a community within the Greater Los Angeles region, the City of Rolling Hills is obligated to
provide for its “fair share” of regional housing needs as determined by the Southern
California Association of Governments. Cities without certified Housing Elements are subject
to legal and financial penalties, the loss of eligibility for grants which help fund City
operations, and even the potential loss of local control over building and land use decisions.
For these reasons, it is in the City’s best interest to strive for a compliant element.
In adopting this Element, the City has endeavored to balance State mandates with the
overarching goal of preserving the semi-rural, equestrian character of Rolling Hills. The
Housing Element responds to local as well as regional needs, including the need to preserve
the community’s environment, minimize further exposure to wildfire and landslide hazards,
and recognize infrastructure and public facility constraints.
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ii
Rolling Hills Housing Element
2021-2029
TABLE OF CONTENTS
Section Page
FOREWORD .................................................................................................................... i
TABLE OF CONTENTS .................................................................................................. ii
1. INTRODUCTION .............................................................................................. 1-1
1.1 Purpose ................................................................................................................... 1-1
1.2 Community Overview ............................................................................................ 1-2
1.3 Legislative Requirements ...................................................................................... 1-3
1.4 Relationship to Other General Plan Elements.................................................... 1-5
1.5 Relationship to Private Land Use Restrictions ................................................... 1-6
1.6 Public Participation and Project Timeline ........................................................... 1-6
1.7 Data Sources ........................................................................................................ 1-98
2. EVALUATION OF PRIOR HOUSING ELEMENT ............................................... 2-1
2.1 Purpose ................................................................................................................... 2-1
2.2 2014-2021 RHNA and Actual Housing Production ........................................... 2-1
2.3 Review of Prior Housing Element Goals and Policies ....................................... 2-2
2.4 Implementation Status of Prior Housing Element Programs ......................... 2-54
3. HOUSING NEEDS ASSESSMENT ................................................................... 3-1
3.1 Introduction ............................................................................................................. 3-1
3.2 Population Characteristics .................................................................................... 3-2
3.3 Household Characteristics ................................................................................... 3-9
3.4 Populations with Special Needs......................................................................... 3-17
3.5 Housing Stock Characteristics ........................................................................... 3-26
3.6 Future Housing Needs ...................................................................................... 3-332
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Section Page
4. HOUSING OPPORTUNITIES AND RESOURCESSITES ................................... 4-1
4.1 Introduction ............................................................................................................. 4-1
4.2 Approved or Pending Development .................................................................... 4-1
4.3 Vacant Sites ............................................................................................................ 4-2
4.4 Lot Splits ................................................................................................................. 4-6
4.5 Non-Vacant Sites ................................................................................................... 4-6
4.6 Accessory Dwellings ........................................................................................... 4-12
4.7 Summary of Ability to Meet RHNA .................................................................. 4-154
4.8 Opportunities for Energy Conservation .......................................................... 4-165
4.9 Financial Resources .......................................................................................... 4-187
5 CONSTRAINTS TO HOUSING PRODUCTION ................................................ 5-1
5.1 Introduction ............................................................................................................. 5-1
5.2 Governmental Constraints .................................................................................... 5-1
5.3 Non-Governmental Constraints ..................................................................... 5-2319
6 HOUSING GOALS, POLICIES, OBJECTIVES, AND PROGRAMS ................... 6-1
6.1 Goals and Policies ................................................................................................ 6-1
6.2 Housing Implementation Plan, 2021-2029 ......................................................... 6-4
6.3 Summary of 2021-2029 Quantified Objectives ............................................... 6-21
APPENDIX A:
Affirmatively Furthering Fair Housing (AFFH) Analysis ........................................................ A-1
Overview ........................................................................................................................ A-1
Duty of All Agencies to Affirmatively Further Fair Housing .................................... A-3
Integration and Segregation ..................................................................................... A-54
Access to Opportunity .......................................................................................... A-2214
Disproportionate Housing Needs .......................................................................... A-290
Other Relevant Factors .............................................................................................. A-41
Local Data and Knowledge .................................................................................. A-4227
Distribution of Proposed Housing Sites .................................................................. A-43
Identification and Prioritization of Contributing Factors ................................... A-4428
Summary of Fair Housing Issues and Additional Fair Housing Concerns ..... A-4930
APPENDIX B:
Analysis of Palos Verdes Unified School District (PVUSD) Site ......................................... B-1
APPENDIX C:
Accessory Dwelling Unit Survey Findings ............................................................................. C-1
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Figures Page
1.1 Vicinity Map ................................................................................................................. 1-21
4.1 Vacant Residentially Zoned Sites ............................................................................... 4-5
4.2 Non-Vacant Sites Evaluated ..................................................................................... 4-87
5.1 Slope Setbacks on PVUSD Site ................................................................................. 5-9
5.2 Landslide Hazard Areas in Rolling Hills ............................................................... 5-3127
5.3 Earthquake Faults in the Rolling Hills Vicinity ..................................................... 5-3228
5.4 CalFIRE Very High Fire Hazard Severity Zone ................................................... 5-3329
A-1 AFFH Percentage of Residents who are Non-White ............................................. A-86
A-2 AFFH Diversity Index ................................................................................................. A-97
A-3 AFFH Percentage of Residents with a Disability ................................................. A-108
A-4 Familial Status ............................................................................................................. A-15
A-54 Low Moderate Income (LMI) Areas ...................................................................... A-160
A-65 Median Income by Census Tract Block Group ................................................... A-171
A-7 Regional Income by Census Tract in Greater Los Angeles ................................. A-18
A-86 Racially and Ethnically Concentrated Areas of Poverty (R/ECAP) ................... A-192
A-97 Environmental Outcomes ..................................................................................... A-2516
A-108 Economic Outcomes ............................................................................................. A-2617
A-119 Education Outcomes ............................................................................................. A-2718
A-120 Composite Opportunity Map................................................................................ A-2819
A-131 Cost-Burdened Homeowners .............................................................................. A-3422
A-124 Cost-Burdened Renters ........................................................................................ A-3523
A-153 Incidence of Overcrowding .................................................................................. A-3624
A-146 Percent of Households with One or More Severe Housing Problems .......... A-3725
A-157 Sensitive Communities ......................................................................................... A-3826
A-18 Density of Homeless Population in 2020 in Los Angeles County ........................ A-40
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Tables
2.1 Implementation Status of 2014-2021 Housing Element Programs ........................ 2-54
3.1 Rolling Hills Population, 1970-2021 .............................................................................. 3-2
3.2 Comparison of Rolling Hills Growth with Nearby Cities and Region ........................ 3-3
3.3 Race and Ethnicity in Rolling Hills, Peninsula Cities, LA County, and State .......... 3-5
3.4 Rolling Hills Employed Residents by Occupation ....................................................... 3-8
3.5 Rolling Hills Employed Residents by Industry.............................................................. 3-8
3.6 Income Limits for Los Angeles County, 2021 ............................................................ 3-13
3.7 Affordable Monthly Housing Costs Based on 2021 Income Limits ........................ 3-13
3.8 Rolling Hills Households by HUD Income Category ................................................. 3-14
3.9 Household Income in Rolling Hills, Peninsula Cities, and LA County .................... 3-15
3.10 Percent of Income Spent on Housing in Rolling Hills and LA County .................... 3-16
3.11 Overpayment among Lower Income Households in Rolling Hills ........................... 3-17
3.112 Older Adults in Rolling Hills and Nearby Jurisdictions ...................................... 3-187
3.123 Percent of Rolling Hills Residents with a Disability ................................................... 3-20
3.143 Number of Persons in Family and Non-Family Household ...................................... 3-23
3.154 Homes for Sale in Rolling Hills, July 2021 ................................................................ 3-321
3.165 RHNA by City and Comparison to Fifth Cycle ......................................................... 3-332
3.167 Comparison of 6th Cycle RHNA by Income Category ............................................. 3-343
4.1 Committed Development for the 2021-2029 RHNA Period ....................................... 4-1
4.2 Vacant Residentially Zoned Sites .................................................................................. 4-3
4.3 Summary of Housing Opportunities, 2021-2029 .................................................... 4-154
5.1 Summary of Rolling Hills Zoning Standards ................................................................ 5-4
5.2 City of Rolling Hills Major Development Fees .......................................................... 5-197
6.1 Quantified Objectives by Income Group for Rolling Hills, 2021-2029 .................. 6-210
6.2 Housing Element Action Plan Summary................................................................... 6-220
A-1 Population Share by Race and Ethnicity, Rolling Hills and LA County .................... A-6
A-2 Percentage of Residents with a Disability, Rolling Hills and LA County .................. A-7
A-3 Population by Familial Status, Rolling Hills and LA County ..................................... A-11
A-4 Household Share by Income, Rolling Hills and LA County ...................................... A-13
A-5 Housing Units by Type, Rolling Hills and LA County ................................................ A-20
A-6 Housing Tenure in Rolling Hills and LA County ........................................................ A-29
A-7 Percentage of Cost-Burdened Households, Rolling Hills and LA County ............. A-31
A-8 Overcrowded Households, Rolling Hills and LA County .......................................... A-32
A-9 Rolling Hills Home Ownership Rates by Race and Ethnicity ................................... A-41
A-10 Fair Housing Priorities, Issues, Contributing Factors and Strategies ..................... A-47
Charts
3.1 Age Distribution of Rolling Hills Residents, 2000 and 2020....................................... 3-4
3.2 Racial Distribution of Rolling Hills Residents, 2000 and 2020 ................................... 3-4
3.3 Household Type in Rolling Hills and Los Angeles County, 2021 ............................ 3-10
3.4 Household Size in Rolling Hills and Other Jurisdictions, 2010 and 2021 .............. 3-11
3.5 Total Number of Housing Units in Rolling Hills, 1990-2020 ..................................... 3-26
3.6 Year of Construction for Rolling Hills Homes ............................................................ 3-27
3.7 Percent of Housing Units by Number of Bedrooms, Rolling Hills and LA County3-298
3.8 Home Prices in Rolling Hills, Peninsula Cities, and LA County ............................. 3-310
A-1 Summary of AB 686 Requirements ............................................................................ A-21
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Introduction Page 1-1
1.0 Introduction
1.1 Purpose
The purpose of the Housing Element is to ensure that a safe, decent supply of housing is
provided for current and future Rolling Hills residents. The Element strives to conserve existing
housing while providing opportunities for new housing serving a variety of income levels.
State law mandates that all municipal governments prepare and maintain a Housing Element as
a component of their General Plans. The following five sections are required:
1. Evaluation of the previous Housing Element
2. Assessment of local housing needs based on demographics, economic, and housing
conditions
3. Inventory of potential sites for housing development
4. Analysis of City regulatory framework related to housing development
5. Goals and policies for housing, coupled with specific action programs to be implemented
in the coming years.
In addition, the Element must demonstrate the steps the City is taking to promote fair housing
practices, and to proactively develop housing for all income groups. The Housing Element
describes how the City will provide for its fair share of the region’s housing needs over the eight-
year planning period (2021 to 2029). It identifies new programs to be implemented, along with
on-going programs that create housing opportunities in Rolling Hills.
The Housing Element is the only part of the General Plan that is subject to review and
certification by a State agency. Adopted Elements must be submitted to the California
Department of Housing and Community Development (HCD). HCD determines if the Element
meets the requirements of the California Government Code, which apply equally to all cities and
counties of the state regardless of the community’s size, physical constraints, or resources. A
compliance determination is important to maintain eligibility for State grants, avoid costly
lawsuits, and maintain local control over local land use and building decisions.
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Introduction Page 1-2
Figure 1.1: Vicinity Map
1.2 Community Overview
The city of Rolling Hills is a rural, equestrian residential community, consisting entirely of large
lot residential parcels of one acre or more. The community encompasses 2.99 square miles of
land (approximately 1,910 acres) on the Palos Verdes Peninsula in the County of Los Angeles
(Refer to Figure 1.1, Vicinity Map). The 2020 Census indicates a citywide population of 1,739
residents, making Rolling Hills the fifth smallest of the 88 cities in Los Angeles County.
The land use pattern in Rolling Hills was established in 1936 with the original subdivision and
sale of parcels. American landscape architect A.E. Hanson designed the community in the
1930s, establishing an historic Southern California design aesthetic that remains today, 85 years
later. Well-known architects like Cliff May and Wallace Neff designed some of the early homes,
contributing to the community’s historic context.
The entire city is characterized by single-story California ranch-style homes on large lots with
three-rail fences and equestrian facilities. There are three points of ingress and egress to the
city, each of which has a controlled entry gate. Rolling Hills was planned and conceived to
balance development with nature and respect the area’s rugged topography. The community
was laid out on hilly terrain, with narrow, winding roads traversing steep, wooded canyons.
Minimum lot size requirements were established to recognize the area’s many natural
constraints, including geologic hazards, wildfire, and sensitive biological resources.
Source: Google Maps, 2021
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Introduction Page 1-3
The natural landscape is characterized by steep slopes of 25 to 50 percent. Underlying this
terrain are ancient landslides, occasionally causing damage or even destroying property, roads,
and infrastructure. The City carefully regulates grading and earth movement to protect public
safety and minimize the potential for property damage. Geologic studies and grading
requirements also add to housing costs.
The entire city lies within a Very High Fire Hazard Severity Zone. This is the most constrained
designation used by the California Department of Forestry and Fire Protection (Cal Fire) and
requires restrictive construction standards such as the boxing in of eave projections and use of
construction materials approved by the California Fire Marshal. Professionally designed
landscaping meeting Fire Department fuel reduction standards (i.e., fire-resistant plants around
structures) also is required. Fire hazards are complicated by an aging water distribution system,
and the high cost of water system improvements on steep terrain.
Rolling Hills is also home to a number of sensitive plant and animal species, several of which are
listed or being considered for listing by the U.S. Department of Fish and Wildlife and/or the
California Department of Fish and Wildlife. These species include the Palos Verdes Blue
butterfly, the California Gnatcatcher, the Pacific Pocket Mouse, the San Diego Horned Lizard,
and Brackishwater Snail. The community is also underlain with blue-line streams that are under
the jurisdiction of the Army Corps of Engineers.
The City’s infrastructure is scaled to meet the needs of a mature, rural community with severe
natural hazards. Its water distribution system is designed for very low-density residential land
uses. Wastewater treatment generally occurs through private septic tanks. Only a few parcels
on the western periphery of the city have access to sanitary sewer. All roads in the community
are private and many were built 60 to 80 years ago before modern emergency vehicle
standards were in place.
Housing policies and programs in Rolling Hills reflect the city’s natural hazards, lack of
developable land, and infrastructure limitations. In the past, the City has complied with
Government Code housing requirements in ways that respond to these inherent physical
constraints. For example, Rolling Hills has adopted provisions for accessory dwelling units in all
of its zoning districts, permitted manufactured housing units, and created an affordable housing
overlay zone on its most developable land. Its policies also emphasize conservation and
maintenance of the existing housing stock, much of which is over 60 years old.
1.3 Legislative Requirements
The provision of adequate housing for families and individuals of all economic levels is an
important public goal and has been a focus for state and local governments for more than five
decades. Local governments have been required to prepare Housing Elements since 1969. The
required contents of the Element have expanded significantly over this time, in response to rising
housing costs, increasing competition for resources, and a growing population of individuals with
special needs that cannot be met by the private sector alone.
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Introduction Page 1-4
1.3.1 Government Code Requirements
State law requires each municipality to perform the
following tasks:
• Identify and analyze the current and projected
housing needs of all economic segments of the
community.
• Evaluate current and potential constraints to
meeting those needs, including constraints due
to the marketplace and those imposed by the
government.
• Promote and affirmatively further fair
housing opportunities and promote housing
throughout the community for all persons
regardless of race, religion, sex, marital
status, ancestry, national origin, color,
familial status, or disability.
• Inventory and assess the availability of land
suitable for residential use.
• Establish goals, objectives, policies and programs aimed at responding to identified housing
needs, market and governmental constraints, and housing opportunities.
1.3.2 Regional Housing Needs Allocation
As part of the Housing Element process, the State of California determines the total need for
housing in each region of California. For the 2021-2029 period, the State determined that the
need for the six county Southern California region was 1,341,827 housing units. The Southern
California Association of Governments (SCAG) is responsible for allocating this total to each of
the six counties and 191 cities in the SCAG area. This process is known as the Regional
Housing Needs Allocation (RHNA) and occurs every eight years.
SCAG calculates each city and county’s “fair share” of the regional need using a computer
model that weighs factors such as existing population and employment, growth potential,
proximity to transit, and social equity. For each jurisdiction, SCAG distributes the RHNA among
four different income groups. This ensures that each city or county is planning for housing that
meet the needs of all economic segments of the community, including lower income
households.
Each city in California is required to plan for its RHNA. This does not mean the cities must
acquire land or construct housing. Rather, it means that they must identify sites where the
RHNA can be accommodated and adopt policies and regulations which facilitate housing
construction on those sites. Ultimately, the responsibility for constructing housing falls to the
private market and non-profit housing developers. Cities are expected to assist by adopting
“The availability of housing is of
vital statewide importance, and
the early attainment of decent
housing and a suitable living
environment for every
Californian, including
farmworkers, is a priority of the
highest order. The early
attainment of this goal requires
the cooperative participation of
government and the private
sector in an effort to expand
housing opportunities and
accommodate the housing needs
of Californians of all economic
levels.”
California Government Code,
Section 65580
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Introduction Page 1-5
development standards that support housing at a variety of densities, providing technical
assistance and infrastructure, and adopting policies that encourage housing production,
conservation, and assistance to persons with special needs.
In Rolling Hills, the RHNA for 2021-2029 is 45 units. This includes 20 very low income units, 9
low income units, 11 moderate income units, and 5 above moderate income units.1 The 2021-
2029 Housing Element demonstrates that the City has the capacity to accommodate this
assignment.
1.3.3 HCD Review Authority and Compliance Requirements
Once the Housing Element is adopted, it is submitted to HCD to determine whether, in HCD’s
view, the Housing Element “substantially complies” with state Housing Element Law. HCD’s
compliance determination is based in part on a detailed checklist corresponding to specific
requirements set forth by the Government Code. Once certified, HCD still has the authority to
find a city out of compliance if it finds that city is taking actions that are inconsistent with its
Housing Element or failing to implement the programs listed in its Element.
Localities without an HCD-certified Housing Element are subject to a growing number of
penalties and potential risks. This includes litigation from housing organizations, developers,
and HCD itself. In addition to legal costs, potential consequences include suspension of local
control of building matters and court approval of housing development. Courts can also levy
costly fines on local governments and mandate streamlined and less rigorous approvals. Cities
also become ineligible for numerous state local funding programs, including those supporting
infrastructure and roads, as well as housing and planning.
1.4 Relationship to Other General Plan Elements
The Government Code requires internal consistency among the various elements of a General
Plan. Section 65300.5 of the Government Code states that “the General Plan and the parts and
elements thereof shall comprise an integrated and an internally consistent and compatible
statement of policies.”
The Rolling Hills General Plan contains the following six elements: 1) Land Use; 2) Housing; 3)
Circulation; 4) Open Space and Conservation; 5) Safety; and 6) Noise. The General Plan is
internally consistent, meaning that the policies in different elements complement and support
one another. The Housing Element reflects the policy direction provided by the other General Plan
elements. For example, it references the residential densities established in the Land Use
Element and the natural constraints identified in the Safety Element. The City amended its Land
Use Element in early 2021 to maintain consistency with its new Housing Plan. It is also adopted
a revised revising its Safety Element in March 2022 to comply with new provisions of the
Government Code that are triggered by amendments to the General Plan, including adoption of
a new Housing Element.
1 See Section 3.2.5 of this document for a definition of these income categories
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Pursuant to Government Code Section 65400, the City will annually review its progress in
implementing this Housing Element. This review will help ensure consistency between this
Element and the other General Plan Elements.
1.5 Relationship to Private Land Use Restrictions
Most of the developable property in Rolling Hills is subject to covenants, conditions, and
restrictions (CC&Rs) adopted by the Rolling Hills Community Association (RHCA), a non-profit
California Corporation and homeowners association. RHCA is governed by elected Rolling Hills
residents and oversees and enforces implementation of the CC&Rs. The CC&Rs run with each
property in perpetuity and cover all properties in the City except those listed below:
1. City Hall Complex
2. Tennis Court Facility
3. Palos Verdes Peninsula Unified School District property
4. Daughters of Mary and Joseph Retreat Center
CC&Rs represent private contractual obligations between homeowners and are usually
established at the time a subdivision or community is built. Development in Rolling Hills has
been governed by CC&Rs since the community was planned in the 1930s. The RHCA and the
CC&Rs were in force prior to the City’s incorporation, which occurred in 1957. The City of
Rolling Hills has no jurisdiction over the RHCA or the content or implementation of the CC&Rs.
The CC&Rs limit the density on most parcels in Rolling Hills to one residence per one-acre or
two-acre lot. In addition, any construction, remodel, or grading for a building, fence or structure
is required under the CC&Rs to adhere to traditional or California ranch and equestrian
architectural styles and aesthetics. The uses and purposes of all perimeter easements around
each property are required to be dedicated to the RHCA and maintained for the purposes of
ingress, egress, construction, and maintenance of all infrastructure constructed as roadways,
bridle trials, storm drains, utility access and drainage.
In some instances, State law may supersede the authority of CC&Rs. For example, AB 670 (Cal
Civil Code 4751—effective January 1, 2020) limits CC&Rs from placing unreasonable limitations
on accessory dwelling units (ADUs). To the greatest extent feasible, the programs in this
Housing Element reflect the requirements of State law while maintaining the integrity of the
CC&Rs. CC&Rs that directly conflict with State or Federal law are not enforceable.
1.6 Public Participation and Project Timeline
The City of Rolling Hills has made a diligent effort to engage the community in the Housing
Element update. The process was structured as a continuation of the previous (2014-2021)
Housing Element update, which included an initial phase in 2013-14 when the Element was
adopted and a second phase in 2020-2021 when the adopted Element was amended and
resubmitted to the State for a compliance determination. The 2020-2021 amendments
coincided with the Sixth Cycle engagement processes that were underway throughout Southern
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Introduction Page 1-7
California cities at that time. Although the focus of the 2020-2021 effort was on Fifth Cycle
compliance, the process provided an opportunity to engage the community in a broader
conversation about housing, the RHNA process, and new State requirements.
SCAG began the RHNA process for the Sixth Cycle in Fall 2019, exploring different
methodologies for allocating the regional need to individual cities and counties. As other cities
began work on their Sixth Cycle Elements, Rolling Hills was required to first amend its Fifth
Cycle Element to accommodate both the current (Fifth) cycle and the prior (Fourth) cycle
RHNA allocations due to its non-compliant status. The combined RHNA for the two cycles was
28 units. Accommodating this need meant that Rolling Hills was also required to amend its
General Plan and zoning to create additional housing capacity.
The City held a public hearing on the Housing Element on November 25, 2019. The meeting
focused on potential sites for rezoning and related development impacts. The meeting was
widely noticed through advertisements in the Palos Verdes Peninsula News, an announcement
in the City newsletter, posting at City Hall, and an email to the City’s interested parties list.
The Draft RHNA numbers were published in March 2020. Rolling Hills did not appeal its
allocation, instead focusing its efforts on continued outreach and engagement to certify the
Fifth Cycle Element and lay the groundwork for the Sixth Cycle. This outreach included nine
public hearings related to the Housing Element on the following dates:
• October 20, 2020 (Planning Commission)
• November 9, 2020 (City Council)
• December 22, 2020 (Planning Commission)
• January 25, 2021 (City Council)
• February 5, 2021 (Planning Commission)
• February 8, 2021 (City Council)
• February 22, 2021 (City Council)
• March 8, 2021 (City Council)
• March 16, 2021 (Planning Commission)
The outcome of these meetings included adoption of the Rancho Del Mar Overlay Zone, new
provisions for by-right affordable multi-family housing and emergency shelter, amendments to
the Land Use Element of the General Plan, and various changes to the Municipal Code to
facilitate housing production. On June 1, 2021, the Planning Commission recommended that
the City Council adopt the amended Fifth Cycle Housing Element. The Council took action on
June 14, 2021. The Element was submitted to HCD and found to be in compliance on July 7,
2021. As a result of the compliance determination, the City does not have to carry over its prior
allocation and may plan only for the 45 units identified in the Sixth Cycle RHNA.
In addition to the public hearings described above, staff conducted direct outreach to Rolling Hills
residents in 2020 and 2021 through newsletters, including a survey on Accessory Dwelling Units
(ADUs) administered to every household in the city. More than 30 percent of the city’s households
completed the survey, and a report on the findings was prepared (it is included as Appendix C to
this Element).
The City continued its public outreach efforts after adoption of the revised Element in July 2021.
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Introduction Page 1-8
A special session of the Planning Commission was convened on October 19, 2021 to provide an
overview of the Sixth Cycle Element and solicit input from the entire community. In addition,
public hearings on the HCD Draft Element were convened by the Planning Commission on
December 16, 2021 and by the City Council on January 10, 2022. In March 2022, the City
convened a public meeting on the Annual Progress Report, providing another opportunity for
public input on housing issues as well as an opportunity to evaluate progress in Housing
Element implementation. Additional public hearings were will be held on May 17 (Planning
Commission) and May 23 (City Council) after the document was is revised and presented for
adoption.
The City has endeavored to solicit input from all economic segments of the community,
including local renters as well as homeowners. It has also incorporated this input in the Housing
Element. In surveys and public hearings, the community generally supported the Rancho Del
Mar site as the preferred location for accommodating denser housing, and also supported
meeting the RHNA primarily through accessory dwelling units (ADU). Both of these concepts
are reflected in this document. Housing advocacy groups also provided letters to the City
encouraging ADU development, which helped shape Housing Element programs. In addition,
the community was especially concerned about the housing needs of older adults. Thus,
policies relating to special needs populations and lower income households focus on the needs
of seniors, particularly those who may need assistance with the maintenance of their homes and
properties, or adaptive changes to facilitate aging in place.
City staff has also engaged service providers, the development community, and partner
agencies such as the School District in the process. As a small community, most residents rely
on the City newsletter for information on local government affairs. The City has featured the
Housing Element in newsletter articles and encouraged residents to share their views on
proposed housing policies. Publication of the “HCD Review Draft” was announced in the City’s
newsletter during the first week of December 2021. More than 30 stakeholder organizations on
the Palos Verdes Peninsula, and in the South Bay, Los Angeles, and Long Beach regions were
notified of the document’s availability for 30-day review and comment. These agencies were
also notified when the document was brought back to the Planning Commission and City
Council for adoption.
In addition, as required by SB 1087, the City sent an electronic copy of its Housing Element to
the appropriate water and sewer providers immediately after adoption. The document was
accompanied by a letter reminding these agencies they must have adopted written policies and
procedures that grant a priority for service hook-ups to developments that help meet the
community’s share of the regional need for lower-income housing.
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1.7 Data Sources
The Housing Element is a data-driven document, with policies and programs that are based on
analyses of demographics, housing conditions, resource constraints, and forecasts. The primary
data sources consulted were:
• Rolling Hills General Plan, as amended
• Rolling Hills Municipal Code
• Southern California Association of Governments (SCAG) Final Regional Housing Needs
Allocation Plan, adopted March 4, 2021
• SCAG “pre-approved” Housing Element data set for Rolling Hills, 2020
• City of Rolling Hills Planning Department records (building permits, etc.)
• American Community Survey, 2015-2019
• US Census (1990, 2000, 2010)
• US Census August 12, 2021 data release from the 2020 Census
• Department of Finance Table E-5, population and housing estimates, 2010-2021
• California Economic Development Department (EDD) Labor Force Data
• Rolling Hills Local Hazard Mitigation Plan
• County of Los Angeles (data on homelessness)
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Evaluation of Previous Housing Element Page 2-1
2.0 Evaluation of Prior Housing Element
2.1 Purpose
Government Code Section 65588 requires each local government to periodically review its
housing element to:
(1) Evaluate the appropriateness of the housing goals, objectives, and policies in contributing to
the attainment of the state housing goal, which is to provide decent housing and a suitable living
environment for every Californian.
(2) Evaluate the effectiveness of the housing element in attainment of the community's housing
goals and objectives.
(3) Discuss the progress of the city or county in implementation of the housing element.
2.2 2014-2021 RHNA and Actual Housing Production
The City’s Regional Housing Needs Allocation (RHNA) for the prior (2014-2021) period was six
units. This included two very low income units, one low income unit, one moderate income unit,
and two above moderate income units. Rolling Hills also had a “carry-over” requirement of 22
units from the prior (2006-2013) planning period, including six very low, four low, four moderate,
and eight above moderate income units. The 2014-2021 Housing Element identified the
capacity to meet the combined two-cycle (2006-2021) need.
Actual housing construction during 2014-2021 was five units. There were four new market rate
(e.g., “above-moderate income”) single-family homes completed on previously vacant lots over
the 2014-2021 period.1 Another three single family homes were approved on vacant lots but have
not yet been constructed. There was one accessory dwelling unit (ADU) completed. It is
estimated to be a moderate-income unit based on its size (720 square feet). Another six ADUs
were approved between September 2020 and September 2021.2 Three more were pending as of
October 15, 2021. All of these units will become available for occupancy during the Sixth Cycle.
There were no new low or very low-income units recorded during the Fifth Cycle, although lower
income households may have secured housing in the city through room rentals, on-site
employment (caregivers, etc,), or housing provided at nominal or no charge (family members,
domestic staff, etc.). Production of deed-restricted lower-income housing units during the 2014-
2021 planning period was constrained by the high cost of land and construction, limited
opportunities for multi-family housing, and limits to Accessory Dwelling Unit (ADU) development
during the first half of the planning period. The latter two constraints were removed over the
course of the planning period, placing the City in a better position to meet its targets during the
upcoming 2021-2029 period.
1 There were also 12 new homes built on sites that previously included single family homes, with no net gain in units (e.g., “tear
downs”)
2 The six ADUs approved in 2020-2021 were in various states of completion in October 2021 and are all counted toward the Sixth
Cycle RHNA rather than the Fifth Cycle.
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2.3 Review of Prior Housing Element Goals and Policies
The next section of this chapter systematically evaluates the policies and actions of the previous
Housing Element and reports on implementation progress. The 2014-2021 Element included
four goals, each of which included related policies. The goals and policies are evaluated below.
2.3.1 Progress on Goal 1: Housing that Meets the Needs of Rolling Hills Residents
This goal expresses one of the main purposes of the Housing Element. It remains relevant and
should be carried forward. The City worked to accomplish this goal throughout the 2014-2021
planning period through its planning, zoning, building, code enforcement, and fire safety
programs.
Policy 1.1 called for evaluating ways to assist special needs populations. The largest population
with special needs in Rolling Hills consists of seniors, including those with disabilities. The City
continues to implement programs to assist seniors with housing, transportation, emergency
preparedness, and access to social services. The policy should be carried forward. Policy 1.2
called for working with other governmental entities to explore providing affordable housing in
the South Bay region. This occurs on an ongoing basis through the city’s participation in SCAG,
communication and liaison with developers, and meetings with planners and housing
organizations on the Palos Verdes Peninsula and throughout Los Angeles County. Policy 1.3
called for encouraging energy conservation and weatherization. The City implements this policy
through its planning and building regulations, including Title 24. It also works with residents
interested in solar installation and weatherization.
Policy 1.4 expresses the City’s commitment to facilitating a variety of housing types. The City
made significant progress through its creation of the Rancho Del Mar Overlay zone, permitting
of accessory dwelling units by right, and allowance of emergency shelter and single room
occupancy dwellings. Given community context, constraints, and development costs, ADUs and
home sharing provide the best solution for meeting the needs of all income groups. Policy 1.5
recommends effective community participation. The City produces a twice-monthly newsletter
which is delivered to all households and uses its website to keep the community informed. It
has used a variety of methods, such as surveys and workshops, to involve the public. Given the
community’s small size and engaged population, there is a very high level of awareness of
housing issues and requirements. Policy 1.6 calls for the City to participate in countywide
programs to meet the needs of unsheltered residents. This continues on an ongoing basis.
2.3.2 Progress on Goal 2: Maintain and Enhance the Quality of Residential
Neighborhoods
Maintaining the city’s neighborhoods as great places to live is the fundamental purpose of the
City’s General Plan. As a built out community with extreme natural hazards and constraints, this
goal is primarily covered by the Land Use and Safety Elements. Nonetheless, it is appropriate to
include policies in the Housing Element addressing conservation of the existing housing stock,
as well as management of home alterations and additions. There are five policies in the 2013-
2021 Element, and they all remain relevant.
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Policy 2.1 is to encourage and assist in the maintenance and improvement of existing homes.
The City does this through its planning and building processes, and works closely with
homeowners to support home improvements. Policy 2.2 requires housing that complies with
building code requirements. This could be restated in the updated Element, since compliance
with the building code is required under State law. Policy 2.3 requires “compatible design” that
minimizes impacts on adjacent neighborhoods. This remains valid, but should reference the
zoning ordinance as the source of objective design standards that clarify the meaning of
“compatible design.”
Policy 2.4 calls for code enforcement to maintain housing, which is still relevant. Policy 2.5
allows for ADUs and Junior ADUs (JADUs) in all residential zones. Consistent with State law, the
City implemented regulations allowing ADUs in all zones in 2018 and amended those regulations
in 2020. The policy should be retained, as it provides the foundation for related regulations in
the Municipal Code.
2.3.3 Progress on Goal 3: Provide Housing Services to Address the Needs of the
City’s Seniors
Seniors/older adults are the predominant special needs group in Rolling Hills. The Housing
Element Needs Assessment confirms that a significant number of the city’s seniors have
disabilities, are living alone, and may have difficulty covering their housing expenses.
Policy 3.1 calls for housing reference and referral services for seniors, which is still relevant and
implemented on an ongoing basis. The Rolling Hills Community Association formed a
committee in 2014 to specifically focus on the needs of seniors. Policy 3.2 calls for more
information on shared housing, which remains valid. Policy 3.3 recommends reverse mortgage
loans for seniors with limited incomes. Given the mixed success of reverse mortgage programs,
the City should consider replacing this policy with others relating to the needs of seniors. For
instance, it could indicate that affordable senior housing be considered on the Rancho Del Mar
site. Policy 3.4 promotes opportunities for live-in care or family members who can assist
mobility-impaired or elderly residents. This remains relevant and should be carried forward.
Other policies addressing the housing needs of seniors could be considered.
2.3.4 Progress on Goal 4: Fair Housing
Goal 4 directs the city to “Promote housing opportunities for all persons regardless of race,
religion, sex, marital status, ancestry, disability status, or national origin.” The importance of this
goal has been elevated by AB 686, and it should be retained. There are four policies listed in
the Fifth Cycle Element to implement this goal.
Policy 4.1 indicates the City should “affirm a positive action posture” and enforce all applicable
laws and policies. This policy could potentially be simplified to focus on enforcement. Policy 4.2
specifically covers the needs of persons with disabilities. It should be carried forward. Policy 4.3
relates to making information on housing laws available to the community at City Hall. It is
implemented on an ongoing basis but should be clarified to include information on the City’s
website as well as City Hall. Policy 4.4 expresses a commitment to investigate alleged violations
of fair housing laws. This should be carried forward, with reference to the partner entities the
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City works with on such investigations. Additional policies on fair housing related to economic
inclusion and opportunities for lower income households should be considered.
2.3.5 Cumulative Evaluation of Effectiveness of Prior Element in Addressing Special
Housing Needs
The State Department of Housing and Community Development has requested that the City
include an “a cumulative evaluation of the effectiveness of past goals, policies, and related
actions in meeting the housing needs of special needs populations (e.g., elderly, persons with
disabilities, large households, female-headed households, farmworkers, and persons
experiencing homelessness).”
As a small city with only 640 households and a staff of six full-time employees, the City’s
capacity for providing services to special needs populations is limited. The greatest emphasis
has been on seniors, who are present in 56 percent of the city’s households and represent one-
third of the population. The City’s 5th Cycle Housing Element included a goal addressing the
needs of seniors but it did not include a more generalized goal addressing special needs
populations. This has been addressed in the 6th Cycle Element by broadening the goal to
address other special needs categories.
As noted on P. 2-3, Rolling Hills has worked effectively to meet the needs of seniors through its
partnerships with the Rolling Hills Community Association (and their Senior Committee), its
support for shared housing and ADU programs, and its code provisions allowing live-in care
providers throughout the city. Many older Rolling Hills residents have been able to age in place,
retrofit their homes, and continue living in the city as a result of these policies and programs.
The 2014-2021 Element also included a policy related to unhoused residents (Policy 1.6) and a
policy related to persons with disabilities (Policy 6.2). As noted in Chapter 3, there are no
unhoused residents in the city according to the annual “point in time” count, but Rolling Hills
continues to participate in intergovernmental meetings, forums, and councils of government
activities that recognize the regional nature of homelessness and the importance of regional
solutions. The City has also amended its codes to allow emergency shelter by right in at least
one zoning district. The City also has adopted a Reasonable Accommodation ordinance for
persons with disabilities and supports home improvements to facilitate aging in place and
access for residents with disabilities. On a cumulative basis, these measures have contributed
to the health, safety, and welfare of all Rolling Hills residents and to the quality of life and
condition of housing in the city.
Both the 2014-2021 Needs Assessment and the 2021-2029 Needs Assessment determined that
there were not significant housing needs associated with large households, female-headed
households, or farmworkers in the city.
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2.4 Implementation Status of Prior Housing Element Programs
The 2014-2021 Housing Element included 24 implementation programs. Table 2-1 below
indicates the status of each program as of October 2021. The table indicates whether the
program has been accomplished or should be carried forward, revised, or deleted.
Table 2-1: Implementation Status of 2014-2021 Housing Element Programs
Prog. Description Status
1 Prepare an annual housing progress
report
CARRY FORWARD. The City filed its annual Housing
Progress Report for 2021 on March 29, 2022 in 2020
and should continue to do so in future years.
2 Amend the Land Use Element to
permit a variety of housing types
ACCOMPLISHED. This program may be removed from
the Housing Element, as it was accomplished in March
2021. The City amended its General Plan to permit by
right multi-family development, emergency shelter, and
single room occupancy housing in the Rancho Del Mar
Overlay Zone.
3 Create an Affordable Housing
Overlay Zone (AHOZ)
ACCOMPLISHED. This program may be removed from
the Housing Element or merged with the program to
periodically evaluate the Overlay Zone and determine if
changes are needed (See Program 13). The City
adopted a 31-acre Overlay in February 2021 (known as
the Rancho Del Mar Overlay zone), allowing for by-right
development of up to 16 units of affordable multi-family
housing (20 units per acre) on the Rancho Del Mar site
on Crest Road West.
4 Determine next steps for PVUSD
housing opportunity
CARRY FORWARD. The City Manager meets with the
PVUSD Superintendent regularly to discuss issues of
concern, including the future of the PVUSD property.
Other aspects of Program 4, including meeting with
developers and providing input to parties interested in
this site, should be retained and implemented on an
ongoing basis.
5 Adopt zoning for emergency
shelter.
ACCOMPLISHED. This action was completed in
February 2021. The City permits emergency shelter up
to 12 beds by right in the Rancho Del Mar Overlay
Zoning district. A replacement program should be
included, identifying ongoing measures the City will
take to address the needs of unhoused residents.
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Prog. Description Status
6 Adopt zoning for single room
occupancy (SRO) units.
ACCOMPLISHED. This action was completed in
February 2021. The City permits SROs of 6-8 units as a
conditional use in the Rancho Del Mar Overlay Zoning
district, subject to objective operational and
performance standards.
7 Adopt a Reasonable
Accommodation Policy
ACCOMPLISHED. The City of Rolling Hills adopted a
Reasonable Accommodation policy in October 2020.
The policy establishes a formal procedure through a
which a person with disabilities may request reasonable
accommodation in order to have equal access to
housing. This program may be replaced with other
actions to assist residents with disabilities .
8 Add definitions of Transitional/
Supportive Housing and Employee
Housing to Municipal Code
CARRY FORWARD. This program has not yet been
implemented. The 2014-2021 Housing Element
clarifies that supportive and transitional housing may
not be subject to requirements or standards other than
those that apply to similar dwelling unit types in the
same zones. However, the program must still be
codified through a Municipal Code amendment.
9 Adopt density bonus requirements CARRY FORWARD. This program has not yet been
implemented. Any project including units eligible for a
density bonus would be subject to State density bonus
rules. The City should amend its Municipal Code for
consistency with these rules, and expressly identify
opportunities and rules for density bonuses.
10 Adopt and periodically update
accessory dwelling unit (ADU)
regulations
REVISE. The City adopted ADU regulations in 2018
and amended these regulations in January 2020 to
incorporate new State laws. This action should be
replaced with one or more new actions related to ADUs,
including incentives to promote their use as affordable
housing.
11 Implement ADU education,
outreach, and community
engagement measures
REVISE. The City has provided information on ADUs to
the community since 2018 and should continue to do so
in the future. Newsletter articles and web-based
information have been provided and a citywide survey
on ADUs was administered in 2020. Potential outreach
measures are listed in the 2014-2021 Element and
should be carried forward. Staff time should be
allocated to these activities to ensure they are
implemented. This includes coordination with Rolling
Hills Community Association to ensure that design
review practices do not constrain ADU production or
add to their cost. Future activities could include proto-
type floor plans and designs, FAQs, community
workshops, and tenant matching services.
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Prog. Description Status
12 Develop incentives to encourage
ADU production
REVISE. This program suggested reaching out to at
least five cities and two non-profits to develop a suite of
best practices for incentivizing ADUs. Based on the
findings, the program recommended incentives such as
fee reductions, streamlined permitting, and funding for
septic system expansion to make it easier and more
affordable to add ADUs. The City has begun
implementing this program by participating in a South
Bay Cities Council of Governments collaborative that
helps residents calculate the cost and revenue for
adding an ADU (see https://southbaycities.aducalculator.org/).
Additional measures will be considered in the future.
has not yet been implemented due to lack of staff but it
remains relevant.
13 Monitor the effectiveness of the
Affordable Housing Overlay Zone
(AHOZ) and consider future multi-
family housing opportunities
REVISE. There are two parts to this program. The first
is monitoring the effectiveness of the Rancho Del Mar
Overlay Zone to determine if it is achieving its intended
purpose. This should be retained. The second part of
the program is to evaluate other multi-family housing
opportunities. This is occurring through preparation of
the Sixth Cycle Element and should continue through
2029.
14 Assist Extremely Low Income (ELI)
households
CARRY FORWARD. This program is implemented by
facilitating housing for family members, caregivers and
domestic employees, and by assisting elder Rolling Hills
homeowners on fixed incomes with home maintenance,
home sharing, ADU construction, and other actions that
reduce housing cost burdens. The program should be
carried forward.
15 Facilitate communication with
affordable housing service
providers, developers, and
advocates
CARRY FORWARD. The program recommends
coordinating with affordable housing organizations to
facilitate housing assistance and production for lower
income households. The City implements this program
on an on-going basis and should continue to do so in
the future.
16 Provide public information on home
sharing programs
CARRY FORWARD. This program references a number
of home sharing programs in Los Angeles County and
suggests that Rolling Hills provide information about
these programs on its website and at City Hall. This is a
relatively low-cost measure that can help seniors, young
adults, and local employees find housing options in the
city. It should be retained.
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Prog. Description Status
17 Provide information about reverse
mortgages
DELETE. While reverse mortgages may be helpful for
some households, there may also be downsides
associated with high closing costs, fees, and
unfavorable repayment terms. There is also a risk of
fraud. The City may not wish to take an advocacy
position promoting reverse mortgages due to the risks
involved. Local homeowners may still consider this
option should they choose to do so. The program could
also be revised to focus on consumer protection issues
related to reverse mortgages.
18 Undertake sewer feasibility and
design studies
REVISE. This program should be updated to reflect the
current status of sewer feasibility and design studies. A
feasibility study was initiated in 2020 and design plans
are nearing completion. The updated Housing Element
program should reflect the findings of these studies, as
well as Council direction.
19 Implement Best Management
Practices to improve stormwater
REVISE. The City has continued to implement
municipal storm water management measures to
reduce urban runoff pollution. It will continue to do so
in the future as conditions and requirements change.
This program could potentially be deleted or combined
with Program 18.
20 Maintain code enforcement
procedures
REVISE. This program called for hiring a full-time Code
Enforcement Officer, which was accomplished in 2019.
There is an ongoing need for enforcement of planning
and building codes in order to conserve housing quality
and correct structural deficiencies. Violations have
been consistently abated in order to maintain public
safety and community standards. The program should
be updated and retained.
21 Encourage energy conservation CARRY FORWARD. This program continues to be
relevant and informs City actions relating to
weatherization, solar installations, and other steps to
reduce home energy costs and promote clean energy.
The program references various links on the City’s
website to energy conservation programs, and financial
assistance for home energy costs. It should be carried
forward.
22 Facilitate new construction and
remodels
CARRY FORWARD. This is a general program that
encourages the City to work with applicants, builders,
property owners, and others to produce new market
rate housing and to facilitate permits for home
improvements. It supports permit streamlining and
efficiency, and transparency in the planning and
building processes. It should be carried forward.
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Prog. Description Status
23 Explore solutions to ground stability
and landslide problems
CARRY FORWARD. The City implements this program
on an ongoing basis through requirements for soils and
geology reports, as well as grading standards and
grading permit requirements. It continues to allow and
support repair work on landslide damaged homes and
unstable hillsides. Given past damage caused by
landslides and the vulnerability of parts of the city to
future damage, this program should be retained.
Reference could also be made to programs that reduce
wildfire risk and promote defensible space.
24 Make Fair Housing information
available to the public
REVISE. This program reflects the City’s ongoing
commitment to making fair housing information
available to the public. Given HCD’s guidelines for
implementing AB 686 (Affirmatively Furthering Fair
Housing), additional fair housing programs should be
developed.
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3.0 Housing Needs Assessment
3.1 Introduction
Each community’s housing plan must be based on an analysis of local housing needs. This
analysis is expressly required by the State Government Code (Section 65583(a)), and includes a
comprehensive evaluation of local demographics, housing conditions, and market conditions.
The analysis includes an assessment of household characteristics in the city, including
household type, tenure (rent vs own), overcrowding, and percent of income spent on housing. It
also evaluates the special housing needs of older adults, persons with disabilities, large families,
and persons in need of emergency shelter.
The needs assessment helps ensure that the city is not only planning for its “fair share” of the
region’s housing needs, but also responding to its own local needs. Where appropriate, local
conditions are compared to regional conditions or conditions in nearby cities to provide
appropriate context. Rolling Hills is a very unique community and it is important to recognize
that when planning for housing conservation and production.
Most of the data presented in this chapter is from the American Community Survey (ACS), an
ongoing survey performed by the US Census to gauge population and housing conditions in
between the decennial censuses. Because most 2020 Census data was not available at the time
this report was prepared, the ACS data provides the most accurate information on local
demographics. ACS data for Rolling Hills in 2021 is based a five-year average covering 2015-
2019. However, the ACS is based on a sample of the population, so there is a margin of error in
some of the tables. Other data sources include the California Department of Finance, the
County of Los Angeles, and the City of Rolling Hills. In addition, SCAG provided a “pre-HCD
certified” data profile for each city in the Los Angeles region in 2019. This is referenced as
appropriate throughout this chapter.
The Needs Assessment is broken into five sections as follows:
• Section 3.2 covers population characteristics, such as age, race, and total rate of growth
• Section 3.3 covers household characteristics, such as presence of children and home
ownership
• Section 3.4 addresses special housing needs
• Section 3.5 covers housing stock characteristics
• Section 3.6 covers growth forecasts and the RHNA for the 2021-2029 period
The Needs Assessment is supplemented by Appendix “A”, which looks specifically at the recent
State mandate to “affirmatively further fair housing” through the Housing Element. Appendix A
focuses on regional patterns of segregation and inequity in order to inform local fair housing
policies.
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3.2 Population Characteristics
3.2.1 Total Population
Table 3.1 shows population data for Rolling Hills over a 50-year period. The City’s population
was 2,050 in 1970 and has declined by more than 300 residents since then. Between 1980 and
1990, Rolling Hills lost nearly 9 percent of its population. The decline was the result of several
factors, including smaller households, fewer children, and the loss of homes due to wildfire and
landslides. Change between 1990 and 2010 was minimal. There were 1,871 residents in 1990
and 1,860 residents in 2010. The August 12, 2021 US Census data release reported a
population of 1,739 residents, a 6.5 percent drop relative to 2010. The Census figure is
substantially lower than the Department of Finance estimate of 1,866, which was made on
January 1, 2021.
Table 3.1: Rolling Hills Population, 1970-20211
Population Percent Change
1970 2,050 --
1980 2,049 0
1990 1,871 -8.7%
2000 1,871 0
2010 1,860 -0.6%
2021 (DOF) 1,866 0.3%
2020 (Census) 1,739 -6.5%
Sources: US Decennial Census, 1970-2010. California Dept. of Finance, 1/1/21 estimate, 2020 Census (8/12/21 release)
Table 3.2 compares population change in Rolling Hills with the region, the County, and the other
cities on the Palos Verdes Peninsula using data from the California Department of Finance. The
six-county Los Angeles region grew 14.4 percent between 2000 and 2021, from 16.5 million
residents to nearly 19 million residents. Los Angeles County grew by 5.2 percent, reflecting its
more urbanized character and larger population base. By contrast, the rate of growth on the
Palos Verdes Peninsula during this 21-year period was just 1.1 percent. While Rolling Hills
Estates grew by 5.5 percent, the other three cities have roughly the same number of residents
today as they did 20 years ago. The Peninsula communities are mature, with limited vacant and
re-developable land, high land costs, and environmental constraints that limit population growth.
1 The ACS data sets for Rolling Hills for 2015-2019 show a citywide population of 1,513 residents. This is 15 percent below the
actual population, which was reported to be 1,739 residents in the 2020 Census data released on August 12, 2021. In addition,
SCAG reported the population at 1,939 residents (in 2018), while the State Department of Finance reported 1,866 residents. These
discrepancies are due to sampling errors resulting from the small size of Rolling Hills’ population. As a result, charts are used (rather
than tables) for some of the variables discussed below. This allows the analysis to focus on change over time rather than total
values.
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Table 3.2: Comparison of Rolling Hills Growth with Nearby Cities and Region, 2000-2021
Population Percent Change 2000 2021
Rolling Hills 1,871 1,866(*) -0.3
Rolling Hills Estates 7,676 8,098 5.5
Rancho Palos Verdes 41,145 41,541 0.9
Palos Verdes Estates 13,340 13,286 -0.4
Los Angeles County 9,542,000 10,044,458 5.3
SCAG Region 16,547,000 18,954,083 14.4
Sources: US Decennial Census, 2000. California Dept. of Finance, 1/1/21 estimate
(*) August 12, 2021 Census data release shows 1,739 residents, which is a 7.1 decrease since 2000
3.2.2 Age
The age structure of the population has a strong influence on housing needs. For example, if a
city is experiencing an outmigration of young adults (ages 25-34), it often indicates a shortage of
rental housing or entry-level housing opportunities. If a city has a high percentage of residents
over 75, it often indicates a need for special housing types, such as assisted living or single-
story homes---or programs to assist with home rehabilitation.
Chart 3.1 shows the age distribution of Rolling Hills residents in 2000 and 2020. The chart
illustrates significant shifts, including a decrease in the number of children (from 28% of the
population in 2000 to 20% in 2020) and an increase in the number of persons over 65 (from
22% of the population in 2000 to 33% in 2020). The percentage of residents aged 20-34 nearly
doubled over the 20-year period, likely as a result of adult children moving back home or
delaying entry into the housing market due to high housing costs. The percent of residents 35-
44 dropped significantly, likely because of limited local housing options for young families and
mid-career adults.
The median age in Rolling Hills has steadily increased over the last 40 years. In 1980, it was
38.2. It increased to 45.5 in 1990, 48 in 2000, and in 52 in 2010. By 2020, the median age was
55.3, meaning that half of all residents are older than 55 and half are 55 or younger. By
contrast, the median age in Los Angeles County is 36.5. Rolling Hills also has a higher median
age than the other cities on the Palos Verdes Peninsula (Rolling Hills Estates: 50.1; Palos Verdes
Estates: 52.2; Rancho Palos Verdes: 50.0).
Census data indicates that one-third of Rolling Hills’ residents over 65 are 80 or older. This
cohort represents more than 10 percent of the City’s population, a substantially higher share
than in most communities in California.
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Chart 3.1: Age Distribution of Rolling Hills Residents, 2000 and 2020
Source: US Census, 2000. ACS, 2021 (for 2015-2019 sample period)
Chart 3.2: Racial Distribution of Rolling Hills Residents, 2000 and 2020
Source: US Census, 2000 and ACS, 2021 (for 2015-2019 sample period)
0-19
20%
20-34
9%
35-44
4%45-54
16%
55-64
18%
65+
33%
0-19
28%
20-34
5%35-44
12%
45-54
18%
55-64
15%
65+
22%
Hispanic
(any race)
6%
White
Non-
Hispanic
70%
Multi-
racial
6%
Black
2%
Asian
15%
Other
1%
2020
2000 2020
Hispanic
(any race)
3%
White
Non-
Hispanic
80%
Multi-
racial
2%
Black
2%
Asian
13%
2000
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3.2.3 Race and Ethnicity
Racial and ethnic composition may affect housing needs due to the cultural preferences of
certain groups (including extended families, multi-generational families, etc). In addition, certain
groups have historically faced discrimination due to the lending policies of financial institutions,
former covenants and ownership restrictions, and past racial bias.
Chart 3.2 shows the racial distribution of Rolling Hills residents in 2000 and 2020. The city has
become more diverse over time, with the Non-Hispanic White population declining from 80
percent to 70 percent of the total. The Hispanic population (any race) roughly doubled over the
20-year period, although relative to the total population, the numbers are still small.
Approximately 6 percent of the City’s residents are Hispanic.
The percentage of African-American residents remained at about 2 percent of the population
between 2000 and 2020. During this same period, the number of residents of Asian or Pacific
Island descent increased from 13 percent to 16 percent of the city’s total. According to the
Census, the largest Asian ethnic groups in the city are Chinese (6.5 percent) and Korean (5.1
percent). The number of residents indicating they were more than one race more than doubled
between 2000 and 2020, with multi-racial residents representing about 6 percent of the 2020
population.
Relative to the County of Los Angeles and the State of California, Rolling Hills and the four cities
on the Palos Verdes Peninsula have a substantially higher White Non-Hispanic population.
Table 3.3 compares race and ethnicity in Rolling Hills, the Peninsula cities, Los Angeles County,
and the State as a whole. Nearly half of the County’s residents, and more than one-third of the
State’s residents, are Hispanic. By contrast, less than 10 percent of the residents in the
Peninsula cities are Hispanic. The Peninsula cities tend to have higher percentages of Asian
and Pacific Islander residents, and more multi-racial residents.
Table 3.3: Race and Ethnicity in Rolling Hills, Peninsula Cities, Los Angeles County, and
State, 2020
Percent of Total
Rolling Hills Palos Verdes
Peninsula*
Los Angeles
County
State of
California
Non-Hispanic White 71.3% 54.4% 26.2% 37.2%
Hispanic (all races) 5.8% 9.7% 48.5% 39.0%
Black/ African American 1.5% 1.6% 7.8% 5.5%
Native American/Alaskan N/A 0.1% 0.2% 0.4%
Asian 15.6% 28.8% 14.4% 14.3%
Pacific Islander/Hawaiian N/A 0.6% 0.2% 0.4%
Other N/A 0.1% 0.3% 0.3%
Multi-Racial 5.8% 4.7% 2.3% 3.0%
TOTAL 100.0% 100.0% 100.0% 100.0%
Sources: US Decennial Census, 2020.
(*) Rolling Hills, Rolling Hills Estates, Rancho Palos Verdes, Palos Verdes Estates
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The August 2021 release of 2020 Census data shows that the ACS may have underestimated
the diversity of Rolling Hills’ population. The 2020 Census indicated that 66 percent of the city’s
residents are White, 20.5 percent are Asian, 10.4 percent are more than one race, 1.3 percent
are Black, and 1.9 percent are Other. The Census further indicated that 7.0 percent of the city’s
residents were Hispanic (includes all races).
3.2.4 Language
Based on ACS data for 2015-2019, 79 percent of the City’s residents speak only English at
home.2 Of the roughly 300 Rolling Hills residents speaking a language other than English at
home, 18 percent speak Spanish, 56 percent speak an Asian language, and 26 percent speak
another Indo-European language. Most of these residents are bilingual and are fluent in English.
About 66 percent of those speaking a foreign language at home indicated they also spoke
English “very well.” Of the remaining 34 percent, about half spoke an Asian language. Korean
and Chinese were the most commonly spoken languages in those households.
Relative to other cities in Los Angeles County and the region, the percentage of “linguistically
isolated” persons (i.e., those with limited English) is very low in Rolling Hills. Whereas about 6
percent of Rolling Hills’ population is linguistically isolated, the percentage in Los Angeles
County is about 24 percent.
3.2.5 Educational Attainment
Rolling Hills residents are highly educated. Among residents 25 or older, 97.6 percent have a
high school degree. More than 70 percent have a bachelor’s degree or higher, and 39 percent
have a graduate or professional degree. These percentages are substantially higher than in the
County as a whole.
3.2.6 Health Indicators
Health can impact housing needs both by limiting the income earning potential of residents and
by creating the need for supportive services or special housing design. Based on data provided
to the City by the Southern California Association of Governments, Rolling Hills health indicators
are consistently better than the County as a whole. The City’s obesity rate is 16.5 percent,
compared to a countywide average of 28.2 percent. Its asthma rate is 10.1 percent, compared
to the countywide average of 15.1 percent and its diabetes rate is 8.3 percent, compared to 12.1
percent countywide. On the other hand, Rolling Hills has a higher rate of heart disease than the
County as a whole, with 9.7 percent of the population diagnosed with a heart ailment compared
to 6.6 percent countywide. This is likely due to the higher percentage of older residents in the
city.
2 American Community Survey 2015-2019, based on residents 5 years of age or older.
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3.2.7 Employment
Employment affects the demand for housing and the dynamics of the housing market. In most
cities, the types of jobs that are present affect the wages paid and the ability of the local
workforce to pay for housing in the city. Rolling Hills is unique in this regard, as it has no major
employers or land zoned for employment uses. In 2018, the Southern California Association of
Governments estimated that there were only 110 jobs in the city.3 Employers include the City,
the School District, Rolling Hills Community Association, the County Fire Department, and the
Palos Verdes Transit Authority. The figure excludes construction workers, landscapers,
housekeepers, child care providers, care givers, delivery workers, and others who travel to the
city intermittently for work.
Data from SCAG collected prior to the COVID-19 pandemic indicates that a majority of
employed residents in Rolling Hills commuted to jobs elsewhere in Los Angeles County. The
largest percentages of residents commuted to Los Angeles (28.2%), Torrance (8.3%), and Long
Beach (5.0%). Beyond Los Angeles County, the next largest commute destination was Orange
County, including Anaheim (1.5%) and Huntington Beach (1.5%).
A relatively large percentage of Rolling Hills residents work from home. Prior to the COVID-19
pandemic, census data reported that about 18 percent of the city’s employed residents worked
from their homes. While data after March 2020 is not available, the percentage likely increased
dramatically during the second quarter of 2020 and remained high for the rest of the year. The
long-term effects of the pandemic on commute patterns are still unknown. However, the
relatively large home sizes in Rolling Hills and the high percentage of the workforce in
professional-sector jobs suggests that a substantial number of workers will continue to work
remotely in the future.
Recent data from the California Employment Development Department (EDD) indicates there
are 600 Rolling Hills residents in the labor force. EDD indicates an unemployment rate of 9.3
percent in June 2021, compared to a countywide average of 10.5 percent. The average annual
unemployment rate in Rolling Hills was reported as 4.0 percent in 2019, when the countywide
average was 4.4 percent. 4
Tables 3.4 and 3.5 provides an overview of the Rolling Hills labor force, based on census data.
The first table identifies the occupation of residents in the city by category, and the second
classifies employed residents by industry.
A majority of the city’s residents are in higher-wage professional and management occupations.
Approximately 18 percent work in health care. About 13 percent work in education, legal
services, arts, and media. Only a small percentage work in the service sector, and even smaller
percentages work in the construction, maintenance, and transportation sectors. The largest
economic sectors associated with the Rolling Hills workforce are finance, insurance, real estate,
health care, and professional, scientific, and management services. The percentage of residents
employed in retail sales, wholesaling, and manufacturing is much smaller than in the county as a
whole.
3 Based on data from the California Employment Development Department
4 California EDD “Labor Force and Unemployment Rate for Cities and Census Designated Places” accessed July 2021
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Table 3.4: Rolling Hills Employed Residents by Occupation
Number of
Residents
Employed
Percent of
Total
Management, business, and financial services occupations 185 32.9%
Computer, engineering, and science occupations 39 6.9%
Education, legal, community service, arts, and media occupations 72 12.8%
Healthcare practitioners and technical occupations 104 18.5%
Service occupations 24 4.3%
Sales and office occupations 115 20.4%
Natural resources, construction, and maintenance occupations 22 3.9%
Production, transportation, and material moving occupations 2 0.4%
TOTAL 563 100.0%
Sources: American Community Survey, 2021 (2015-2019 characteristics)
Table 3.5: Rolling Hills Employed Residents by Industry
Number of
Residents
Employed
Percent of
Total
Construction 24 4.3%
Manufacturing 29 5.2%
Wholesale trade 43 7.6%
Retail trade 30 5.3%
Transport/ warehousing/ utilities 4 0.7%
Information 12 2.1%
Finance/ insurance/ real estate 132 23.4%
Professional, scientific, and management, and administrative and
waste management services 85 15.1%
Educational services, and health care and social assistance 146 25.9%
Arts, entertainment, and recreation, and accommodation and food
services 39 6.9%
Other services, except public administration 12 2.1%
Public Administration 7 1.2%
TOTAL 563 100.0%
Sources: American Community Survey, 2021 (2015-2019 characteristics)
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There are approximately six times more employed residents in Rolling Hills than jobs in Rolling
Hills. The City is not expected to become an employment center in the future. Rolling Hills is
currently a housing “reservoir” in that it provides far more housing than employment relative to
other cities in Los Angeles County. Nearby communities with large employment bases rely on
Rolling Hills to some extent to meet their housing needs, particularly at the upper range of the
housing market.
3.3 Household Characteristics
The Bureau of the Census defines a "household" as “all persons who occupy a housing unit.
This may include persons living alone, families related through marriage or blood, and unrelated
individuals living together. Persons living in retirement or convalescent homes, dormitories, or
other group living situations are classified as living in “group quarters” and are not considered
households. On the other hand, a property with an occupied accessory dwelling unit may be
considered to consist of two households.
Household characteristics provide important indicators of housing needs. These characteristics
include household structure (families with and without children, single persons, persons sharing
homes, etc.), household size (number of persons per household), tenure (renter vs owner), and
household income and poverty status. Again, the US Census 2021 American Community
Survey (providing sample data for 2015-2019) is regarded as the definitive source for household
data and is referenced in the tables and narrative below. At the time this report was prepared,
2020 Census data for households (other than total number of households) was not yet available.
3.3.1 Household Type
Census data for Rolling Hills indicates that there is no group quarters population in the city and
that all residents reside in households. Data from the California Department of Finance for
January 1, 2021 indicates that there were 667 households in Rolling Hills, an increase of four
households from the 2010 Census. The August 2021 release of US 2020 Census data indicates
that there are 639 households in the city, which is a decrease of 24 households from 2010. The
US Census data is considered more accurate, as it is based on an actual count and not an
estimate.
Just over 81 percent of all households in Rolling Hills are classified as families. This percentage
remained constant between 2010 and 2020. Non-family households include persons living
alone and unrelated persons living in shared homes.
Chart 3.3 shows the distribution of households by category for Rolling Hills and the County of
Los Angeles. Relative to the County, Rolling Hills has a much higher percentage of married
couple families (74% of all households compared to 45% countywide). The City has smaller
percentages of single parent households and non-married couple households than the County
and the other cities on the Palos Verdes Peninsula. A much smaller share of Rolling Hills’
residents live alone than in the County as a whole.
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Chart 3.3: Household Type in Rolling Hills and Los Angeles County, 2021
Source: American Community Survey, 2021 (2015-2019 data)
The data for Rolling Hills reflects the community’s single family housing stock. For decades, the
city has attracted families with children. Couples tend to keep their homes when their children
are grown, resulting in a significant number of homes (more than half) occupied by older
couples with adult children and empty nesters. In fact, the Census indicates that 60 percent of
the married couple households in Rolling Hills include at one person over 60 years old,
compared to 38 percent in the county as a whole.
Household type in Rolling Hills has changed over the last 20 years. The percentage of people
living alone has been increasing, growing from 12 percent of the population in 2000 to 16
percent in 2020. The percentage of households with children living at home has been
decreasing. It was 33 percent in 2000 and 23 percent in 2020.
3.3.2 Household Size
In 2020, the State Department of Finance reported the average household size in Rolling Hills as
2.80 persons. This is almost the same as it was in 2010, when average household size was
reported at 2.81 persons. In general, average household size has been falling over time. It was
2.90 in 2000 and was reported as being 3.2 in the Rolling Hills General Plan (1989). Preliminary
releases from the US Census (August 2021) show actual household size has fallen even further,
and is now 2.72.
ACS data indicates that 16 percent of all households in the City are comprised of one person, 52
percent have two people, 10 percent have three people, and 21 percent have four or more
people. By contrast, in Los Angeles County as a whole, 26 percent are comprised of one
person, 28 percent of two persons, 17 percent of three persons, and 29 percent of four or more
Married w/
children
under 18 at
home
22%
Married, no children
<18 at home
52%
Single
parent, w/
children < 18
at home
1%
Non-
married
couples
2%
Living
alone
16%
Other
7%
Married w/
children
under 18 at
home
19%
Married, no children
<18 at home
26%
Single parent, w/
children < 18 at home
6%
Non-
married
couples
7%
Living
alone
26%
Other
16%
City of Rolling Hills County of Los Angeles
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persons. Rolling Hills has a much higher share of two-person households and smaller shares of
one-person households and large households.
Chart 3.4 compares average household size in Rolling Hills, the County, the State and the other
three cities on the Palos Verdes Peninsula. Data is shown for 2010 and 2021 for each city,
based on California Department of Finance statistics.
Chart 3.4: Household Size in Rolling Hills and Other Jurisdictions, 2010 and 2021
Source: California Department of Finance, Table E-5, 2021
3.3.3 Overcrowding
Overcrowding may result when high housing costs prevent households from buying or renting
homes that provide sufficient space for their needs. The Census defines overcrowded
households as those with more than 1.01 persons per room, excluding bathrooms, hallways, and
porches. Households are considered to be “severely” overcrowded if they have more than 1.51
persons per room.
Although Rolling Hills has a higher number of persons per household than the other cities on the
Palos Verdes Peninsula, it does not experience overcrowding. ACS data for 2015-2019 indicate
that 98.9 percent of the homes in the city have 1.0 persons per room of less. There are no
households with more than 1.51 persons per room. By contrast, in the county at large, 11.3
percent of the households have more than 1.01 persons per room and 4.7 percent have more
than 1.51 persons per room. Homes in Rolling Hills are generally large and owner-occupied,
reducing the likelihood of future overcrowding.
2.4
2.5
2.6
2.7
2.8
2.9
3
3.1
Rolling Hills LA County California Rolling Hills
Estates
Rancho Palos
Verdes
Palos Verdes
Estates
2010 2021
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3.3.4 Tenure
Tenure refers to a household’s status as an owner or renter. ACS data for 2015-2019 indicate
that 95.3 percent of Rolling Hills’ households are homeowners and 4.7 percent are renters. This
percentage has remained relatively constant over the last two decades. The 2010 Census
indicated that 95.7 percent of the city’s households were homeowners and that 4.3 percent
were renters. This equated to 28 renter households in the entire city. Because there are no
multi-family units at this time, these households are presumed to be renting single family homes.
Renter households in the city are slightly larger than owner-occupied households. The ACS
data for 2015-2019 indicates an average household size of 3.07 for renters and 2.60 for owners.
3.3.5 Household Income
Income is the single most important factor in determining housing affordability. While upper
income households have more discretionary income to spend on housing, lower income
households are more constrained in what they can afford. The State and federal government
have developed metrics for classifying households into income categories. These metrics are
used to quantify what is considered an “affordable” housing unit and to determine eligibility for
housing subsidies and assistance programs. All metrics are benchmarked against the areawide
median income, or AMI.
State-Defined Income Categories
The commonly used income categories are as follows:
• Extremely low income 0-30% of AMI
• Very low income 30% to 50% of AMI
• Low income 50% to 80% of AMI
• Moderate income 80% to 120% of AMI
• Above Moderate income More than 120% of AMI
“Affordable housing cost” is defined by State law as being not more than 30 percent of gross
household income. “Housing cost” in this context includes rent or mortgage payments, utilities,
property taxes, and homeowners (or renters) insurance. The income limits are updated annually
by the California Department of Housing and Community Development.
For each income category, a sliding scale is used based on the number of persons per
household. This recognizes that larger households must dedicate greater shares of their
income for food, health care, transportation, and other expenses. The income categories are
calculated by county, resulting in different median incomes from place to place within California.
Table 3.6 shows income categories for Los Angeles County that became effective in April 2021.
A two-person household earning less than $75,700 a year would be considered low income.
The same household would be considered very low income if it earned less than $47,300 a year.
For a household of four people, the threshold is $94,600 for low income and $59,100 for very
low income.
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Table 3.6: Income Limits for Los Angeles County, 20215
Income Category
Household Size
1 2 3 4 5 6 7 8
Extremely Low Income $24,850 $28,400 $31,950 $35,450 $38,300 $41,150 $44,000 $46800
Very Low Income $41,400 $47,300 $53,200 $59,100 $63,850 $68,600 $73,300 $78,050
Low Income $66,250 $75,700 $85,150 $94,600 $102,200 $109,750 $117,350 $124,900
Moderate Income $67,200 $76,800 $86,400 $96,000 $103,700 $111,350 $119,050 $126,700
Source: California Department of Housing and Community Development, 2021
Table 3.7 indicates the monthly housing cost that would be considered “affordable” for
households of different sizes in each income category. Using the state’s definition of
affordability, a low income household of four would be able to afford a monthly housing cost of
$2,365. A very low income household of four could afford a monthly housing cost of $1,478. If
these households are pay in excess of this amount, they are considered to be “cost-burdened.”
In a high-priced market like the Palos Verdes Peninsula, many low income households pay
significantly more than 30 percent of their incomes on rent or mortgages. Those employed in
low-wage professions in the area may commute long distances from areas with more affordable
housing.
Table 3.7: Affordable Monthly Housing Costs Based on 2021 Income Limits
Income Category
Household Size
1 2 3 4 5 6 7 8
Extremely Low Income $621 $710 $799 $886 $958 $1,029 $1,100 $1,170
Very Low Income $1,035 $1,183 $1,330 $1,478 $1,596 $1,715 $1,833 $1,951
Low Income $1,656 $1,893 $2,129 $2,365 $2,555 $2,744 $2,934 $3,123
Moderate Income $1,680 $1,920 $2,160 $2,400 $2,593 $2,784 $2,976 $3,168
Source: Barry Miller Consulting, 2021. Based on 30% of monthly income for each household
Market-rate ownership housing in the Los Angeles area is generally not affordable to
households who are moderate income or below. With an income of $100,000, a household of
four could potentially spend $2,500 a month on their housing cost without experiencing a cost-
burden. Assuming a 10 percent down-payment and 3 percent interest rate, an “affordable”
home would be about $360,000. While there are a few condominiums at this price point in the
region’s larger cities (Long Beach, Los Angeles, etc.), there is no housing on the Palos Verdes
Peninsula in this range. Consequently, “below market” housing programs typically focus on
rental housing for low and very low income households, and a mix of subsidized ownership
housing and rental housing for moderate income households.
5 Income limits for low, very low, and extremely low income are set by the federal Department of Housing and Urban Development.
However, income limits for moderate income households are set by HCD based on mathematical averages of County income.
Consequently, the moderate income numbers are only marginally different from the low income numbers in Los Angeles County.
This is not the case in all counties.
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Some market-rate rental units are “affordable by design”—meaning they are not subsidized but
have rental prices that fall within the affordability ranges of low and moderate income
households. For example, a one-bedroom apartment renting for $1,700 a month would be
considered affordable to a two-person low-income household. While the supply of such units is
limited on the Palos Verdes Peninsula, there are opportunities for market-rate accessory
dwellings and small apartments to fill some of this need.
Household Income in Rolling Hills
The federal Department of Housing and Urban Development (HUD) receives custom tabulations
of Census data each year to evaluate housing needs for lower income households. The data is
referred to as “CHAS” (Comprehensive Housing Affordability Strategy) data and includes
documentation of the current number of owner and renter households in each HUD income
category for each jurisdiction. At the time the 2021-2029 Housing Element was prepared the
CHAS data set was based on 2013-2017 conditions. Table 3.8 provides CHAS data for the City
of Rolling Hills.
Table 3.8: Rolling Hills Households by HUD Income Category
Income Category Owners Renters Total (*)
Extremely Low 25 0 25
Very Low 35 10 45
Low 45 0 45
Moderate 25 0 25
Above Moderate 465 15 480
Total 595 25 620
Source: HUD User Portal CHAS data, based on 2013-2017 ACS. Accessed July 2021
(*) Total number of households does not match Census and DOF totals due to sampling methods. CHAS data is also rounded to the
nearest “five” by HUD.
Table 3.8 indicates that 77 percent of the households in Rolling Hills are “above moderate”
income (more than 120% of Areawide Median Income). There are 25 “extremely low” income
households and 45 “very low” income households in the city, representing four percent and
seven percent of total households respectively. Another seven percent meet “low” income
criteria.
Table 3.9 provides additional data on income in Rolling Hills, using 2015-2019 American
Community Survey data rather than CHAS data. Rolling Hills is among the most affluent cities in
California, with a median income exceeding $250,000 a year, and a mean household income of
$434,685. The Census indicates that 57.5 percent of the city’s households have annual incomes
exceeding $200,000, compared to 37.8 percent for all of the Palos Verdes Peninsula cities and
10.2 percent for Los Angeles County.
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Table 3.9: Household Income in Rolling Hills, Peninsula Cities, and Los Angeles County
Income Category
Percent of Households in Income Category
Rolling Hills
Palos Verdes
Peninsula Cities Los Angeles County
Less than $10,000 1.2% 3.0% 5.6%
$10,000-$14,999 2.6% 1.6% 4.8%
$15,000-$24,999 2.6% 3.4% 8.4%
$25,000-$34,999 1.2% 3.4% 8.1%
$35,000-$49,999 6.1% 4.7% 11.2%
$50,000-$74,999 3.8% 9.2% 15.9%
$75,000-$99,999 4.2% 9.0% 12.3%
$100,000-$149,999 12.7% 15.5% 15.8%
$150,000-$199,999 8.1% 12.6% 7.8%
$200,000 or more 57.5% 37.8% 10.2%
Median Income $250,000+ $154,165 $68,044
Mean Income $434,685 $210,231 $99,133
Source: American Community Survey, 2021 (for 2015-2019)
Data for Palos Verdes Peninsula cities represents weighted average of Rolling Hills, Rolling Hills Estates, Rancho Palos Verdes, and
Palos Verdes Estates
While a majority of households are “above moderate” income, the ACS data indicates that 6.4
percent of Rolling Hills’ households (or approximately 42 households) have annual incomes of
less than $25,000 a year. This compares to 8.0 percent for the Palos Verdes Peninsula and 18.8
percent for Los Angeles County. Approximately 7.3 percent of Rolling Hills’ households have
incomes between $25,000 and $50,000 a year, compared to 8.1 percent on the Peninsula and
19.3 percent countywide.
The Census also disaggregates household income data by family households, married couples,
and non-family households. Non-family households include persons living alone and unrelated
individuals in shared homes. Family and married couple household incomes in Rolling Hills are
higher than non-family households. Census data indicate that 27 percent of the non-family
households in the city (or about 30 households) have annual incomes below $35,000 compared
to just 3.1 percent for families and married couples.
An important qualifier about the Census income data is that it does not account for accumulated
wealth or savings and is based only on annual income. Given the high cost of housing in Rolling
Hills, the very high rate of owner-occupancy (95 percent), and the large number of retired adults
in the city, it is likely that most of the lower income households in the city are seniors on fixed
incomes. In fact, 68 of the 108 non-family households in the city are comprised of persons over
65 living alone. Many of these households have no mortgage and their housing costs are
primarily associated with property taxes, insurance, maintenance, and utilities. Despite
accumulated wealth and home equity, a subset of the population on fixed incomes may lack the
resources to meet these expenses without financial hardship.
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3.3.6 Overpayment
Overpayment refers to the incidence of households spending more than 30 percent of their
incomes on housing costs. As noted earlier, this includes monthly utility bills, taxes, HOA dues,
and insurance as well as mortgage or rent payments. Overpayment occurs in all income
categories but is more challenging for lower income households given the limited resources to
pay for other household expenses. As previously indicated, such households are defined by the
US Department of Housing and Urban Development as being “cost-burdened.”
ACS data indicates that 30.6 percent of all homeowners in Rolling Hills and 32 percent of all
renters are paying more than 30 percent of their incomes on housing. About 18 percent of
Rolling Hills homeowners are paying more than 50 percent of their incomes on housing. This
compares to 16 percent in the county as a whole. Table 3.10 compares rates of overpayment in
Rolling Hills with those of Los Angeles County as a whole. At the countywide level, the rate of
overpayment is somewhat higher for homeowners and substantially higher for renters. In Los
Angeles County, approximately 35.7 percent of all homeowners and 57.6 percent of all renters
pay more than 30 percent of their incomes on housing.
Table 3.10: Percent of Income Spent on Housing in Rolling Hills and Los Angeles County
Percent of
Income Spent
on Housing
Homeowners with no
Mortgage
Homeowners with a
Mortgage Renters
Rolling
Hills
LA
County
Rolling
Hills
LA
County
Rolling
Hills
LA
County
Less than 20 % 64.3% 73.4% 37.1% 30.0% 54.5% 19.7%
20-24.9 % 10.5% 6.4% 10.1% 14.5% 0 11.5%
25-29.9% 5.0% 4.2% 14.0% 12.1% 13.6% 11.2%
30-34.9% 0.8% 3.0% 7.8% 9.1% 0 9.5%
More than 35% 19.3% 12.9% 30.9% 34.4% 31.8% 48.1%
Source: American Community Survey, 2021 (for 2015-2019)
Not surprisingly, the incidence of overpayment is much greater for homeowners with a
mortgage than for those without a mortgage. In Rolling Hills, approximately 44 percent of all
homeowners have paid off their mortgages, while 56 percent have a mortgage. For those
without mortgages, 20.1 percent pay more than 30 percent of their incomes on housing. For
those with mortgages, the figure is 38.6 percent.
Even homeowners without mortgages may still face a cost burden associated with taxes,
maintenance, and other home expenses. The ACS reports that 93 percent of Rolling Hills’
homeowners with no mortgage payments still have monthly housing costs exceeding $1,000 a
month. The median monthly cost for homeowners without mortgages in the city is over $1,500 a
month. The comparable figures for Los Angeles County are just 20.3 percent and $608 a
month. The data suggests that Rolling Hills seniors on fixed incomes may be particularly cost-
burdened due to limited income, monthly HOA fees, and the high cost of maintaining a home in
the city.
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For homeowners with mortgages, monthly costs are substantially higher. ACS data shows that
89.9 percent of the city’s homeowners with mortgages spend over $3,000 a month on housing,
with a median well above $4,000 a month (the maximum reported by the Census). This
compares to 34.2 percent in Los Angeles County, with monthly median of $2,498.
Data on the City’s renter households indicates that a majority are above moderate income
households spending more than $3,000 a month on housing. However, the ACS indicates
seven renter households paying $1,000 to $1,499 a month, which indicates that at least a few
renters in the city occupy guest houses or unregistered accessory dwelling units.
Table 3.11 shows the incidence of overpayment among owners and renters in Rolling Hills who
are lower income. Among lower income homeowners, 78 out of 90 are considered cost-
burdened, while among the city’s 10 lower income renters, eight are considered cost-burdened.
About two-thirds of the city’s lower income owners are severely cost-burdened, paying more
than half of their incomes on housing. While the income data does not fully account for savings
and accrued wealth, it does suggest that some of these households might benefit from
assistance with home maintenance and monthly housing expenses (for example, through home
sharing and ADUs).
Table 3.11: Overpayment among Lower Income Households in Rolling Hills
Total
Households
Number Paying More than
30% of Income on Housing
Number Paying More than
50% of Income on Housing
Homeowners
Income Under 80%
of Areawide Median
90 78 60
Income Under 30%
of Areawide Median
25 19 15
Renters
Income Under 80%
of Areawide Median
10 8 4
Income Under 30%
of Areawide Median
0 0 0
Source: HUD User CHAS data, 2014-2018
3.4 Populations with Special Needs
The California Government Code recognizes that some segments of the population have more
difficulty finding decent, affordable housing than others due to their circumstances. Populations
with special needs include older adults, persons with disabilities, large families, farmworkers,
families with female heads of households, and persons experiencing (or at risk of)
homelessness. These groups are more likely than the population at large to spend a
disproportionate amount of their incomes on housing. They are also more likely to face
discrimination based on their specific needs or circumstances.
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3.4.1 Older Adults
The special needs of older households result from limited income, higher rates of physical
disability and health care costs, and changing life circumstances which may require assistance
from others. This is the single largest special needs group in Rolling Hills, and it is growing
rapidly as the population ages. Table 3.121 compares the number of older adults in Rolling Hills
with the other cities on the Palos Verdes Peninsula, along with Los Angeles County.
Table 3.112: Older Adults in Rolling Hills and Nearby Jurisdictions
Jurisdiction
Percent of all
Residents over 65
Percent of all
Residents over 75
Percent of households
with at least one
member over 65
Rolling Hills 32.9% 18.4% 56.0%
Rolling Hills Estates 25.2% 13.9% 46.5%
Palos Verdes Estates 27.0% 13.3% 46.8%
Rancho Palos Verdes 15.5% 13.6% 44.7%
Los Angeles County 13.3% 5.7% 29.7%
California 14.0% 5.9% 30.8%
Source: American Community Survey, 2021 (for 2015-2019)
The percentage of residents over 65 in Rolling Hills was 22 percent in 2000, 28 percent in 2010,
and 33 percent in 2020. Moreover, 56 percent of the households in Rolling Hills include at least
one person who is 65 years or older. This is almost double the rate for Los Angeles County as a
whole. The percentage of Rolling Hills residents over 85 has doubled in the last 20 years, with
this cohort representing 4.7 percent of the population in 2020.
The percentage of older residents is likely to continue increasing in the next decade. Nearly one
in five Rolling Hills residents is in the 55-64 age cohort (compared to one in nine countywide),
and most of this cohort will reach retirement age during the timeframe of this Housing Element.
Some of these residents, as well as those already over 65, may seek to “downsize” or adapt
their homes to meet changing mobility needs and financial resources.
Older adults in Rolling Hills are more likely to live alone, have one or more disabilities, and be
cost-burned by housing than the population at large. Census data indicates that there are 68
households, representing roughly 10 percent of all households in Rolling Hills, comprised of a
person over 65 living alone. About 70 percent are female-headed households and 30 percent
are male-headed. There may be opportunities among these households for home sharing and
accessory dwelling unit (ADU) development. This can provide financial benefits, social benefits,
and an added sense of security, as well as housing opportunities for low- and moderate-income
workers or other retirees in the community.
At the same time, the City should anticipate an increase in homeowners seeking to adapt their
homes to facilitate aging in place. This would include addition of ramps, handrails, kitchen and
bath retrofits, and interior changes that improve access for wheelchairs and walkers. The
Rolling Hills housing stock is well suited for these improvements, as it is limited to single story
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construction. Demand for on-site caregiver quarters, and living space for other domestic
employees, will likely increase. At the same time, the substantial cost and demand associated
with maintaining a large home and property may compel some residents to seek living
arrangements that are not currently available in Rolling Hills, such as condominiums and
townhomes. Some of these residents will relocate out of Rolling Hills due to diminished mobility
(capacity to drive) or the need for higher levels of care.
Because of resource limitations and the city’s small size, the City of Rolling Hills does not
provide direct services to seniors. It works with other agencies, non-profits, and the private
sector to address the housing needs of local seniors, and to connect residents with service
providers. This includes maintaining a comprehensive list of facilities and service providers at
City Hall, and a dedicated page on the City’s website listing available services for seniors.
Rolling Hills has partnered with other Peninsula cities and local non-profits to produce a Senior
Resources Guide for the Palos Verdes Peninsula.
Nearby local services include:
• Palos Verdes Peninsula Village, located in Rolling Hills Estates, provides social and
educational activities, transportation, and advocacy for seniors in the vicinity. They
provide trained volunteers to assist with routine home maintenance activities, computer
troubleshooting and set-up, and other day to day activities.
• PV Peninsula Transit Authority Dial-A-Ride, which provides services for persons 62 or
older on the Peninsula, and free taxis for medical appointments in the South Bay area.
• Peninsula Seniors, a non-profit 501(c)(3) that has served the four cities on the Palos
Verdes Peninsula (including Rolling Hills) since 1982. They primarily provide social
activities, health and wellness programs, special events, and educational programs.
• Volunteer block captains within Rolling Hills, providing wellness checks for seniors as
well as emergency preparedness and response.
• Homeshare South Bay matches seniors and others in the community with local housing
opportunities. Homeshare South Bay is a project of the South Bay Cities Council of
Governments, which includes Rolling Hills.
• HELP (Health Care and Elder Law Programs) is a Torrance-based organization that
provides counseling to area seniors on elder care, finance, law, and consumer
protection. The organization is dedicated to empowering older adults and their families.
• Palos Verdes Peninsula Library District and the Peninsula Center Library (in Rolling Hills
Estates) provides programs and resources for seniors.
• There are senior centers in the nearby communities of Torrance, Carson, Wilmington,
Harbor City, San Pedro, Manhattan Beach, Redondo Beach, Hawthorne, and El
Segundo.
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In addition, the Rolling Hills Community Association (RHCA) created a “Needs of Seniors”
Committee in 2014 to address the needs of aging Rolling Hills residents. The Committee
collects information and makes recommendations to the RHCA Board. Their recent efforts have
focused on transportation, health and wellness, home improvement and maintenance, and social
events.
3.4.2 Persons with Disabilities
The number of disabled residents is increasing nationwide due to increased longevity and the
aging of the population. Physical and mental disabilities can hinder access to housing as well as
the income needed to pay for housing. Those with disabilities often have special housing needs
related to their limited earning capacity, higher health care costs, mobility or self-care limitations,
or need for supportive services.
The Census recognizes six disability types in its data tabulation: hearing, vision, cognitive,
ambulatory, self-care, and independent living. These categories are not mutually exclusive and
disabled residents may have more than one of these conditions. Current ACS data (2015-2019)
for Rolling Hills indicates that 10.6 percent of the City’s population has one or more disabilities.
This compares to 8.1 percent in the 2000 Census, with the increase attributable to the greater
number of older adults. Rolling Hills has a slightly higher percentage of disabled residents than
the county as a whole, with the ACS reporting that 9.9 percent of Los Angeles County’s
residents were disabled in 2020.
The city’s older residents are more likely to be disabled than its younger residents. ACS data
shows 23 percent of all residents over 65 have one or more disabilities, whereas only 5.5
percent of those aged 18-64 have one or more disabilities and only 1.4 percent of those under
18 have disabilities. The “over 75” population has the greatest incidence of disability, with 33.8
percent affected.
Table 3.132 shows the incidence of disabilities among persons in different age groups in Rolling
Hills. The most common disabilities are ambulatory (movement), with older adults most
impacted. There were 103 residents reporting an ambulatory difficulty, 66 of whom were over
75. There were 56 residents reporting a hearing difficulty, 46 of whom were over 75. Cognitive
difficulties were more likely to affect the younger population (particularly 18-34). This was the
only category where rates among older adults were lower than among younger age cohorts.
Table 3.123: Percent of Rolling Hills’ Residents with a Disability
Disability Type Under 18 18-64 Over 65 Total
Hearing Difficulty 0 1.0% 10.0% 3.7%
Vision Difficulty 0 1.0% 2.6% 1.3%
Cognitive Difficulty 1.5% 2.3% 2.0% 2.1%
Ambulatory Difficulty 0 2.9% 16.5% 6.9%
Self-care Difficulty 0 0.5% 6.0% 2.3%
Independent Living Difficulty N/A 2.3% 8.8% 5.0%
Source: American Community Survey, 2021 (for 2015-2019)
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There were 61 residents, including 34 residents over 75 and another 11 aged 65-74, who
indicated an independent living difficulty. This represents roughly 5 percent of the City’s
population and is comparable to the countywide average of 5.4 percent. These residents may
require daily assistance from caregivers or family members.
There is an ongoing need to adapt housing to meet the needs of those with disabilities, and to
design new homes so they are accessible for all people. This may require widened doorways
and hallways, access ramps, larger bathrooms, lowered countertops, grab bars, walk-in baths
and showers, and other design changes. It is important that planning and building codes
support such changes, and accommodate the needs of those who are disabled or become
disabled while living in the homes they currently occupy. Barrier free design is particularly
important in any multi-family housing that may be constructed in the future.
In 2020, the City of Rolling Hills amended its municipal code to provide “reasonable
accommodation” for persons with disabilities. This complies with state and federal laws and
enables those with disabilities to request modifications from standard practices or codes to meet
their housing needs.
3.4.3 Persons with Developmental Disabilities
SB 812 requires that each jurisdiction’s housing element include an analysis of housing needs
for persons with developmental disabilities. This is defined by federal law as a “severe, chronic
disability” that:
• Is attributable to a mental of physical impairment or combination of mental and physical
impairments
• Is manifested before the individual attains age 18
• Is likely to continue indefinitely
• Results in substantial functional limitations in three or more of the following areas of major
life activity:
o Self-care
o Receptive and expressive language
o Learning
o Mobility
o Self-direction
o Capacity of independent living
o Economic self-sufficiency
• Reflects the need for a combination and sequence of special, interdisciplinary, of generic
services, individualized support, or other forms of assistance that are of lifelong or extended
duration and are individually planned and coordinated.
Examples of developmental disabilities include cerebral palsy, epilepsy, and autism. Many
developmentally disabled persons can live and work independently. More severely disabled
individuals may require a group living environment with training and supportive services. The
most severely disabled individuals may require an institutional environment where medical
services and physical therapy are provided. Because developmental disabilities exist in
childhood, the transition from living with one’s family to living independently is an important
consideration in meeting local housing needs.
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Data on the number of persons with developmental disabilities is maintained by the California
Department of Developmental Services (DDS). DDS coordinates the efforts of a network of 21
non-profit regional centers around the state and provides funding for a variety of programs and
services. Rolling Hills is served by the Harbor Regional Center, which is located in Torrance.
The Harbor Center serves over 15,000 people with developmental disabilities, with a service
area that includes Long Beach, the South Bay, the Palos Verdes Peninsula, and other parts of
southern Los Angeles County. About half are children and half are adults.
Data from the DDS is provided by ZIP code. Rolling Hills city represents 7.4 percent of the
25,061 residents in ZIP code 90274. The last available report posted by DDS on their website
(June 2017) indicates 154 clients served in 90274, including 65 under age 18 and 89 over age
18. If Rolling Hills’ share of the total is pro-rated, this would be equivalent to 12 clients, including
five children and seven adults. ZIP code data is also disaggregated by the type of housing
occupied by clients. The data indicates that 149 clients in ZIP Code 90274 live with their
families or guardians and “fewer than 11” clients live in supported living, care facility, or foster
home environments. Overall, about 87 percent of the Harbor Center’s clients live with their
families.
The Harbor Regional Center is an important resource for those with developmental disabilities,
and their families. It provides health assessments, advocacy, family support and training,
individual case management and support, early intervention and prevention services, and
assistance in finding stable and secure independent living arrangements. Additional resources
in the area include the Disability Community Resource Center in Torrance and Southern
California Resources Services for Independent Living.
3.4.4 Female-Headed Households with Children
Single-parent households require special consideration and assistance because of their greater
needs for day care, health care, and other facilities. In particular, female-headed households
with children tend to have lower incomes, thus limiting housing affordability for this group. In
most communities, female-headed households are considered to be at greater risk of
displacement, poverty, and housing overpayment.
The 2019 ACS indicates that there were five single parent female households with children in
Rolling Hills, representing less than one percent of the City’s households. The comparable
figure for Los Angeles County was 5.1 percent, as the composition of households is substantially
more diverse at the countywide level.
ACS data for the small number of female-headed households with children in Rolling Hills may
not be entirely reliable due to the small sample size. Nonetheless, the data indicate that these
households were above the poverty level, and did not receive supplemental security income,
SNAP/food stamps, or other public assistance income in the past 12 months.
Because the very small number of female-headed households in Rolling Hills, as well as their
income characteristics, they are not expected to have special housing needs that require City
programs.
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3.4.5 Large Households
Large households are defined as those with five or more members. Such households are
identified in State housing law as a group with special housing needs based on the limited
availability of adequately sized, affordable housing units. In instances where large households
have lower incomes, they may be more likely to live in overcrowded dwelling units or in units
that are substandard. The problem is more acute for large households who are renters, who
may face the added risk of eviction or displacement.
Table 3.143 shows data on household size in Rolling Hills. The data is broken down for family
and non-family households. About 12.3 percent of all households in Rolling Hills have five or
more members, including 2.6 percent with seven or more members. All of these households
are families. Countywide, 14.3 precent of all households have five or more members and 2.8
percent have seven or more members.
The average number of rooms per unit in a Rolling Hills home is 8.3, compared to 4.6 for Los
Angeles County. ACS data indicates the median annual income for large households in Rolling
Hills exceeds $250,000. Given the large home sizes in Rolling Hills, the low incidence of
overcrowding, and the relatively small percentage of large households, this is not a priority
special needs group within the city. Larger households will continue to be housed in the city’s
larger single family homes.
Table 3.143: Number of Persons in Family and Non-Family Households
Household
Size Family Percentage
Non-
Family Percentage Total Percentage
1 N/A N/A 94 87.0% 94 16.3%
2 287 61.2% 14 13.0% 301 52.2%
3 59 12.6% 0 0 59 10.2%
4 52 11.1% 0 0 52 9.0%
5 51 10.9% 0 0 51 8.8%
6 8 1.7% 0 0 8 1.4%
7 or more 12 2.6% 0 0 12 2.1%
Total 469 100.0% 108 100.0% 577 100.0%
Source: American Community Survey, 2021 (for 2015-2019)
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3.4.6 Residents Living in Poverty or With Extremely Low Incomes
Census data indicates that 1.7 percent of Rolling Hills’ population—or about 25 residents—are
below the federal poverty line. This compares to 14.9 percent for the county as a whole.
According to the 2015-2019 ACS, Rolling Hills residents living below the poverty include 14
people aged 18-59 and 11 people over 60. There are no children under 18 below the poverty
line in the city. The data further indicates that the 25 residents include 12 white non-Hispanic
persons, four Asian persons, and nine Latino persons.6
Census data indicates that only five of the residents below the poverty line are in the labor force,
suggesting that some of those tallied by the Census have other sources of income not reported
here. Census data indicates that a majority of the adults below the poverty level in Rolling Hills
are 18-34 year olds—this likely represents adult children not in the labor force who are living at
home. This is further supported by the even lower poverty rate for family households in Rolling
Hills—reported at 0.4 percent by the ACS, which is equivalent to three households.
Although Rolling Hills has a very small number of households in poverty, and some of its
extremely low income residents have supplemental sources of income, the city is located in a
region with significant very low income housing needs. In February 2021, the City amended its
zoning regulations to create the Rancho Del Mar Overlay District. Affordable housing and
emergency shelter are both permitted by right in this district, subject to specific development
standards. Single room occupancy hotels are conditionally permitted. The City also permits
home sharing, room rentals, and accessory dwelling units, all of which are beneficial to meeting
extremely low income housing needs.
3.4.7 Farmworkers
The special housing needs of farmworkers are a result of low wages and the seasonal nature of
agricultural employment. Migrant farmworkers face particular challenges, including severe
overcrowding. Farmworker needs are difficult to quantify due to fear of job loss, language
barriers, and the documentation status of the farmworker labor force.
The 2015-2019 ACS data indicates that there are no Rolling Hills residents employed in
“Farming, Fishing, and Forestry” occupations. This data further indicates that there are no
residents in the city employed in the “Agriculture, Forestry, Fishing, Hunting, and Mining” sector.
There are also no farmworker jobs in the city, as there is no agricultural land. As a result, the
City does not have active programs or policies to address farmworker housing needs.
6 As noted earlier, the ACS is based on a sample of the population (roughly 15% for the five-year period). In a small city such as
Rolling Hills, the margin of error is high, particularly for the breakdown of poverty status by age, race and ethnicity.
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3.4.8 Homelessness
Homelessness has become an increasing problem throughout California and the entire United
States. In Southern California, factors contributing to the rise in homelessness include the lack
of housing affordable to low- and very low-income persons, loss of employment and benefits—
particularly for low wage workers, health care costs and related personal disabilities, reductions
in public subsidies, increasing rates of addiction and substance abuse, and a lack of mental
health services.
State law requires that cities address the special needs of unhoused residents within their
jurisdictional boundaries. For this purpose, homelessness is defined as including individuals
who lack a fixed, regular and adequate nighttime residence, as well as individuals living in
shelters and in places not designed for sleeping. The definition does not include those living in
substandard or overcrowded housing or persons who are temporarily staying with family and
friends. Such individuals are considered to be “at risk” of homelessness.
A “point in time” count of homeless residents in Greater Los Angeles is conducted annually by
the Los Angeles Homeless Services Authority (LAHSA). In January 2020, the count identified
54,291 persons experiencing homelessness in Los Angeles County. This is an increase of about
10 percent from 2019, when the count was 49,521. It is an increase of 37 percent from 2016,
when the count was 39,587. The 2020 figures precede the onset of the COVID-19 pandemic
and its impacts on homelessness.
Data provided by the LAHSA indicates the 2020 count for the city of Rolling Hills was zero. The
count for all prior years in the survey (2016-2019) also counted no unsheltered residents in the
city. The nature of homelessness and the method of data reporting make it difficult to evaluate
the full extent of the challenge of adequately housing the entire population. While there are no
unsheltered residents in Rolling Hills, there may be residents who are temporarily staying with
friends or relatives because they lack the resources or have underlying conditions which make it
difficult to find permanent housing.
There are no emergency shelters in Rolling Hills. The closest facilities are in San Pedro and
Wilmington and are less than five miles away. Harbor Rose Lodge (San Pedro) provides
homeless support services for individuals and families in Los Angeles County, with no
geographic restrictions. It assists with temporary housing and provides support services and
referrals. Harbor Interfaith (San Pedro) provides a 90-day emergency shelter and an 18-month
transitional housing program. Also in San Pedro, Shawl House and House of Hope provide
shelter, transitional housing, counseling specifically for women. The Doors of Hope Shelter in
Wilmington also serves single women. The Beacon Light Mission in Wilmington provides a 10-
bed men’s shelter, as well as food, clothing, and supportive services to men, women, and
children.
In February 2021, the City of Rolling Hills amended its zoning regulations to allow emergency
shelter “by right” in the Rancho Del Mar Overlay Zone. The 31-acre site overlay zone includes
multiple areas of underutilized land that provide opportunities for emergency shelter or
supportive service facilities.
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The City is committed to coordinating with supportive service providers and meeting the needs
of local unhoused residents. A list of nearby social service agencies and shelters is maintained
by the City Clerk.
3.5 Housing Stock Characteristics
Government Code Section 65583(a) requires the Housing Element to describe the
characteristics of the local housing stock, including structural condition. This section of the
Element provides an overview of Rolling Hills’ housing stock, including the age of structures, the
types of structures, the number of bedrooms, and vacancy characteristics. It also includes
information on home values and rents.
3.5.1 Housing Unit Count
The US Census reported 674 housing units in the city in 1990, 675 units in 2000, and 693 units
in 2010 (see Chart 3.5). The California Department of Finance estimated 719 units in the city as
of 2021. However, the August 12, 2021 data release from the 2020 Census indicates the total
unit count is 702, which is more consistent with City records. The net number of housing units
in the city has increased at a rate of about one unit a year for the last 30 years.
While the increase in units has been nominal, additional residential development has been
occurring through the replacement and expansion of existing single family homes. Much of
Rolling Hills was developed in the 1950s and was typified by 2,000 to 4,000 square-foot ranch
style homes. As in many desirable older communities, the original housing stock is gradually
being replaced with much larger units. These units average 6,000 to 9,000 square feet in size,
according to City building permit records. This trend of residential recycling can be expected to
continue and potentially increase as less vacant land is available for development.
Chart 3.5: Total Number of Housing Units in Rolling Hills, 1990-2020
0
100
200
300
400
500
600
700
800
674 675 693 702
1990 2000 2010 2020
Source: Census 1990,
2000, 2010, 2020
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Chart 3.6: Year of Construction for Rolling Hills Homes
3.5.2 Age and Condition of Housing Stock
Chart 3.6 shows the age of the housing stock in Rolling Hills. About half of the housing stock in
the community is more than 60 years old. About 35 percent was built in the 1960s and 70s and
the remainder has been built in the last 40 years. About 8 percent of the city’s housing stock is
less than 20 years old—however, most of these homes are “replacements” and were built on
previously developed lots.
The older housing stock in the city is in excellent condition. Census data indicates there are no
units in the city without plumbing or kitchen facilities. The City strongly encourages
reinvestment in the existing housing stock, and homeowners take pride in their homes and
properties. Common repairs include new roofs, new siding, plaster and stucco repair, upgraded
electrical systems, and plumbing improvements. Home additions, kitchen and bathroom
upgrades, and solar energy installations are also common.
No significant code enforcement or housing problems have been observed in the city. The city
has a Code Enforcement Officer who makes complaint-based site visits. In the event a violation
is identified, the City works with the property owner to resolve the issue.
The City estimates that five units, or 0.8 percent of its housing stock, is in need of rehabilitation
or replacement. These properties include:7
• A home that has been red tagged and in need of foundation repair
• A home in a landslide area with a stop work order due to work being done without
permits
7 Addresses can be provided to HCD upon request but are not disclosed here.
Before 1950
11%
1950s
36%
1960s
21%
1970s
14%
1980s
7%
1990s
3%Post 2000
8%
Source: American Community Survey 2021
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• An older home where the owner is seeking approval to demolish and rebuild
• A home with an approved application to demolish and rebuild
• A home with an approval for a major remodel and addition
In any given year, the City also receives “tear down and rebuild” applications for one to two
older homes as well as dozens of applications to modernize, expand and update older homes.
In almost all cases, these homes are habitable, but they are outdated and do not provide the
amenities expected in high-end construction.
3.5.3 Housing Type
Rolling Hills is comprised entirely of single family homes. The 2021 ACS indicates there are no
multi-family units in the city. ACS data further indicates seven units that are “single family
attached” which presumably are accessory dwelling units (ADUs) or other separate living
quarters that are ancillary to a primary residence.
Census data does not typically classify “guest houses” as dwelling units unless they have been
legally permitted as separate residences. Rolling Hills classifies guest houses differently than
ADUs; the latter are permitted by right to be independent dwellings provided they meet certain
adopted zoning standards. By contrast, occupancy of guest houses is limited to persons
employed on the premises, the family of the occupants of the main residence, or the temporary
guests of the occupants of the main residence. Guest houses may not be used as rental
housing, but an owner may apply for a permit to convert a guest house to an ADU, which can
then be rented.
3.5.4 House Size
Homes in Rolling Hills are large. Chart 3.7 below shows the distribution by number of
bedrooms. About 74 percent of the homes in the city have four or more bedrooms. Another 21
percent have three bedrooms and only five percent have two bedrooms or fewer. By contrast,
among homes in Los Angeles County as a whole, 16 percent of all housing units have four or
more bedrooms and 56 percent have two bedrooms or fewer.
Data for total house size shows a similar difference between Rolling Hills and the County as a
whole. Countywide, the median number of rooms per home is 4.5. It Rolling Hills, it is 8.3. Only
4.7 percent of the homes in Los Angeles County have nine or more rooms. In Rolling Hills, 46
percent of the homes have nine or more rooms.
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Chart 3.7: Percent of Housing Units by Number of Bedrooms, Rolling Hills and Los Angeles
County
Source: American Community Survey 2021 (for 2015-2019)
0.0%0.8%
4.4%
20.7%
39.8%
34.3%
7.1%
19.7%
29.4%28.3%
12.3%
3.3%
0.0%
5.0%
10.0%
15.0%
20.0%
25.0%
30.0%
35.0%
40.0%
45.0%
No bedrooms 1 bedroom 2 bedrooms 3 bedrooms 4 bedrooms 5 or more
bedrooms
Rolling Hills Los Angeles County
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3.5.5 Vacancy Characteristics
The August 12, 2021 data release from the US Census indicates that 63 of the city’s 702 homes
were vacant at the time of the 2020 Census. This is a nine percent vacancy rate. By contrast,
2020 Census data indicates that the vacancy rate for the Palos Verdes Peninsula as a whole was
about five percent. Countywide, ACS data indicates that six percent of the housing stock in Los
Angeles County is vacant.
ACS data provides an indication of the characteristics of vacant units in Rolling Hills. The ACS
reports that 30 percent of the vacant units in the city were for sale, 26 percent were used
seasonally (and were not occupied at the time of the census), and five percent were for rent.
The remainder were classified as “other.” ACS data further indicates that the vacancy rate
among for-rent units was three times higher than the vacancy rate among for-sale units,
although the sample size is very small.
In 2010, the Census reported that 5 percent of the homes in the city were vacant, indicating a
significant increase between 2010 and 2020. The higher vacancy may be a result of changes in
the housing market, including significantly higher home prices, and an increase in the number of
homes that are used seasonally. The city’s housing market serves a unique market niche.
3.5.6 Home Values and Prices
A variety of sources were used to analyze housing market prices and trends in Rolling Hills,
including on-line real estate data vendors, current real estate listings, and the US Census.
According to on-line real estate service Zillow.com, the median value of a home in Rolling Hills is
$3,733,468. Rolling Hills home values have gone up 19.7% over the past year. Chart 3.8
compares the local median home value with values in the three other Palos Verdes Peninsula
cities and with Los Angeles County as a whole. Homes in Rolling Hills are valued at 50 percent
higher than those in Palos Verdes Estates ($2.45 M), 126 percent higher than those in Rancho
Palos Verdes ($1.65M), and over four times higher than the countywide median ($790,000).
The ACS 2021 data indicates that 95 percent of all homes in Rolling Hills have a value of over
$1,000,000. The Census-reported median is over $2 million, which is the highest interval on the
Census scale. The ACS shows the median in Los Angeles County at $583,200. This is
substantially lower than the Zillow data, which is only based on homes recently sold.
The website realtor.com indicates that the average time on the market for a home in Rolling Hills
in July 2021 was 120 days. However, the sample size is small, and similar data for earlier in the
year indicates a median sale time of 45 days (December 2020 and January 2021). Realtor.com
indicates that homes in the city sold for 4.98 percent below asking price in July 2021. This figure
is highly variable depending on market listings at any given time.
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In July 2021, there were 14 homes for sale in Rolling Hills (including properties with pending
offers). These ranged in size from a 1,467 square foot home to a 13,000 square foot home.
Prices ranged from $2,499,000 to $15,975,000. The median price was $5.02 million and the
mean was $6.15 million. This is substantially higher than the average for surrounding cities on
the Palos Verdes Peninsula and in Los Angeles County. The higher priced homes were typically
new construction, while the two lowest priced homes were built in 1954 and 1957.
Data on rentals in the city is more difficult to characterize because the number of available
properties is so small. In July 2021, there was only one home being advertised for rent in the
city. The asking monthly rent was $16,000. The property has five bedrooms, seven bathrooms,
and is 5,035 square feet. Zillow also reported a 2-bedroom, 1-bath detached 1,000 square foot
accessory dwelling unit for rent for $3,950. In addition, two ADUs were being advertised on
Craigslist (listed as Rolling Hills but likely in Rolling Hills Estates or Rancho Palos Verdes). One
was a 500 square foot studio for $1,250 and the other was a 400 square foot guest house for
$1,800. The Census indicates that seven of the renter households in the City pay less than
$1,500 a month in rent, and the remainder pay more than $3,000 a month.
Chart 3.8: Home Prices in Rolling Hills, Peninsula Cities, and Los Angeles County, 2012-2021
Source: Zillow.com, 2021
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Table 3.154: Homes for Sale in Rolling Hills, July 2021
Asking Price Square Footage
Cost per
Square Foot
Year
Constructed
$15,975,000 7,136 $ 2,239 2016
$11,100,000 13,000 $ 854 2007
$8,765,000 5,100 $ 1,719 1951
$7,750,000 4,000 $ 1,938 1968
$7,499,000 8,000 $ 937 2002
$5,800,000 4,453 $ 1,302 1986
$5,795,000 5,884 $ 985 1956
$4,250,000 4,101 $ 1,036 1941
$4,200,000 3,527 $ 1,191 1940
$3,950,000 5,560 $ 710 1989
$3,495,000 3,414 $ 1,024 1947
$2,630,000 3,444 $ 764 1974
$2,500,000 1,467 $ 1,704 1957
$2,499,000 1,752 $ 1,426 1954
MEAN: $6,150,000 $1,273
MEDIAN: $5,020,000 $1,030
Source: Realtor.com, Trulia, Zillow, 2021
Table 3.154 indicates the cost per square foot of those homes currently for sale in Rolling Hills,
along with the asking price, square footage and year of construction. The median cost per
square foot is $1,030, which is substantially higher than the statewide median of $438 per
square foot. Cost per square foot ranged from $710 to $2,239.
3.5.7 Units at Risk of Conversion from Affordable to Market Rate
State law requires the City to identify, analyze and propose programs to preserve any deed-
restricted lower-income housing that could be lost as these deed restrictions expire. However,
there are presently no low-income or income-restricted units in Rolling Hills. As a result, there is
no housing at risk of losing its subsidized status.
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3.6 Future Housing Needs
3.6.1 2021-2029 Regional Housing Needs Allocation (RHNA)
The eight-year housing need for the six-county Southern California region is calculated by the
California Department of Housing and Community Development (HCD). This need was
determined to be 1,341,827 units for the 2021-2029 Sixth Cycle planning period. The total
regional need represents a 225 percent increase over the need calculated for the 2013-2021
Fifth Cycle.
The total regional need is disaggregated to the six counties and 191 cities in the region by the
Southern California Association of Governments (SCAG) through a process known as the
Regional Housing Needs Allocation (RHNA). About 60 percent of the regional need was
assigned to Los Angeles County, which had 53 percent of the region’s population in 2020.
Concentrating the RHNA in Los Angeles County is a response to the greater availability of
transit, urban services, and housing need within the core of the region. If the 1.3 million unit
need was fully constructed, it would represent a 20 percent increase in the region’s housing unit
count in eight years.
The City of Rolling Hills was allocated 45 units of the countywide total, or about .006 percent.
Allocations for nearby cities on the Palos Verdes Peninsula were 191 for Rolling Hills Estates,
199 for Palos Verdes Estates, and 639 for Rancho Palos Verdes. As shown in Table 3.165,
these allocations are significantly higher than they were in the Fifth Cycle, particularly when
compared to the county and region. This represents a shift in the methodology used to allocate
units, with less consideration given to growth potential as defined by local governments and
more consideration given to population, proximity to job centers, and equity factors. Despite
the large increases compared to the last cycle, the RHNA targets for the four Peninsula cities
combined represent one-tenth of one percent of the countywide allocation. The RHNA for each
of the four cities is equal to between four and six percent of each city’s existing housing stock,
compared to 20 percent for the region.
Table 3.165: RHNA by City and Comparison to Fifth Cycle
Jurisdiction
5th Cycle
RHNA
6th Cycle
RHNA
Percent
Increase,
5th to 6th
Cycle
Existing
(2021)
Housing
Units
6th cycle RHNA
as percentage
of existing
inventory
Rolling Hills 6(*) 45 650% 702 6%
Rolling Hills Estates 5 191 3720% 3,157 6%
Palos Verdes Estates 16 199 1144% 5,303 4%
Rancho Palos Verdes 31 639 1961% 16,340 4%
Los Angeles County 179,881 812,060 351% 3,614,809 22%
SCAG Region 412,137 1,341,827 226% 6,679,283 20%
Source: SCAG 2012 and 2021, plus DOF Table E-5 and US Census 2020
(*) In addition to planning for its 5th Cycle allocation, the 2015-2023 Rolling Hills Housing Element includes the 4th Cycle allocation of
22 units, which was carried over. The 45- unit assignment is a 60 percent increase over the prior 28 unit two-cycle total.
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The 6th Cycle allocation by income group is shown in Table 3.167. In Rolling Hills, about 64
percent of the RHNA is for low and very low income households. The figure is comparable to
the other cities on the Palos Verdes Peninsula (ranging from 62 to 65 percent). In Los Angeles
County, only 42 percent of the assigned need is for low and very low income households, and
regionally, it is 41 percent. The greater allocation of lower income housing to the Peninsula cities
reflects the statewide and regional focus on encouraging fair housing and discouraging
economic segregation.
Table 3.167: Comparison of 6th Cycle RHNA by Income Category
Jurisdiction
Very Low %
of total
Low % of
total
Moderate %
of total
Above
Moderate %
of total
Rolling Hills 44% 20% 24% 11%
Rolling Hills Estates 43% 22% 20% 15%
Palos Verdes Estates 41% 22% 24% 13%
Rancho Palos Verdes 40% 22% 20% 19%
Los Angeles County 27% 15% 16% 42%
SCAG Region 26% 15% 17% 42%
Source: SCAG, 2020
The City’s “very low” income housing allocation for 2021-2029 is 20 units. The State
Government Code requires that this total be further allocated between “extremely low” income
households (earning less than 30% of areawide median income) and other “very low” income
households (earning 30-50% of areawide median income). This distribution may be based on
Census income data showing the current percentages of households in these two categories.
According to the most recent HUD Comprehensive Housing Affordability Strategy data, there
are 65 very low income households in Rolling Hills. CHAS indicates 25 are extremely low
income and 40 are very low income. Applied to the 20 unit RHNA, these proportions equal
roughly 7 extremely low income units and 13 other very low income units.
3.6.2 Growth Forecasts
As the regional planning agency for the Los Angeles region, SCAG is responsible for preparing
jurisdiction-level forecasts for each city and county in the region. The latest forecasts were
adopted in September 2020 and describe conditions in a base year (2016) and forecast year
(2045). The six-county region as a whole is expected to grow from 6.012 million households
(2016) to 7.633 million households (2045), an increase of over 1.3 million households in the 29-
year period. Average household size is projected to decline from 3.1 to 2.9 during this period.
SCAG forecasts indicate that Rolling Hills growth will be flat during through 2045. The latest
published forecasts (Connect SoCal Demographics and Growth Forecast, September 2020)
show 700 households in 2016 and 700 households in 2045. However, the numbers are rounded
to the nearest hundred and it is likely that some marginal change will occur. Population over the
equivalent period is shown as increasing from 1,900 to 2,000, a growth rate of about 5 percent
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over 29 years. As noted on page 3.1, the 2020 Census indicates the City lost over 100 residents
between 2010 and 2020, so the SCAG forecasts will need to be adjusted in the future. An
increase of 100 residents would bring the City closer to its 2010 total of 1,860 residents.
3.6.3 Locally Identified Needs
While Rolling Hills is obligated by the Government Code to identify capacity for 29 low and very
low income units and to develop programs to meet this need, the City also has an opportunity to
tailor its housing programs to meet local needs. Based on the Assessment in this chapter, some
of the key findings regarding local needs are:
• The City has a large and growing population of seniors. Some of these residents are on
fixed or limited incomes and face relative high housing costs, including home
maintenance, property taxes, HOA dues, utilities, etc. These residents could benefit
from more senior housing options, ranging from fully independent to assisted living.
• Although there are very few people who list Rolling Hills as their permanent place of
employment, the City supports a relatively large population of service workers, including
caregivers, domestic employees, child care workers and au pairs, landscapers and
gardeners, and others in construction and home maintenance. In addition, there are
public sector workers, firefighters, and teachers/counselors (at Rancho Del Mar)
employed within the city, with incomes that are far below what would be required to buy
a home in Rolling Hills. A limited number of affordable rental units serving these workers
could reduce commute lengths and vehicle miles traveled.
• Adult children of Rolling Hills residents (particularly those in the 18-30 age range) have
limited housing options in the city, other than remaining at home. ADUs could provide
additional options.
• The City’s housing stock is well suited to ADUs and home sharing. More than two-thirds
of the non-vacant housing units in the city have only one or two occupants, despite
homes that are substantially larger than the regional average. There are also 300 fewer
residents in Rolling Hills today than there were 50 years ago, despite larger homes and
more square feet of living space. Additional residents would have a lower impact on
infrastructure, services, and the environment if accommodated in the footprint of existing
homes as opposed to new construction.
• Creating an ADU or deciding to share one’s home is a personal choice and is entirely at
the discretion of the homeowner. However, the City can create incentives that make it
easier and more affordable for homeowners to consider this option.
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4.0 Housing Opportunities and Resources
4.1 Introduction
This section of the Housing Element evaluates potential opportunities to meet the City’s
Regional Housing Needs Allocation (RHNA). It includes an inventory of potential housing sites in
the city and an evaluation of Accessory Dwelling Unit (ADU) and Junior ADU potential. The
analysis in this section demonstrates that Rolling Hills has the capacity to accommodate its
RHNA assignment of 45 additional housing units, including 29 units that are affordable to low
and very income households.
Two other topic areas are covered in this chapter. As required by State law, this chapter
discusses opportunities for energy conservation in the city. Reducing energy costs can reduce
overall housing costs, contributing to affordability. This chapter also identifies potential financial
resources to support the provision of affordable housing and the maintenance of existing
housing in the city.
4.2 Approved or Pending Development
There are 12 housing units in the city that are approved or pending and not yet constructed. All
of these units are expected to become available for occupancy during the 2021-2029 period and
therefore count toward meeting the RHNA. These units include three market-rate single family
homes and nine ADUs. These units are listed in Table 4.1 below, including an assignment of
each unit by income category.
Table 4.1: Committed Development for the 2021-2029 RHNA period
ID Assessor’s Parcel
Number (APN)
Address Description Income Category
A 7567-011-020 23 Crest Road E New SF home on vacant lot Above Moderate
B 7567-001-018 1 Poppy Trail New SF home on vacant lot Above Moderate
C 7569-020-004 8 Middleridge Ln S. New SF home on vacant lot Above Moderate
D 7567-011-020 23 Crest Road E ADU (1000 SF) Above Moderate
E 7569-001-031 2950 Palos Verdes N ADU (1000 SF) Above Moderate
F 7569-026-008 13 Buggy Whip Dr. ADU (997 SF) Above Moderate
G 7569-023-006 33 Crest Road W ADU (946 SF) Above Moderate
H 7569-026-012 27 Buggy Whip Dr. ADU (800 SF) Moderate
I 7567-006-036 23 Chuckwagon ADU (800 SF) Moderate
J 7567-005-028 79 Eastfield Dr. ADU (799 SF) Moderate
K 7567-014-022 23 Georgeff Road ADU (620 SF) Low
L 7567-008-009 63 Crest Rd E ADU (580 SF) Low
Sources: US Decennial Census, 1970-2010. California Dept. of Finance, 1/1/21 estimate, 2020 Census (8/12/21 release)
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The assignment of the ADUs by income category is based on the size of the unit. Units larger
than 800 SF are presumed to be “above moderate”; units 650-800 SF are presumed to be
“moderate”; units 500-650 SF are presumed to be “low”; and units smaller than 500 SF are
presumed to be “very low.” This is based on local rental data for comparably sized ADUs (see
Section 4.6 and the footnote below).1
4.3 Vacant Sites
Table 4.2 identifies vacant residentially zoned sites in Rolling Hills. These sites are shown
graphically on Figure 4.1. For each site, the table indicates the theoretical number of units
permitted by zoning (based on acreage and minimum lot size requirements) and the “realistic”
number of units based on lot configuration, access, and terrain.2 Some of the vacant parcels are
characterized by physical constraints that preclude their development, including steep or
unstable slopes or landslide hazards. A few are landlocked and have no access. The acreage
data for each site is based on assessor parcel maps and subtracts out unbuildable easements
such as flood hazard areas and roads.
There are 34 parcels identified totaling, 124.8 acres. All of these parcels are in private
ownership. Twenty are estimated to be developable and 14 are severely constrained and
presumed undevelopable for the 2021-2029 planning period. The constrained parcels include
five lots that are landlocked with no street frontage and nine that are in the Flying Triangle
Landslide Hazard Overlay area. Several of the lots in the landslide area had homes that were
destroyed by earth movement in the 1980s and early 1990s.
For the 20 remaining vacant lots, Table 4.2 indicates the “realistic” potential for 20 single family
homes. This excludes accessory dwelling units, which are addressed later in this chapter.
1 In this case, the assignment of two smaller units as “low” income is further supported by the fact that they are both
conversions of existing structures rather than new construction. This facilitates greater affordability.The City is
presuming that the two smallest ADUs listed in Table 4-1 will be affordable “by design” to lower income households.
ADU permits were issued for these two units on October 27, 2020 and May 20, 2021 respectively. Both of these
projects involve converting existing two-story stables (located on two separate parcels about a mile apart) into ADUs
of approximately 600 square feet each. Neither of these units has a finaled building permit yet. Given the eight year
timeframe of the Housing Element, both units are expected to be completed before 2029.
These are market rate units. The assumption that they will be affordable to low-income households is based on the
size of the units and the fact that they are being created by repurposing existing space rather than building new
space, which presumably would cost more. Current HCD income limits for Los Angeles County indicate that the
upper end of the low-income range for a two-person household is $75,700. At 30 percent of household income,
monthly housing costs would need to be $1,892 to be considered affordable. The City’s survey of comparable
properties in 2021 found that ADUs of 400 to 600 square feet in the Palos Verdes Peninsula sub-market were renting
for $1,800 per month or less. The two new ADUs are presumed to rent at comparable rates. Moreover, SCAG’s ADU
survey for Los Angeles County found that 60% of all ADUs in the region could be presumed affordable to lower
income households. As these two ADUs are the smallest of the nine that are listed in the Housing Element (see Table
4-1), it is reasonable to presume they would fall in this range.
2 Excludes additional units that could be permitted under SB 9.
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Table 4.2: Vacant Residentially Zoned Sites (sorted by APN) (see note at end of table)
Site APN Address or Location Zoning General
Plan
Acres
(*)
Theoretical
Unit Yield
Realistic
Yield, excl.
ADUs
Comments
1 7567-006-001 15 Chuckwagon Road RAS-1 LDR 2.27 2 1
2 7567-006-014 Behind 6 Chesterfield RAS-1 LDR 1.22 1 0 Landlocked (no road access)
3 7567-009-007 5 Southfield Drive RAS-1 LDR 1.61 1 1
4 7567-010-013 East of 3 Packsaddle Rd W RAS-1 LDR 1.24 1 1
5 7567-010-015 North of 3 Packsaddle Rd W RAS-1 LDR 1.49 1 0 Landlocked (no road access)
6 7567-011-017 54 Portuguese Bend Road RAS-2 VLDR 2.67 1 0 Severely constrained - slide hazards
7 7567-012-019 SW of 56 Portuguese Bend RAS-2 VLDR 0.96 1 0 In landslide hazard area
8 7567-012-020 53 Portuguese Bend Road RAS-2 VLDR 1.46 1 0 In landslide hazard area
9 7567-012-026 4 Wrangler Road RAS-2 VLDR 1.82 1 0 Severely constrained - slide hazards
10 7567-012-035 66 Portuguese Bend Road RAS-2 VLDR 1.64 1 0 Severely constrained - slide hazards
11 7567-012-036 64 Portuguese Bend Road RAS-2 VLDR 1.71 1 0 Severely constrained - slide hazards
12 7567-012-038 62 Portuguese Bend Road RAS-2 VLDR 1.84 1 0 Severely constrained - slide hazards
13 7567-013-005 End of Portuguese Bend Rd RAS-2 VLDR 19.81 1 0 Flying Triangle Landslide
14 7567-013-007 2 Running Brand RAS-2 VLDR 7.09 1 0 Severely constrained - slide hazards
15 7567-014-005 West of 5 El Concho Ln RAS-1 LDR 2.12 2 0 Landlocked (no road access)/ canyon
16 7567-014-011 West of 24 Georgeff Rd RAS-1 LDR 1.66 1 0 Landlocked (no road access)/ canyon
17 7567-014-013 North of 27 Georgeff Rd RAS-2 VLDR 3.79 1 0 Landlocked (no road access)/ canyon
18 7567-014-031 Access b/w 1 and 3 Poppy Tr. RAS-2 VLDR 6.85 3 1 Rear of 8 Reata Lane
19 7567-015-036 North of 1 Georgeff RAS-2 VLDR 4.56 2 1
20 7567-017-017 Between 4 and 5 Ranchero RAS-2 VLDR 3.52 2 1 Access at end of Ranchero cul-de-sac
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Table 4.2, continued
Site APN Address or Location Zoning General
Plan
Acres
(*)
Theoretical
Unit Yield
Realistic
Yield, excl.
ADUs
Comments
21 7567-017-045 17 Cinchring Rd RAS-1 VLDR 1.52 1 1 Driveway access b/w 15 and 20 Cinchring
22 7569-001-020 B/w 2954 and 2958 PV Dr N RAS-1 LDR 1.03 1 1
23 7569-001-036 B/w 6 and 14 Roadrunner RAS-1 LDR 1.00 1 1
24 7569-004-026 B/w 35 and 45 Saddleback RAS-1 LDR 3.39 3 1
25 7569-005-008 80 Saddleback RAS-1 LDR 6.52 6 1 This parcel is currently for sale
26 7569-012-022 W of 25 Portuguese Bend RAS-2 VLDR 2.30 1 1
27 7569-012-025 N of 25 Portuguese Bend RAS-2 VLDR 3.51 1 1
28 7569-013-017 North of 10 Pine Tree Lane RAS-2 VLDR 2.41 1 1 One of three adj. vacant lots
29 7569-013-018 South of 18 Pine Tree Lane RAS-2 VLDR 2.20 1 1 One of three adj. vacant lots
30 7569-013-020 18 Pine Tree Lane RAS-2 VLDR 2.13 1 1 One of three adj. vacant lots
31 7570-024-019 Storm Hill Lane, Parcel 1 RAS-2 VLDR 6.04 3 1 7.6 ac parcel with 1.6 acres of easements
32 7570-024-020 Storm Hill Lane, Parcel 2 RAS-2 VLDR 11.64 5 1 34.7 ac parcel with 23 acres of easements
33 7570-024-021 Storm Hill Lane, Parcel 3 RAS-2 VLDR 10.10 5 1 17.3 ac parcel with 7.2 acres of easements
34 7570-025-022 N/ end of Johns Canyon Road RAS-2 VLDR 1.68 1 1
TOTAL 124.8 57 20
Sources: Barry Miller Consulting, 2021; LA County GIS Portal, 2021
(*) Acreages generally exclude unbuildable easements
Note: This is a roster of existing vacant residentially zoned land in Rolling Hills. No changes to the zoning of these parcels is proposed, and no specific projects are proposed on these
sites. Future development applications on these properties would be subject to environmental review or applicable exemptions, consistent with the requirements of California
Environmental Quality Act.
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Figure 4.1: Vacant Residentially Zoned Sites
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Several of the sites, such as those on Storm Hill Lane, are quite large and could potentially be
subdivided. However, the “realistic” estimates are intended to be conservative and do not
presume subdivision of any of the sites. These estimates also reflect the absence of sewer
services on these sites, their very steep topography, and the severe risk of wildfire.
The vacant lots have the potential to completely meet the regional need for above moderate
income units assigned to Rolling Hills. As noted, this need is five units for the 6th Cycle. Since
three new single family homes are already in the pipeline (see Sec 4.2), the remaining need is
two units. Several of the vacant sites are currently for sale, making it likely that the City will
exceed its above moderate income allocation for 2021-2029.
Table 4.2 indicates the General Plan and zoning designations for each vacant site. Of the
developable parcels, eight are in the RAS-1 zone (one acre minimum) and 12 are in the RAS-2
zone (two-acre minimum). No zoning changes are proposed or required to meet the above
moderate income or moderate income allocations.
4.4 Lot Splits
There are a number of parcels in Rolling Hills with lot sizes that are more than double the
minimum acreage required by zoning. Some of these parcels could theoretically be subdivided
into two or more lots. Moreover, SB 9 (effective January 1, 2022) includes provisions to allow
single family lots to be divided to allow new homes.
The potential for lot splits in Rolling Hills is very limited due to the configuration of the lots as
well as environmental hazards, evacuation constraints, and the lack of a sewer system. Many of
the city’s larger lots have limited street frontage and irregular dimensions that would make it
difficult to divide them. Moreover, the platting pattern responds to topography, and the larger
lots are often steep and geologically constrained, making them difficult to subdivide. Their
division could result in lots with no buildable area, street frontage, or access.
Although a limited number of new homes could conceivably occur as a result of future lot splits,
a capacity estimate has not been made due to the constraints inherent in the community’s
topography and hazards. In addition, the reliance on septic tanks makes subdivision infeasible
from a public health perspective, even on many larger lots. The supply of vacant lots is
sufficient to meet the above moderate income RHNA without relying on lot splits.
4.5 Non-Vacant Sites
While Rolling Hills’ above moderate income (or “market rate”) RHNA can be met on vacant
residentially-zoned land, the City’s moderate, low, and very low income RHNA will need to be
accommodated through a combination of development on non-vacant sites and accessory
dwelling units (ADUs). The text below addresses non-vacant sites. ADUs and Junior ADUs
(JADUs) are discussed in Section 4.6.
The sites described below provide the potential for 16 units of low- and very low-income
housing. This potential is associated with the 31-acre Palos Verdes Peninsula Unified School
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District (PVPUSD) site, where an overlay zone was created in 2021 to facilitate affordable
housing. Other non-vacant properties addressed here are the City Hall complex, the Tennis
Court Facilities, the Los Angeles County Fire Station, and the Daughters of Mary and Joseph
Retreat Center parking lot. These properties have been determined to not be viable as potential
housing sites. Non-vacant housing sites are shown in Figure 4.2.
4.5.1 PVPUSD Site/ Rancho Del Mar Overlay Zone (APN 7569-022-900)
In March 2021, the City of Rolling Hills adopted the Rancho Del Mar Overlay Zone on the 31-
acre Palos Verdes Peninsula Unified School District (PVPUSD) property located at 38 Crest
Road. Although the site is technically non-vacant, roughly three-quarters of the property (23
acres) is open space. The remaining areas are underutilized and could be repurposed.
Appendix B of this Housing Element provides a detailed evaluation of the site, demonstrating
that it is the most suitable location for multi-family housing in Rolling Hills. The site also provides
the City’s best opportunity to meet its requirements for low- and very low-income units. It is
located outside the jurisdiction of the Rolling Hills Community Association, outside the Rolling
Hills security gates, and is one of the largest properties in the city. It includes multiple areas that
are vacant and underutilized, relatively flat, and well buffered from adjacent uses. The site is
also one of the only properties in Rolling Hills that is served by a public sewer system. This
substantially reduces multi-family development costs and addresses an infrastructure constraint
that makes affordable housing cost-prohibitive in almost all of the city. The site is also ½ mile
from the corner of Crenshaw and Crest Roads in Palos Verdes Estates, which is served by four
bus lines.
Existing uses on the PVPUSD site include Rancho Del Mar Continuation High School and a
maintenance facility leased to the Palos Verdes Peninsula Transit Authority (PVPTA). Each of
these activities is discussed below.
Rancho Del Mar School was initially developed as an elementary school in 1960. The school
closed in 1980 and was repurposed as a continuation school in 1986. The continuation school
was initially intended as a temporary use but has been in place for 35 years. The possibility of
residential development on the site has been considered in the past. Enrollment at Rancho Del
Mar has been steadily declining and was just 32 students in the 2020-2021 school year
(California Department of Education, DataQuest). Enrollment has declined every year since
2014 and is now less than half of what it was just five years ago.3
The Beach Cities Learning (BCL) Center uses four classrooms in the school building. BCL
serves students aged 11-22 with emotional, behavioral, and learning disabilities that cannot be
addressed in public school settings. Students participate in individual and group counseling run
by licensed therapists on-site. Total enrollment in 2019-20 was 17 students, with two teachers
on-site (School Accountability Report Card, 2021).
3 California Department of Education indicates the following enrollment figures: 2020-21 (32 students); 2019-20 (46
students); 2018-19 (47 students); 2017-18 (58 students); 2016-17 (69 students); 2015-16 (72 students); 2014-15 (79
students)
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Figure 4.2: Non-Vacant Sites Evaluated
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The school building is adjoined by a lawn, playing fields, and school parking lot. The complex
serves only a fraction of the number of students for which it was designed. Moreover it
occupies just 1.9 percent of the 31-acre site. Sale of the school property could generate
significant revenue for the School District.
The only other active use on the property is the PVPTA maintenance facility, which occupies 4.5
acres. The PVPTA facilities include maintenance buildings and administrative offices and are
self-contained in the west central part of the site. While PVPTA has no immediate plans to
relocate, the site could be sold in the future or repurposed by the School District. In any event,
the facilities occupy only 15 percent of the 31-acre site and have co-existed with the nearby
school and adjacent residential uses for many years.
Roughly 75 percent of the PVUSD site is vacant, and at least five developable areas have been
identified on the campus. These include the school itself (in the event it is closed), the ballfield
east of the school, the large lawn adjacent to the school, a vacant area between the school and
the PVPTA facility, and the undeveloped area west of the PVPTA facility. Each of these areas is
at least one acre in size. The area west of the PVTPA facility is the largest of the five areas and
the one deemed most viable as a multi-family housing site. It is the closest location to Crest
Road and could easily be developed without affecting activities at either the school or the transit
facility. Accordingly, the Rancho Del Mar Overlay Zone identifies this area as the location for
future affordable housing.
The entire Rancho Del Mar site has a General Plan designation of Very Low Density Residential
and an underlying zoning designation of RAS-2. The designation permits 16 units on the site,
based on the site area of 31 acres and the density of one unit per two acres (31/2 = 15.5,
rounded up to 16). However, the General Plan (as amended in 2021) requires that the allowable
density for this site be transferred to a single location on the property where a density standard
of 20-24 units per acre applies. This is reinforced and codified by the Rancho Del Mar Overlay
Zone (RDMO). The RDMO effectively takes the 16 units of housing and transfers it to a single
location on the west side of the parcel. The RDMO further mandates that any housing built on
the site be 100% affordable to very low and/or low income households. Such development is
permitted by right, provided that the development complies with the objective development and
design standards contained in the RDMO.
The RDMO also provides opportunities for emergency shelter and single room occupancy
(SRO) hotels. Emergency shelter is permitted by right, subject to objective development
standards that have been adopted by the City. SROs require a conditional use permit and are
also subject to objective design standards. These provisions create opportunities for extremely
low income households as well as low and very low income households.
Creation of the RDMO occurred collaboratively with the School District. District staff confirmed
that there are no prohibitions on the application of this zoning overlay or the use of the property
for affordable housing. Moreover, the District has expressed interest in developing housing for
teachers in the past; such units would likely meet income criteria for lower income housing.
Programs in this Housing Element support active communication with the School District
regarding the disposition of the area west of the PVPTA for affordable housing.
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The PVUSD site also meets the “carry-over” criteria established by the State for sites that were
counted in the prior cycle Element. It is zoned with a minimum density of 20 units per acre and
permits “by right” development of affordable housing, subject to objective design and
development standards. The current zoning was put in place just six months before the end of
the Fifth Cycle planning period and was principally intended to provide a housing opportunity for
the Sixth Cycle.
For the 2021-2029 Housing Element, the capacity figure of 16 lower income units is being used
for the site. Under State Density Bonus law, a 100% affordable project would be eligible for an
80 percent density bonus. This could potentially result in 29 units of lower income housing,
which is equal to the total number of units assigned to the City under the Sixth Cycle RHNA.
However, State law precludes the City from counting potential density bonus units when
determining its RHNA capacity. As explained in Section 4.6, the remaining 13 units will be met
through Accessory Dwelling Units.
As indicated in Appendix B, the PVUSD site is large enough to accommodate multi-family
housing, emergency shelter, and an SRO on the same property, either in the same sub-area or
independently in different parts of the site. Neither the shelter beds nor the SRO rooms would
be counted as independent “dwelling units” so they could be accommodated under existing
General Plan densities. Moreover, all three of these uses are permitted by right, provided they
meet the Municipal Code objective standards (which were previously reviewed by HCD in 2020).
As noted above, the preferred location for the multi-family housing is in the western part of the
property, near the access drive and closest to public transit and other urban services (see
Figure 4 on Page B-8 in the Housing Element Appendix—this is labeled Area 5). This area is
four acres. Only about one acre would be required for multi-family housing, leaving three
vacant acres for the SRO and/or emergency shelter if all three uses are located in this area.
An SRO or emergency shelter could also locate in areas 1, 2, 3, or 4, as shown in Figure 4 in
Appendix B, page B-8. As the map and text indicate, Area 1 is a 1.6-acre site that is flat and
vacant. Area 2 is a 1.0-acre site that is flat and vacant. Area 3 is a 1.75-acre former school
building that is mostly vacant and underutilized. Portions of this building could be easily be
converted to group residential uses. Area 4 includes a ballfield and parking lot which
collectively occupy 2.5 acres. There are no limitations in the housing overlay ordinance that
limit where shelters or SROs can locate within the 31 acres. Areas 1, 2, 3, 4, or 5 all have
adequate space for these uses.
4.5.2 Rolling Hills City Hall (APN 7569-003-904)
This site is located at the southeast corner of Palos Verdes Drive North and Portuguese Bend
Road. Palos Verdes Drive North is a major thoroughfare and provides access from Rolling Hills
to surrounding communities and the regional roadway network. Portuguese Bend Drive is a
local street but the primary north-south route through the city, connecting to Crest Drive. This is
one of the only sites in Rolling Hills that is located outside the security gates, and adjacent to a
transit line. An elementary school and park are nearby in the City of Rolling Hills Estates.
The property is 1.22 acres and is roughly rectangular in shape. It has a General Plan
designation of Civic Center and a zoning designation of Public Facilities (PF). Neither of these
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designations permits housing, so a General Plan amendment would be required to enable its
development. The site is owned by the City of Rolling Hills.
The parcel currently contains three structures: City Hall, the Rolling Hills Community Association
Administration Building, and an accessory structure that houses an emergency generator. The
site is relatively flat, although it is adjoined by a steep canyon to the east. There is a single
family residence located to the south. To the west, there is a guardhouse in the median of
Portuguese Bend Road, and a public tennis court on the west side of the road. Site ingress and
egress is from Portuguese Bend Road. Direct access to Palos Verdes Drive North is not feasible
due to high speeds and volumes and the existing traffic signal at the corner of Portuguese Bend.
Given the existing uses on the site and its function as the only civic building in Rolling Hills, the
site is not a practical location for multi-family housing. Its rezoning is not recommended at this
time.
4.5.3 Rolling Hills Tennis Court Facility (APN 7569-015-900)
This site is located immediately west of City Hall on the southwest corner of Palos Verdes Drive
North and Portuguese Bend Road. It is adjoined by a residence and horse stables on the west
and south and by street frontage on the north and east. The site is 0.86 acres and is one of the
few properties located outside the City security gates. It is currently in use as a community
tennis facility, with three tennis courts in total.
Like City Hall, the property has a General Plan designation of Civic Center and a zoning
designation of Public Facilities (PF). Neither of these designations permits housing, so a
General Plan amendment would be required to facilitate residential development. The site is
owned by the City of Rolling Hills. Parking for the tennis courts is provided on the City Hall
property to the east.
The site could potentially be converted to housing. At a density of 20 units per acre, it would
yield 17 units. However, the community would lose parkland, which is already in short supply,
as well as a well-used recreational amenity and gathering place. As a result, no rezoning is
recommended.
4.5.4 Los Angeles County Fire Station (APN 7567-017-900)
This is a 2.2-acre site owned by the County of Los Angeles located at 12 Crest Road East. It is
currently developed with Battalion 14 Fire Station 56, which provides fire and rescue services
for Rolling Hills and nearby communities on the Palos Verdes Peninsula. While much of the
parcel is open space, it occupies a steep downslope and would require costly grading and
construction. Moreover, the Fire Station is an essential community asset and long-term use.
This site is also located in an area that is far from services and amenities, not served by transit,
and under the oversight of the Rolling Hills Community Association. Rezoning to allow housing
is not recommended.
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4.5.5 Daughters of Mary and Joseph Retreat Center (APN 7569-022-006)
The parcel is located on the western edge of the City, immediately west of the Rancho Del Mar
(PVPUSD) site. It is outside the western City gatehouse at 5300 Crest Road and forms part of
the 8-acre Daughters of Mary and Joseph Retreat Center, which straddles the border between
Rolling Hills and Rancho Palos Verdes. The Retreat Center consists of two parcels—a 5.95-acre
parcel located entirely in Rancho Palos Verdes that contains the buildings, gardens, and a
portion of the parking lot, and a 1.96-acre parcel located entirely in Rolling Hills that contains
parking, landscaping, and unimproved property.
The parcel has a General Plan designation of Very Low Density Residential and is zoned RAS-2.
These designations would allow a single dwelling unit on the site. A General Plan Amendment
and rezoning could be considered to allow multi-family housing on the property, or on a portion
of the property. The unimproved portion of the site is about 0.67 acres, which could hypo-
thetically support 13 units if developed at a density of 20 units per acre. This area has a 15-30
percent slope and would require grading to support multi-family construction. The flatter portion
of the site (i.e., the parking lot) is larger and would be easier to develop but is currently in active
use.
The City has had prior conversations with the Retreat owners regarding the possibility of
housing on this site. While there are no plans to redevelop the property, it remains a potential
long-term opportunity.
4.5.6 Conclusions
Based on the analysis above, only the Rancho Del Mar site is considered a viable housing site at
this time. Consistent with the General Plan and Zoning amendments completed in 2021, the site
is viable for 16 units of low/very income housing.
4.6 Accessory Dwellings
The City of Rolling Hills has estimated the potential for 40 ADUs and JADUs over the eight-year
planning period, or approximately five (5) ADUs per year. This projection is based on the
permitting of nine ADUs in 2021 alone, and the implementation of Housing Element program
that encourage ADUs in the coming years. It is further based on a citywide survey conducted in
October 2020 (with a 30 percent response rate) indicating that:
• 25 percent of the survey respondents indicated they had a secondary building on their
property with a kitchen, bath, and sleeping area. Another 25 percent indicated their
home had two kitchens or an area that could be “easily converted” into an ADU.
• 24 percent of the survey respondents indicated they would consider developing an ADU
on their property now, with another 15 percent indicating they would consider this at
some point in the future.
• 8 percent of the survey respondents indicated they would rent their ADU to a tenant
while 24 percent said they would use it for a caregiver or employee and 31 percent said
they would use it for a family member.
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Extrapolating these results to the citywide total of 639 households, the results suggest that:4
• An estimated 153 households might be interested in developing an ADU on their
properties, with another 95 potentially interested at some future date.
• An estimated 51 households would rent their ADU to a tenant, 153 would be interested in
using their ADUs for a caregiver or domestic employee, and 198 would consider using
an ADU for a family member.
The survey, combined with physical characteristics of the City’s large lots and building stock,
indicate significant potential for ADU development. ADUs could be created through new
construction, conversion of existing guest houses and barns, and reconfiguration of interior
spaces in primary residences. The latter category includes Junior ADUs (JADUs), which are
often affordable to very low income tenants “by design” given their small size.
A majority of the 2020 survey respondents indicated they would use their ADU for a family
member, caregiver, or other domestic employee. A substantial number of these households
would likely pay reduced rent, or no rent at all. Some would likely meet HCD criteria for
extremely low income households.
In order to demonstrate the suitability of ADUs and JADUs to satisfy the RHNA, the City must
estimate the affordability of ADUs by income category. This requires data on occupancy and
rents. The 2020 ADU survey conducted by the City identified 12 ADU tenants, including two
extremely low income, two very low income, one low income, and seven who were moderate or
above moderate income (see Appendix C). This is based on data provided by survey
respondents and the HUD income categories by household size for Los Angeles County. The
City’s 2020 ADU survey produced only two data points for rents—one unit renting for $950 and
another for $1,500. Both of these were market-rate units with no deed restrictions.
In addition, weekly scans of Craigslist ads in 2021 identified two ADUs in Rolling Hills and two in
Rolling Hills Estates, with rents of $895 for a “basement apartment”, $1,200 (for a JADU at an
unidentified address), $1,800 (for a one-bedroom one bath “guest house”), and $3,950 for a
two-bedroom one bath, 1,000 square foot guest house. Assuming a household size of two, the
rents for these six units correspond to two very low-income units, three low income units, and
one above moderate income unit. This is a limited sample size, however, and it excludes units
that may be occupied “rent free” or without advertising.
In 2020, the Southern California Association of Governments conducted a survey of ADU rents
in multiple jurisdictions across the region. The stated purpose of the survey was to “provide
local governments with assumptions for ADU affordability that can be used to assign ADUs to
income categories for the purpose of Sixth Cycle Housing Elements.”5 The SCAG study was
organized by geographic sub-area, including one sub-area corresponding to Coastal Los
Angeles County. The survey included an estimate of the percentage of ADUs that would be
affordable to “Extremely Low Income” households, which included units that were available for
4 The numbers in the three bullets below this sentence have been developed by applying the percentages from the
survey to the total citywide housing stock. This assumes that the 192 households who responded are representative
of the 639 households that live in Rolling Hills.
5 SCAG Regional Accessory Dwelling Unit Affordability Analysis, published by SCAG in 2020
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little or no rent and were not advertised (for instance, a detached in-law unit occupied by the
elder parents of the homeowner).
The distribution identified in the SCAG survey (for Coastal LA County) was as follows:
Extremely Low: 15%
Very Low: 2%
Low: 43%
Moderate: 6%
Above Moderate: 34%
This distribution is roughly consistent with the sample taken by the City of Rolling Hills and the
survey data collected in 2020. Applied to the City’s projection of 40 units, the allocation using
SCAG’s methodology would be:
Extremely Low: 6 units
Very Low: 1 unit
Low: 17 units
Moderate: 2 units
Above Moderate: 14 units
This is equivalent to 24 lower income units and 16 moderate and above moderate units.
All of the ADUs permitted to date have been “full” ADUs, meaning they are at least 500 square
feet in size. Among the City’s Housing Element programs is an initiative to create at least five
JADUs. Given the small size of these units and the fact that they are created by repurposing
existing space, they are more likely to be affordable to very low income households, thus shifting
the distribution shown above so that more “very low” income units are produced.
In addition, based on actual production of ADUs in 2021, the City anticipates a smaller share of
“Low” income units and a larger share of “Moderate” income units. Moderate income units
represented one-third of the production in 2021, which suggests something closer to the
following distribution for 2022-2029:
Extremely Low: 7 units (occupied rent-free or at minimal charge)
Very Low: 5 units
Low: 6 units
Moderate: 8 units
Above Moderate: 14 units
Housing Element programs have been developed to ensure that the City reaches its very low/
extremely low income ADU targets.
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4.7 Summary of Ability to Meet RHNA
As shown in Table 4.3 below, the combination of recently approved housing units (expected to
be occupied in 2022), future affordable units on the Rancho Del Mar site, and new ADUs can
accommodate the RHNA allocation in all income categories. The table illustrates a surplus
capacity of seven lower income units based on projected ADU production over the planning
period.
Table 4.3: Summary of Housing Opportunities, 2021-2029
Income Category TOTAL
Extremely Low/
Very Low Low Moderate
Above
Moderate
Approved Development -- 2 3 7(*) 12
Vacant Residential Lots -- -- -- 20 20
Rancho Del Mar site (**) 8 8 -- -- 16
Accessory Dwelling Units 12 6 8 14 40
TOTALS 20 16 11 41 88
RHNA 20 9 11 5 45
Surplus/ Deficit 0 +7 0 +36 +43
Adequate Sites? YES YES YES YES YES
Source: Barry Miller Consulting, 2021
(*) includes 3 new homes and 4 large ADUs, see Table 4.1.
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4.8 Opportunities for Energy Conservation
Home energy costs, including electric and natural gas utility bills, are considered part of monthly
housing expenses. The large floor area of many Rolling Hills homes suggests that this may be
an important consideration in the city. Home energy bills can be substantial, particularly for
senior households on fixed incomes. Government Code Section 65583(a)(7) requires the
Housing Element to include an analysis of opportunities for residential energy conservation and
reduced energy costs.
The US Department of Health and Human Services provides funding for a program known as
the Low-Income Home Energy Assistance Program (LIHEAP). In California, the program is
administered by the Department of Community Services and Development. LIHEAP is aimed at
assisting low-income households that pay a high portion of their incomes to meet their energy
needs. This is achieved through one-time financial assistance grants covering the utility bills of
eligible households, an energy crisis intervention program to help low-income households in
danger of having their utilities turned off, free weatherization and energy efficiency upgrades to
qualifying households, and energy education and budget counseling. Low income customers
are also eligible for reduced rates through the California Alternative Rates for Energy (CARE)
and Family Electric Rate Assistance (FERA) programs.
Southern California Edison (SCE) and the Southern California Gas Company offer energy
conservation and assistance programs. These include home energy audits, rebates on energy-
efficient appliances, and weatherization assistance to qualified low-income companies. SCE has
an energy management assistance program for qualifying households.
While the measures above are aimed at meeting day to day utility bills, there are also more
systemic long-term ways to reduce home energy costs. Nearly half of the homes in Rolling Hills
were built before 1960, many without consideration given to the cost and availability of energy.
Weatherization and insulation can provide significant reductions in home energy use and reduce
monthly utility bills. Replacement of older appliances can likewise provide significant long-term
savings. A variety of rebates and other financial incentives are available for homeowners.
In addition, all new construction in California is subject to State building code and energy
standards, including Title 24. These requirements apply to most remodeling projects, creating
opportunities to retrofit older homes. The standards are periodically updated to reflect new
technology and targets for reducing greenhouse gas emissions. The latest standards
incorporate the California Green Building Code, including energy-saving design standards for
walls, ceilings, and floor installations, as well as heating and cooling equipment and systems, gas
cooling devices, window glazing, and the use of renewable energy sources such as solar
energy. These standards are incorporated in Title 15 of the Rolling Hills Municipal Code (the
Building Code).
The City also encourages the use of solar panels to maximize energy efficiency, as well as the
application of passive solar design principles that reduce heating and cooling costs. These
measures include home orientation and siting, landscaping to reduce direct sunlight, placement of
windows to support home heating and cooling, the use of skylights, and incorporation of overhangs
and shade structures. In addition, home energy costs can be reduced by incorporating some or all of
the measures listed below:
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• Solar heating for swimming pools
• Flow restrictors on hot water faucets and showerheads (to reduce natural gas use)
• Tankless water heaters
• Attic ventilation systems that reduce attic temperatures during summer months.
• Insulation, caulking, and weatherstripping to guard against heat gain in the summer and
prevent heat loss in the winter. These measures can reduce energy use for air-conditioning
up to 55 percent and for heating as much as 40 percent.
• Proper maintenance and use of stoves, ovens, clothes dryers, washing machines,
dishwashers, and refrigerators.
• Purchase of air-conditioning units and refrigerators on the basis of efficiency ratings (the
State prepares a list of air-conditioning and refrigerator models that detail the energy
efficiency ratings of the product)
Indoor and outdoor lighting also impacts home energy costs. The City has adopted standards
for outdoor lighting through its Municipal Code (Section 17.16.190(E)). Energy efficient lighting
is required in most cases, and outdoor lighting is prohibited in many instances to retain dark
skies and the community’s rural character. For interior spaces, the costs of lighting can be
reduced through purchase of light bulbs which produce the most lumens per watt, avoidance of
multi-bulb mixtures, and use of long-life bulbs and clock timers.
As a member of SCAG, the City also participates in the Regional Comprehensive Plan to
achieve a sustainable future. The City also has joined ICLEI, which is a membership association
of local governments committed to advancing climate protection and sustainable development.
Rolling Hills also is a participant in the South Bay Cities Council of Governments Environmental
Services Center. The Center serves as a clearinghouse for information on energy efficiency,
renewable energy, and sustainability. It assists residents, businesses, and public agencies with
incorporating energy-saving practices in their daily lives and operations.
Water conservation provides another opportunity to reduce home utility costs. The City has
adopted a Water Efficient Landscape Ordinance (Chapter 13.18 of the Municipal Code), and
encourages the use of low-flow plumbing fixtures and products to reduce water use.
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4.9 Financial Resources
This section of the Housing Element summarizes financial resources for affordable housing in
Rolling Hills. An overview of federal and State programs, as well as tax credit programs, is
provided below.
4.9.1 Federal Programs
A major source of housing assistance in many communities is the Community Development
Block Grant (CBDG) program (including the Los Angeles County Urban County CDBG program,
which provides federal funds to about 50 participating small cities). Rolling Hil ls no longer
participates in this program, as the cost of its administration made it infeasible. When the City
did participate, it received approximately $6,000 per year. The City transferred these funds to
Rancho Palos Verdes, an adjacent city which has a population roughly 25 times larger than
Rolling Hills.
Opportunities for funding through other federal programs is limited. For example, the federal
Home Investment Partnership (HOME) program is designed to increase home ownership and
affordable housing opportunities for low and very low-income Americans. The funds are
distributed to jurisdictions based on need. They support programs such as loans to assist low-
income families with down payments to purchase homes, tenant-based rental assistance,
rehabilitation of affordable housing, and relocation assistance for low-income tenants. The high
cost of land and construction, limited opportunities for home ownership, absence of a sewer
system, and very high incomes in Rolling Hills, make the City non-competitive for these
applications.
Likewise, HUD’s Section 202 program provides funding for construction, rehabilitation, and
acquisition of structures for supportive housing for very low-income seniors. It offers interest-
free capital advances, as well as rental assistance funds. The funds are provided to private and
non-profit organizations and consumer cooperatives and are highly competitive. Use of these
funds in Rolling Hills is constrained by the community’s natural hazards, lack of infrastructure,
and high land costs. The use of project-based federal Section 8 funding for new affordable
housing and substantial rehabilitation of existing housing is infeasible in Rolling Hills for these
same reasons.
The federal government also operates the Section 8 Housing Choice Voucher Program. This
program assists very low-income families, the elderly, and the disabled in securing housing in
the private market. Participants may choose any housing that meet the requirements of the
program. A housing subsidy is paid directly to the property owner, and the tenant pays the
difference between the actual rent charged and the amount subsidized by the program.
Housing choice vouchers could potentially be used on ADUs, but this is rarely done in practice.
HUD also operates the Section 203(k) program, which facilitates the rehabilitation and repair of
single-family residential properties by insuring homeowner loans for purchase or refinancing. It
can enable homebuyers to purchase homes that need significant repairs and can also be used
for a variety of other improvements. These funds can also be used to enhance accessibility for
people with disabilities, and to eliminate health and safety hazards. Eligibility for this program in
Rolling Hills is limited due to the factors cited earlier.
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Other HUD programs include Section 811 Supportive Housing for Persons with Disabilities
(interest-free capital advances, operating subsidies, and/or project rental assistance for eligible
projects developing affordable housing for persons with disabilities) and the Federal Housing
Finance Agency’s Affordable Housing Program (AHP). These programs are most viable in areas
with lower land and development costs, as well as available infrastructure and services.
4.9.2 State Programs
The State of California provides resources for affordable housing construction, rehabilitation, and
assistance. Many of these programs are oriented toward populations in need of assistance or
housing stock requiring repair or rehabilitation. The absence of these populations, coupled with
the cost of land and construction in Rolling Hills and the excellent quality of the Cit y’s housing
stock, render the City ineligible for many types of assistance. The only site where State financial
resources could likely be feasible is the PVUSD site, given that it is publicly owned and has
infrastructure and public street access.
In 2017, the State approved SB 2, which established a $75 recording fee on real estate
documents to increase the supply of affordable homes in California. The State subsequently
established the Local Early Action Planning (LEAP) grant program which provides funding for
local planning activities aimed at supporting housing production. In 2020, the City of Rolling
Hills received a $65,000 LEAP grant, which was used to fund preparation of the Housing
Element. The City may be eligible for future planning grants and other SB 2 funds that facilitate
housing affordability and promote projects and programs to implement the Housing Element.
The California Housing Finance Agency (CHFA) provides loans for construction of affordable
housing projects and could be a source of revenue for future affordable housing development in
the Rancho Del Mar Overlay Zone. The State provides a pre-development loan program for low-
income housing projects, and low-interest long-term deferred payment loans through the Multi-
Family Housing Program. These sources could potentially be used on the PVPUSD site. CHFA
also provides financing for rehabilitation of housing by low- and moderate-income households,
which would generally not be viable in Rolling Hills due to housing conditions, costs, and local
income levels.
The State Department of Housing and Community Development provides funding for a variety of
programs to prevent homelessness and assist those who are unhoused. These programs can
fund construction of shelters and provide direct subsidies to individuals. HCD programs also
help support supportive and transitional housing.
4.9.3 Resources for the Private and Non -Profit Sectors
The primary affordable housing financing resources for the private and non -profit sectors are
tax credits and mortgage revenue bonds. Developers can also take advantage of various state
regulatory tools, such as density bonuses and reduced parking requirements for projects
incorporating affordable units.
The federal Low Income Housing Ta x Credit (LIHTC) Program was created by the Tax Reform
Act of 1986 to provide an alternate method of funding affordable housing. Each state receives
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a tax credit based on its population—that credit is then used to leverage private capital into
new construction or acquisition and rehabilitation projects. The California Tax Credit Allocation
Committee (TCAC) competitively administers credits to projects based on priorities they set
each year. Once constructed, a specific percentage of the units must remain rent-restricted,
and occupancy of those units is limited to people meeting specific income criteria.
The California Public Finance Agency administers an Affordable Housing Bond program,
which provides developers with access to tax -exempt bonds to finance lower-income multi-
family and senior projects. A qualified developer can finance a project at a lower interest rate
because the interest paid to bond holders is exempt from federal income tax. This program is
often done in tandem with tax credits.
Individual home buyers may also be eligible for Mortgage Credit Certificates (MCC), working
through a lender and the Los Angeles County Development Authority. This program provides
a federal tax credit for income -qualified homebuyers equivalent to 15 percent of annual
mortgage interest. Generally , the tax savings are calculated as income to help buyers qualify
to purchase a home. Buyers in Rolling Hills would generally be ineligible due to the very high
income required to purchase a home in the city.
4.9.4 Summary of Prospective Financing Sources
Due to the City’s small population, low density, very high fire hazards, and lack of infrastructure,
government resources for housing are extremely limited. The City’s residents are generally
ineligible for State and federal housing assistance based on income and home ownership status.
The City does not have a housing department, and has no regular local, state, or federal
revenue source for housing. The use of traditional approaches to financing affordable housing
are also limited by the relatively small number of units that would be contained in an individual
development project in the city.
Despite these constraints, the City is amenable to exploring future funding sources and
supporting applications that would facilitate housing rehabilitation and development. Given the
absence of a sewer system in the city, one of the most important financial resources potentially
available to the City is State and federal funding for sanitary sewer and storm drainage
improvements. The City is continuing to pursue grants to extend sewer service and improve
water quality; this could potentially create future housing opportunities on sites that are not
viable today.
Low-income housing tax credits could be considered to facilitate housing on the PVPUSD site.
Eligible projects on this site could also use State density bonus provisions, thereby increasing
the potential number of units. Other programs that could be considered include those that assist
lower income seniors with energy conservation, septic system improvements, and minor home
repair.
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5.0 Constraints to Housing Production
5.1 Introduction
Government Code Sections 65583(a)(5) and (6) require the Housing Element to contain an
analysis of governmental and non-governmental constraints on the maintenance, improvement,
and development of housing for all income levels. Governmental constraints include land use
controls, building codes and code enforcement practices, site improvement requirements, fees
and other exactions required of developers, local processing and permit procedures, and any
locally adopted ordinances that directly impact the cost and supply of residential development.
Non-governmental constraints include the availability of financing, the price of land, the cost of
construction, requests to develop at densities below what is allowed by zoning, community
opposition, and similar factors.
In each case, the Housing Element is required to demonstrate local efforts to remove constraints
that are identified, thus improving the City’s ability to meet its Regional Housing Needs
Allocation. The extent to which these constraints are affecting the supply and affordability of
housing in Rolling Hills is discussed below, along with past (or proposed future) efforts to
eliminate those constraints.
5.2 Governmental Constraints
Governmental constraints include activities imposed by local government on the development of
housing. These activities may impact the price and availability of housing, the ability to build
particular types of housing, and the time it takes to get housing approved and constructed.
While these requirements are intended to improve housing quality and protect public safety,
they may have unintended consequences.
5.2.1 Rolling Hills General Plan
Every city and county in California is required to adopt a General Plan for its long-term
development. This Housing Element is actually part of the General Plan but it stands on its own
as a separate document since it is updated on a schedule set by the State of California. The
other elements of the General Plan are updated as needed. Most cities update their plans every
15 to 20 years.
Most of the Rolling Hills General Plan was drafted in 1990. In addition to the Housing Element,
the Plan includes a Land Use Element, a Circulation Element, an Open Space/ Conservation
Element, a Safety Element, and a Noise Element. An update to the Safety Element was
prepared concurrently with the Housing Element, in response to recent State requirements.
The Rolling Hills Land Use Element includes a Land Use Policy Map illustrating the types of uses
permitted throughout the city. When the Map was adopted in 1990, it reinforced existing parcel
patterns and responded to the infrastructure, geologic, wildfire, and environmental constraints in
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the city. Four categories are shown: Very Low Density Residential (2 acres per unit), Low
Density Residential (1 acre per unit), Civic Center, and Publicly-owned Open Space.
Prior to 2020, the City did not allow development at densities greater than one unit per acre and
had no General Plan provisions for multi-family housing. As part of 5th Cycle Housing Element
implementation, the City amended its Land Use Element to add the Rancho Del Mar Housing
Opportunity Overlay designation to the Map (corresponding to the 31-acre Rancho Del Mar
school site). At the same time, the City adopted new Land Use Element standards and policies
allowing multi-family housing in the Overlay area, along with policies allowing a diverse mix of
housing units, as required by state law.
The Land Use Element recognizes Rolling Hills’ heritage as an equestrian community comprised
of large lots on steep terrain. Its policies call for buffering between uses, preservation of views,
and minimizing exposure to landslides, wildfires, and other hazards. These policies remain
appropriate given the safety hazards in the community. The Element specifically discusses the
150-acre Flying Triangle landslide hazard area, noting that the area is subject to a moratorium
due to unstable geologic conditions. It also notes that many existing parcels are constrained by
steep slopes and have only small areas that are suitable for building pads and construction.
Recent amendments to the Safety Element further emphasize environmental hazards in the city,
as well as constraints associated with evacuation, water supply, and emergency vehicle access.
These constraints make most of Rolling Hills poorly suited for additional development or zoning
changes that would result in increased density and population.
As it currently stands, the General Plan is not a development constraint.
5.2.2 Zoning Standards
The Rolling Hills Zoning Ordinance (Chapter 17 of the Municipal Code) implements the General
Plan and provides objective development standards for all parcels in the City. There are three
zoning districts in the City:
• Residential Agricultural Suburban 1 (RAS-1), which has a one-acre minimum lot size
• Residential Agricultural Suburban 2 (RAS-2), which has a two-acre minimum lot size
• Public Facilities (PF)
The RAS-1 zone roughly corresponds to the “Low Density Residential” General Plan designation
The RAS-2 zone roughly corresponds to the “Very Low Density Residential” General Plan
designation.1 The PF zone corresponds to the “Civic Center” General Plan designation. Parcels
with a General Plan designation of “Publicly-owned Open Space” are zoned RAS-1 or RAS-2,
whichever is prevalent on private parcels in the vicinity.
There are also two overlay districts. Overlays are mapped “on top” of one of the three base
zones listed above and apply additional regulations specific to subareas of the city. The first
overlay district (OZD-1) provides more lenient setback standards in an area of the city
characterized by smaller lots. Roughly 70 lots along Middleridge Lane, Williamsburg Lane,
Chesterfield Road and Chuckwagon Road, are covered. The second overlay district (RDMO) is
1 Parcels along Spur Lane and Cinchring Road have a General Plan designation of Very Low Density Residential but a zoning
designation of RAS-1.
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the Rancho Del Mar Overlay, which is mapped on the Rancho Del Mar School site in the RAS-2
district. The RDMO requires the transfer of General Plan density for the property as a whole
(which yields 16 units) to a single location in order to facilitate the production of multi-family
housing. This overlay also includes objective standards for multi-family housing and emergency
shelter, which are permitted by right.
The zoning ordinance includes definitions of terms (Chapter 17.12). At this time there are no
definitions of transitional and supportive housing, both of which must be permitted in every
residential district under state law. An action program in this Element has been included to
make that Code amendment. The definitions expressly acknowledge manufactured and mobile
homes as being the same as detached single family dwellings, provided they are located on a
foundation.
The zoning regulations indicate permitted and prohibited uses in each zoning district. Single
family residences and accessory dwelling units are permitted “by right” in RAS-1 and RAS-2.
The only expressly prohibited uses are short-term rentals (less than 30 days), commercial
cannabis activities and cannabis dispensaries. Numerous types of accessory structures are
permitted by right, including stables, pools, sheds, and small (under 200 SF) cabanas, guest
houses, pool houses, garages, greenhouses, and similar structures. Such structures generally
require conditional use permits when they exceed 200 SF (accessory dwelling units are
excluded from this requirement). Other conditional uses include schools, fire stations, and
similar public buildings and utilities. Site plans are required when development is proposed.
Table 5.1 summarizes the development standards in the RAS-1 and RAS-2 zones, starting with
the minimum lot size requirements of one acre and two acres. The Code states that existing
parcels of record that are smaller than the minimum lot size requirements are considered to be
conforming. Minimum dimensional standards are established for new lots, including the ratio of
width to depth and a requirement for a minimum width of 150 feet. There are also standards for
minimum street frontage, keeping in mind that most streets are private and contained within
easements. These standards are more flexible on cul-de-sacs, depending on turning radius.
As indicated in Table 5.1, building coverage is limited to 20 percent of the net lot area in both the
RAS-1 and RAS-2 zones. Total impervious surface coverage (structures and hardscape) is
limited to 35 percent of the net lot area; maximum disturbed area is limited to 40 percent of the
net lot area; and building height is restricted to one story. The code identifies 2:1 (50%) as the
maximum buildable slope. A minimum dwelling size of 1,300 square feet is established for the
primary unit on the site. The Code includes setback standards of 50’ for front and rear yards,
and 20’ for side yards in RAS-1 and 35’ for side yards in RAS-2. Lower standards apply in the
OZD-1 overlay zone and exceptions are provided for lots along street easements.2
The zoning code affirms the one-story construction requirement established by the Rolling Hills
Community Association (the RDM Overlay area is subject to a two-story requirement). The
finished floor of structures must be no more than five feet above grade. Basements are
permitted and storage areas may be located above or below a story. The code also provides
standards for graded building pads and requirements for stables and corral sites.
2 The City is currently developing standards to implement SB 9, which allows the division of existing lots into two parcels and the
construction of two dwellings on each parcel, subject to specific objective standards and other considerations.
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Table 5.1: Summary of Rolling Hills Zoning Standards(1)
RAS-1 RAS-2 OZD overlay
Minimum Lot Size 1 acre 2 acres N/A
Setbacks
Front 50’ from front easement line (2) 30 feet from front
roadway easement
Side 35 feet (3) 20 feet (3) 20 feet, reduced to 10’ for
street side yards
Rear 50 feet
Structure Coverage (4) 20%
Impervious Surface Coverage 35%
Building Pad Coverage 30%
Maximum Disturbed Area 40% of net lot area (excl. easements)
Maximum Height One-story
(1) Standards for the RDM Overlay Zone and standards for ADUs are addressed in Section 5.3.2 of the Housing
Element.
(2) Most property is Rolling Hills is subject to easements varying in width around each property boundary and road
easements, granted by the property owner to the RHCA, a private corporation, or another person or entity for the
purpose of construction and/or maintenance and use of streets, driveways, trails, utility lines, drainage facilities, open
space, and/or a combination of these uses. The RHCA requires that all easements must be kept free of buildings,
fences, plantings or other obstructions.
(3) Reduced to 20’ in RAS-2 and 10’ in RAS-1 and OZD if there is a private street along the side property line.
(4) The percentage figures in Table 5.1 apply to the “net lot area” on each parcel, which excludes these easements.
Additional standards in the Zoning Code prohibit reflective outdoor siding, limit outdoor lighting
(to maintain dark skies), and require Class “A” roofing. Conditions are established for specific
accessory uses, such as greenhouses, pools, and playgrounds. This includes a requirement
that guest houses (which are different from ADUs) may not exceed 800 square feet. Whereas
guest houses may not be rented and typically require a conditional use permit, ADUs are
permitted by right and subject to different standards (see P. 5-5).
A minimum of two garage parking spaces are required for each single family dwelling unit. An
additional space is required for homes with guest houses (as noted above, guest houses are
treated differently than ADUs). Homes are also required to have driveways, which are generally
limited to 20 feet in width and one per lot, though exceptions apply. The parking requirement is
not a development constraint and is appropriate given the size of parcels, the high number of
automobiles per household3, and the fact that the streets lack sidewalks and are too narrow to
permit on-street parking. There is also no public transit service in the city.
3 The 2015-2019 US Census American Community Survey indicates that 63% of all households in Rolling Hills own
three or more vehicles.
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The development standards in Table 5.1 do not present constraints to the construction of single
family homes. Even a “small” substandard lot of 200’ x 200’ (40,000) square feet would be
allowed 16,000 square feet of buildable area after required setbacks are subtracted. The
allowable structure coverage on such a lot would be 8,000 square feet, providing more than
enough space for a residence and detached accessory structures. The requirement for single-
story construction has not constrained single family construction, given the ample building
footprint accommodated on each site. In fact, single-story construction has enabled many older
adults in Rolling Hills to age in place.
State law also requires the Housing Element to include an analysis of requests to develop
housing at densities below those anticipated in the sites inventory. No such requests have been
received in Rolling Hills, as development typically occurs on existing lots rather than through
subdivision or multi-unit construction.
5.2.3 Standards for Different Housing Types
Section 65583 and 65583.2 of the Government Code require cities to plan for a “variety of types
of housing, including multi-family rental housing, factory-built housing, mobile homes, housing for
agricultural employees, supportive housing, single room occupancy units, emergency shelters,
and transitional housing.” Accordingly, the Rolling Hills Housing Element includes provisions for
each of these housing types in the city, with the exception of housing explicitly reserved for
agricultural employees, since this was not identified as being a need in the city.
Accessory Dwelling Units
An Accessory Dwelling Unit—or ADU—is an attached or detached dwelling unit that provides
complete independent living facilities for one or more persons and is located on a lot with a
proposed or existing primary residence. ADUs are commonly known as in-law units, second
units, or granny flats. A “Junior” Accessory Dwelling Unit (or JADU) is an ADU that it is no more
than 500 square feet in size, contained entirely within the footprint of an existing or proposed
single family dwelling, and has an efficiency kitchen. JADUs often have their own bathrooms but
they may also share bathrooms with the primary residence. State law now requires that all cities
and counties permit ADUs and JADUs meeting certain standards “by right”—in other words,
without a public hearing or discretionary approval.
Prior to 2018, ADUs and JADUs were not permitted in Rolling Hills. However, the zoning
regulations allowed the construction of non-rentable guest houses for family members, visitors,
and domestic employees on all residential properties. The large size and high value of
properties in Rolling Hills has supported the development of guest houses in the past, resulting
in a large inventory of structures that could potentially be converted from guest houses to ADUs
in the future. The city also has a large number of accessory structures such as barns, pool
cabanas, studios and workshops that could be converted to ADUs. Because of the single story
construction requirement, there are also a substantial number of homes with floor plans
conducive to Junior ADUs, as many homes have wings, additions, or rooms that could easily be
partitioned as independent living units.
In January 2018, the City Amended Chapter 17.28 of the Municipal Code to allow for the
construction of Accessory Dwelling Units and Junior Accessory Dwelling Units (ADUs and
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JADUs). Consistent with State law (Government Code 65852.2 and 65852.22), the City allows
ADUs and JADUs ministerially (e.g., without a discretionary public hearing) provided the units
meet specific standards and design criteria established in the zoning code. The City has also
created a discretionary review path for projects that do not meet these standards.
Chapter 17.28 establishes that an ADU and JADU may be allowed with a simple building permit
if it is within the space of an existing single family dwelling or accessory structure, including an
allowance for up to 150 additional square feet for ingress and egress. The unit must also have
exterior access independent of the single family dwelling and side and rear setbacks that meet
building and fire codes. In addition, detached ADUs are permitted with a building permit (and no
additional permit) if they are 800 square feet or less, no more than 16 feet tall, and have side
and rear setbacks of at least four feet.
A second permitting path has been created for units that are between 800 and 1,000 square
feet. Such units require an ADU Permit, which like the building permit is issued ministerially,
with no discretionary review. These units are subject to a size limit of 850 square feet for a
studio or one bedroom and 1,000 square feet for a two-bedroom unit. If attached to the primary
dwelling, the unit is subject to a requirement that it may not exceed 50 percent of the floor area
of the existing primary dwelling. The ADU may not cause the lot coverage on the property to
exceed 50 percent or cause the FAR to exceed 0.45. Setback standards also apply.
The City’s ADU ordinance incorporates State standards for parking, which waive parking
requirements for JADUs and units created by converting habitable accessory structures.
Parking is also waived for units near public transit stops or car-share vehicles. This is generally
not applicable in Rolling Hills, since the community is not served by transit or car-share services.
Per State law, the Code allows for carports and garages to be converted to ADUs without
replacement parking. Where this situation does not apply, one space is required for each ADU,
and tandem parking is permitted.
ADUs are subject to general requirements, such as fire sprinklers (if the unit is in the primary
residence) and a prohibition on short-term rentals (less than 30 days). They are also subject to
permit streamlining requirements, including a requirement to act on the application within 60
days after it is deemed complete. This time period may be extended at the applicant’s request,
or if the ADU is located within a new single family dwelling on the lot. The City allows both the
ADU and the primary residence to be rented, although there are limitations on renting JADUs if
the primary residence is not owner occupied.4 The City’s Ordinance also prohibits the sale of an
ADU separately from the lot and primary dwelling.
ADUs are also subject to basic architectural standards, including compatibility with the design of
the primary dwelling. This is objectively quantified, for instance by specifying that the roof pitch
must match the primary dwelling, and that the entry be on the side or rear elevation. The ADU
is also subject to a minimum length and width standard of 10 feet, and a minimum ceiling height
of seven feet. Landscape screening requirements apply to units that are near adjacent parcels.
If the ADU changes the building exterior or involves a new structure, it is subject to design
review by the Rolling Hills Community Association Architectural Committee (see next section for
further discussion).
4 JADUs (units created within the floorplan of an existing home) are subject to an owner-occupancy requirement
unless the property is owned by a government agency, land trust, or housing organization.
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ADUs smaller than 750 square feet are exempt from all impact fees. Units larger than 750
square feet may only be charged impact fees that are proportionally related to the square
footage of the unit. The Code also includes waivers for utility connection fees for most ADUs,
thereby reducing construction and operating costs. Moreover, the Code provides the option for
a conditional use permit for ADUs that do not conform to the basic development standards of
Chapter 17.28.
Overall, these requirements do not constrain or inhibit ADU or JADU construction. The
regulations reflect State regulations and create ample opportunities for homeowners to earn
extra income while providing a new dwelling unit for a tenant, employee, caregiver or family
member. Given the large lot sizes in the city, the setback standards, FAR standards, and lot
coverage limits still allow for generous ADU footprints. Likewise, the single story requirement is
consistent with the requirement for single family homes. The “bonus” 150 square feet for JADU
ingress/egress creates an incentive for such units. The requirement to provide a parking space
is consistent with State law, since there is no transit in Rolling Hills—and is not a constraint given
the large lot sizes and substantial driveway space available on most lots.
While no constraints have been identified, there are opportunities to provide incentives for ADUs
that have yet to be realized. Because of recent changes to State law, there are opportunities for
ADUs to be conveyed separately or operated by non-profits and/or affordable housing
providers. As noted in Chapter 6, the City will pursue future programs to encourage ADU
construction, including ADUs for very low and low income households. This includes creating a
roster of ADUs and an inventory of units that meet “extremely low income” needs by providing
housing for family members, domestic employees, or other long-term occupants.
Additionally, State law for ADUs was amended in 2020 and 2021. Several provisions in the
City’s regulations must be updated for consistency. This includes eliminating the prohibition on
ADUs with more than two bedrooms, and adding a provision that completed applications be
deemed approved if they are not acted upon within 60 days. The City will work with the State
Housing and Community Development Department to determine if there are other provisions of
the ordinance that require updating. Program 6.10 in Chapter 6 identifies this as a high priority
action, to be completed by October 15, 2022.
Multi-Family Housing
In February 2021, the City amended its General Plan and zoning regulations to allow multi-family
housing within the City limits. This was a key implementation measure in the Fifth Cycle
Housing Element. New policies in the General Plan Land Use Element expressly support a
range of housing types in the city, including multi-family housing. Chapter 17.19 of the
Municipal Code creates the Rancho Del Mar Overlay (RDMO) Opportunity Overlay Zone, which
has the following objectives:
• Create “by right” opportunities for multi-family housing
• Implement state laws that require cities to demonstrate available land capacity and zoning to
accommodate the City’s current and projected need for housing
• Facilitate well-designed development projects
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• Encourage development that provides attractive features that integrate the public realm with
development on adjacent private property.
The zone is mapped on the 31-acre Rancho Del Mar school site, which as noted in Chapter 4
and Appendix B, is the most viable location for multi-family housing in Rolling Hills. The zone
allows 16 units of multi-family housing on the site (excluding potential density bonus units), with
a requirement that this housing be constructed at a density of 20 to 24 units per acre. The 20
unit per acre minimum density requirement corresponds to the “default density” under AB 2348,
while the 16-unit requirement is based on the number of units permitted by the underlying
General Plan and RAS-2 zoning designations. It is also a threshold used by HCD to identify
viable housing sites.
Affordable multi-family housing is permitted by right in this zone, provided it is affordable to low
and very low-income households and meets objective design standards that are included in the
zoning code. These include minimum dwelling unit sizes of 250 square feet for a studio, 400
square feet for a one-bedroom, 650 square feet for a two-bedroom, and 900 square feet for a
three-bedroom. Higher minimums had been proposed initially but were lowered to the adopted
standards based on direction from HCD that the above figures would not constrain development.
As noted above, the allowable density range for the Zone is 20-24 units per acre. Numerous
projects—both market-rate and affordable—have been developed in this density range in Los
Angeles County in recent years. The range can accommodate apartments, condominiums,
townhomes, row houses, clustered units, manufactured homes, and small detached cottages.
All of these housing types would be permitted under the regulations prescribed by the Overlay
Zone.
Development standards for multi-family housing within the Overlay Zone are conducive to higher
density construction. These standards require 5-foot front and side setbacks and a 10-foot rear
setback. Encroachments such as decks, balconies, awnings, porches, and stairways may
extend into the setback areas, and architectural features such as eaves and cornices are also
permitted in the setbacks. There are no lot coverage standards or Floor Area Ratio limits. A 28’
height applies, allowing two-story construction. This is the only place in Rolling Hills where two-
story construction is permitted.
Development is subject to a requirement that 100 square feet of common open space be
provided for each dwelling unit. Thus a 16-unit project would be required to set aside 1,600
square feet of shared open space, which is equivalent to about 5 percent of the development
site (assuming a density of 20 units per acre). When drafting the Ordinance, the City initially
proposed a common open space standard of 150 square feet per unit, but this was reduced to
100 square feet during HCD’s review of the draft to eliminate the potential for a constraint.
One parking space per unit is required, plus one guest parking space for every 10 units. For
senior housing, one space per unit is required for the first 10 units, and 0.5 spaces per unit are
required for any additional units. The RDMO zone allows surface parking, with no requirements
for garages or carports. At 180 square feet per parking space, the total area dedicated to
parking in a 20 unit per acre project would be 3,240 square feet, or about nine percent of the
site. Even with driveway lanes, the total area of the site required for parking would be small.
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Moreover, the ordinance includes provisions for reduced parking where certain conditions exist
(shared parking agreements with nearby uses, available street parking, etc.).
No parking is permitted in the 20’ front setback area (at the driveway location). This would not
be a constraint given the large size of any parcel that would be created in the future to
accommodate multi-family development. Moreover, the front yard setback for structures is only
five feet, which creates more space for the building envelope and encourages parking to be
placed to the rear or side of the parcel, potentially within the setback.
The development standards require that multi-family housing be located at least 50 feet from the
toe of the slope associated with a hillside area within the Overlay District. Figure 5.1 shows the
sloped area and indicates that the linear distance between the toe of the slope and the access
road serving the multi-family development site is 337 feet. Thus the area where structures are
acceptable extends 287 linear feet back from the access road (minus a 5-foot front setback).
While the rear 50 feet may not include structures, it could include open space and other
amenities, including parking and driveways. The 50’ setback does not affect parcel width (i.e.,
the east-west dimension), and still leaves room for a substantial development site on the
property.
Because affordable multi-family housing is permitted by right in the Overlay Zone, the City has
adopted objective design standards to ensure that new development is compatible with adjacent
uses. These address residential frontages (facades, etc.), usable open space standards, public
space amenity requirements, and operational standards. Such standards have the potential to
create a development constraint if they are too onerous or add to the cost of housing.
Figure 5.1: Slope Setbacks on PVUSD Site
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The residential frontage standards require that the ground floor be no more than five feet above
the ground surface. This is easily attained, since the site is relatively flat. The standards
establish a 10’ floor to floor height, which is consistent with the overall 28’ height limit as well as
typical residential construction standards and interior ceiling heights. Entrances and windows
are required along the front façade, and entrances to individual units may either be direct to the
exterior, or to an interior hallway. Stoops and porches may be located on the exterior, and
projecting elements (bay windows, eaves, balconies) may extend into setback areas. Street
tree, landscaping, and lighting requirements apply, but these do not constrain development.
The usable open space standards likewise do not represent a constraint. These requirements
call for an amenity such as a children’s playground or clubhouse in multi-family projects. The
amenity may be indoors or outdoors and may not include parking areas, streets, or driveways.
Projects are also expected to include amenities such as pedestrian walkways, landscaping, bike
storage racks, and screened trash enclosures, and would need to comply with building code
standards for interior noise. These are common requirements in California communities and do
not represent a constraint.
Mobile and Manufactured Homes
As required by State law, the City Zoning Ordinance allows for manufactured housing units to
reduce residential construction costs. Section 17.12.130 of the Rolling Hills Municipal Code
defines manufactured homes and mobile homes as “single family dwellings”; as such, they are
subject to the same standards as wood-frame construction.
Emergency Shelters
Every city in California is required to identify a zone where at least one year-round emergency
shelter is permitted without a conditional use permit or other discretionary permit (Govt Code
Section 65583(a)(4)(A)). The Government Code further requires that emergency shelters be
subject to the same standards that apply to residential and commercial development in that
zone, except that certain objective standards prescribed by the State may apply.
In February 2021, the City of Rolling Hills amended its zoning regulations to permit emergency
shelters “by right” in the Rancho Del Mar Overlay (RDMO) Zone. Rolling Hills has adopted
standards for shelters that meet the requirements of the Government Code and facilitate
emergency shelter construction or conversion. The RDMO Zone encompasses over 31 acres of
public property, most of which is underutilized. There are opportunities to create shelters by
converting existing buildings, constructing new buildings, or using temporary facilities such as
portables or tiny homes. This use is permitted by right, with no discretionary permit required by
the City. There are no limitations on where shelters may locate within the boundary of the
RDMO Zone. Since shelter beds do not constitute “dwelling units”, an emergency shelter would
not be considered part of the 16 dwelling units permitted by the Overlay Zone and would not
affect the number of allowable multi-family units in the Zone.
The City submitted preliminary standards to HCD for review in December 2020 and
subsequently revised those standards to ensure that they are compliant with the Government
Code and do not present a constraint to emergency shelter development. The adopted
standards include:
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• Shelters must be at least 300 feet apart, as allowed by the Government Code Shelters
may be 300 feet apart, consistent with Government Code 65583(a)(4)(A)(v)
• One parking space for each staff person must be provided. There are no supplemental
parking requirements based on the number of beds. The requirements are consistent
with Government Code 65583(a)(4)(V)(A)(ii) and are no greater than those that apply to
other land uses and activities in the RDMO zoning district.
• A maximum of 12 beds applies. This is comparable to the maximums that apply in
nearby cities, including those with unsheltered populations.
• 50 square feet of personal living space is required for each occupant, excluding common
areas.
• The standards allow, but do not require, shelters to include a dining room, commercial
kitchen, laundry room, recreation room, child care facilities, and support services (the
Code indicates these may be provided, but they are not mandatory)
• At least five percent of the shelter area must be dedicated for on-site waiting and intake,
and an equivalent (or larger) area is required for exterior waiting
• Shelters must comply with building code, plumbing code, and trash enclosure
requirements—the same standards that apply to other uses in the Overlay Zone and in
the underlying base RAS-2 Zone.
Consistent with the Government Code, an application to operate an emergency shelter requires
submittal of a management and operations plan that addresses hours of operation, staffing
levels, maximum length of stay, and security procedures. The application would require
approval by the City Administrator, based on satisfaction of the conditions listed above and
review for compliance with Building, Fire, and other applicable regulations.
The regulations do not constrain emergency shelter development and are compliant with
Government Code requirements. As they were just put into effect in 2021, the City will monitor
their effectiveness over the 2021-2029 planning period to determine if changes are needed.
Single Room Occupancy (SRO) Hotels
In February 2021, the City of Rolling Hills amended its zoning regulations to allow Single Room
Occupancy (SRO) housing in the RDMO Zone. These are facilities with individual rooms or
small efficiency apartments designed for very low-income persons. There are no limitations on
where SROs may locate within the boundary of the RDMO Zone. A Conditional Use Permit is
required.
In December 2020, the City submitted preliminary standards to HCD for review and
subsequently revised those standards to ensure that they do not present a constraint to SRO
development. The adopted standards include:
• A minimum of six units and a maximum of eight units
• Maximum occupancy of two persons per unit
• Floor area of 250-350 square feet per unit
• Each room must include a water closet (Toilet plus sink)
• Each room must include a kitchen sink with a disposal (but not necessarily a full kitchen)
• Each unit must have a closet
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• Full kitchens (i.e., with range, refrigerator, dishwasher, etc.) and full bathrooms (with
shower/bath) may be provided in each unit but are not required. If these facilities are not
included in each unit, then shared facilities are required on each floor.
• 0.5 parking spaces are required per unit, plus one space for each employee on duty
• Occupancy is for 30 days or more
The City initially proposed including a requirement for 24-hour on-site management, and a
requirement for elevators in the event the building was two stories. Both of these requirements
were removed following HCD’s feedback that they were potential constraints. Requiring 24-hour
management requirement could be a constraint for a 6-8 unit facility. As a result, on-site
management is not required on a 24-hour basis. Given that the building would only be two
stories, the requirement for elevators was removed. Since SRO rooms would not be classified as
independent “dwelling units”, they would not be considered part of the 16 units permitted by the
Overlay Zone and would not reduce the number of allowable multi-family units in the Zone.
Supportive, Transitional, and Employee Housing
Supportive housing is a type of rental housing that includes on-site services such as medical
assistance or treatment of chronic health conditions or disabilities. Transitional housing is a type
of supportive housing but is specifically intended for unsheltered residents who are transitioning
to permanent housing. Supportive and transitional housing is not associated with a specific
structure type—single family homes can be used in this manner, and so can multi-family
buildings.
Government Code Section 65583(a)(5) requires cities to treat transitional and supportive
housing as residential uses that are only subject to those restrictions that apply to other
residential uses of the same type in the same zone. In other words, a City cannot hold a single
family home used as supportive housing to a different standard for parking, setbacks, floor area,
etc. than a single family home occupied by a family or other type of household.
Public Health and Safety Code Section 17021.5 requires the City to treat employee housing for
six or fewer people the same as other single family housing in each zoning district. For example,
if a corporation in another city purchased a home in Rolling Hills and allowed its employees to
live there, the use would be treated like any other single family home.
Rolling Hills presently has no Code language that limits transitional, supportive, or employee
housing or imposes any special restrictions on such housing. However, these housing types are
not expressly acknowledged in the Municipal Code. The 2021-2029 Housing Element includes
an action item to add definitions of transitional, supportive, and employee housing to the
Municipal Code within six months of Housing Element adoption, acknowledging that such
housing is permitted or conditionally permitted in the same manner as other residential
dwellings of the same type in the same zone, as required by State law.
Housing Constraints for Persons with Disabilities
Government Code Sections 65583(a)(4) requires the Housing Element to include “an analysis of
potential and actual governmental constraints upon the maintenance, improvement of
development of housing…for persons with disabilities. AB 686 also requires the City to
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affirmatively further fair housing, which includes housing that meets the needs of persons with
disabilities.
In November 2020, the City Council approved reasonable accommodation procedures,
including application requirements, review procedures, findings, and provisions for noticing and
advertising the opportunity. These procedures establish a process through which persons with
disabilities can request reasonable accommodations (or modifications) to the City’s codes, rules,
policies, practices or services so that they have an equal opportunity to enjoy or use a dwelling.
The City has also adopted a resolution recognizing the Americans with Disabilities Act, including
a commitment to assist disabled residents.
A request for reasonable accommodation may be made by any individual with a disability, his or
her representative, or a developer or provider of housing for individuals with disabilities, when
the application of a land use, zoning, or building regulation, policy, practice, or procedure acts
as a barrier to fair housing opportunities. The City has posted notices at City Hall informing the
public of its right to make such a request, including application forms for those making a
request. Requests are generally made to the City Manager.
Once a completed application is received, the City Manager has 45 days to make a written
determination. Additional information may be requested of the applicant in order to make an
informed determination. An alternative solution to the one proposed by the applicant may be
considered if it would reduce impacts and still achieve the intent of the request.
The request is granted, with or without conditions, if the City Manager finds that the housing will
be occupied by an eligible individual, the requested accommodation is necessary to provide the
individual with equal opportunity to use and enjoy a dwelling, the requested accommodation
would not impose an undue financial or administrative burden on the City, or fundamentally alter
the City’s zoning or building laws or undermine the General Plan, and there are no other
reasonable accommodation methods that would allow the applicant to enjoy the dwelling that
would be less impactful on the surrounding area.
Conditions of approval may be replaced on the application. These may include periodic inspection
to verify compliance, recordation of a deed restriction requiring removal of the improvements when
it is no longer needed, time limits, measures to reduce off-site impacts, and measures that respond
to the unique physical attributes of the property. Decisions may be appealed.
Rolling Hills has adopted the Los Angeles County Building Code. As long as construction is
consistent with the Building Code, residents are permitted to provide any disabled access or
amenity improvements necessary to reduce barriers. Access to homes via ramps is permitted.
One-story construction throughout the community removes a major barrier for persons with
disabilities and facilitates access for persons with mobility limitations. Accessibility
improvements, universal design changes, and other accommodations for persons with
disabilities are processed administratively in conjunction with the building permit process and
are permitted in both of the City’s residential zones.
No constraints to housing for persons with disabilities were identified in this analysis. As noted
in Chapter 3, the city’s large population of older adults requires ongoing efforts to facilitate
retrofitting of existing homes for residents with physical limitations, and their caregivers.
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Residential Care Facilities and Definition of “Family”
The Lanterman Developmental Disabilities Services Act requires that small licensed residential
care facilities for six of fewer clients be treated as regular residential uses and permitted by right
in all residential districts. Care facilities with seven or more clients (e.g., “large” residential care
facilities) may be subject to additional requirements but must be treated the same as other
residential uses in that zoning district. Cities that require conditional use permits for large
residential care facilities are required to mitigate this constraint in their housing elements.
Rolling Hills complies with this requirement in practice and has no minimum distance
(separation) or siting requirements for residential care facilities. However,
At this point in time, the Rolling Hills Zoning Code does not expressly mention or define small
residential care facilities, nor does it distinguish between “large” and “small” facilities. It The
Code should be amended to expressly indicate that this use is permitted by right in all zones
where housing is allowed, and is subject to the same standards, fees, and procedures as other
residential uses in those zones. This is required by State law. . As required by California Health
and Safety Code Section 1566.2, the City does not collect business taxes, registration fees, or
other fees for small residential care facilities.
The Rolling Hills Municipal Code includes a definition of “family” in its zoning regulations. Overly
restrictive definitions may pose a housing constraint, but in this instance the definition is broad
and inclusive. According to the Rolling Hills Municipal Code, “family” means:
“one or more persons living as a single housekeeping unit, as distinguished from
a group occupying a boarding, rooming or lodging house, hotel or club. Family
may include domestic servants.”
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5.2.4 Cumulative Impacts of Land Use Controls
State law requires the City to consider not only the impact of individual development standards,
but also the cumulative effects of these standards on the cost and supply of housing. For example,
it is possible that a particular setback requirement may appear reasonable on its own b ut may
limit development opportunities when combined with height and lot coverage limits. Sometimes,
the combined effect of different development controls can require more expensive construction
or result in frequent zoning variances.
Because of the very large lot sizes in Rolling Hills, the zoning standards do not create an adverse
cumulative impact on development costs or the housing supply. As previously noted (pages 5-2
and 5-4), a special zoning overlay (OZD-1) was created in 2012 to recognize that some parts of
the city have prevailing lot sizes that are smaller than the one-acre minimum required by the RAS-
1 district. Roughly 10 percent of the City’s parcels are covered by this zone, which allows reduced
setbacks in order to avoid the need for zoning variances.
As noted earlier, the combination of front, rear, and side yard setbacks on a rectangular one-acre
lot would still allow for a buildable area of over 16,000 square feet. Most parcels are considerably
larger than one acre and have buildable areas that exceed 20,000 square feet. FAR and lot
coverage limits likewise allow ample structure coverage, and homes larger than 10,000 square
feet can be built without Variances on most lots. The one-story height limit tends to produce
building footprints that are quite large—but still within the 20% structure coverage requirement.
Each residence is required to have two covered parking spaces (three, if an ADU or guest quarters
are on-site). This requirement is modest given the typically large home size and does not
constrain building construction.
The land use controls also do not present a cumulative constraint to ADU construction. Almost
every parcel in the City has the land area or existing built floor area to support an ADU, and
many homes already have spaces that could be easily converted to ADUs. The ADU and JADU
regulations adopted in 2018 and revised in 2020 were drafted to work in tandem with the
controls for the RAS-1 and RAS-2 districts and have laid the foundation for substantial ADU
production.
There are no cumulative land use constraints to multi-family development. The Rancho Del Mar
Overlay (RDMO) Zone standards have been tested to ensure they are internally consistent and
can support housing in the 20-24 unit/acre range. The RDMO Zone allows multi-family housing
to be either owner or renter occupied. New housing units in this zone must be affordable. The
affordability requirement is not a constraint to development, as the site is publicly owned and
represents a unique opportunity for reduced land and construction costs. There are no
comparable opportunities in the city, as this is the only property in Rolling Hills that is flat,
vacant, served by public sewer, and walking distance from public transit.
One notable omission from the City’s zoning regulations a provision for density bonuses. State
law requires that the City offer a density bonus for projects that set aside various percentages of
units for affordable housing, senior housing, and other types of special needs housing. The
number of bonus units is based on a sliding scale and can be up to 50 percent above the base
density permitted by zoning. For projects where all units are affordable to low and very low
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income households, the density bonus rises to 80 percent. A density bonus could be requested
for the Rancho Del Mar site, since the overlay requires that any multi-family housing is 100
percent affordable. This would allow 28 units on the site instead of the 16 allowed by the
General Plan and zoning.
The Housing Element includes a program recommendation that the City amend the Municipal
Code to adopt density bonus provisions or adopt the State provisions by reference.
5.2.5 Building Code Standards
The City of Rolling Hills adopted the Building Code for Los Angeles County in effect on January
1, 2020 as its Building Code. A number of local amendments to the Code were made. This
includes an allowance for the City Council to hold a public hearing to review decisions of the
County Board of Appeals, Code Enforcement Appeals Board, or Building Rehabilitation Appeals
Board. Other local amendments include a modified definition of “basement” (to avoid the
appearance of multi-story buildings), adjusted provisions for grading and cut slopes, limits on
driveway slope, and limits on developing slopes over 50 percent. The City has also adopted the
Los Angeles County Plumbing Code, Mechanical Code, Electrical Code, Residential Code, Fire
Code, and Green Building Code.
Effective July 1, 2008, all land in the City of Rolling Hills was deemed to be a “Very High Fire Hazard
Severity Zone” (VHFHSZ). As a result, several more restrictive fire safety standards have been
adopted. The City also has adopted standards for hours of construction, and requirements for geological
surveys and investigations.
5.2.6 Permit Processing Times and Approval Procedures
Processing and permit procedures can be a constraint to the production and improvement of
housing due to the time they add the development process. Unclear permitting procedures,
layered reviews, multiple discretionary review requirements, and costly conditions of approval
can increase the cost of housing, create uncertainty in the development process, and increase
the financial risk assumed by the developer.
In Rolling Hills, the time required to process a project varies depending on the size and
complexity of the proposal, and the volume of projects being reviewed. Not every project must
complete every possible step in the process. In addition, certain review and approval
procedures may run concurrently.
For smaller projects, permit processing times tend to be faster than in most cities.
Administrative review applications (i.e., those that do not require public hearings) typically take
only a few days to process. However, the City’s capacity is limited, requiring that some permit
processing functions are contracted out. Even smaller projects that are approved ministerially
typically require review by the Rolling Hills Community Association and the Los Angeles County
Building and Safety Department, in its role as the contracted building authority of the City.
The City collects no fees for over the counter review—such fees are assessed when the project
is submitted to the Department of Building and Safety. Administrative review processes have
been created for residential additions less than 1,000 square feet, accessory dwelling units and
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junior accessory dwelling units, remodels, foundation repair, and re-roofing. Such projects are
required to submit two sets of plans, various checklists, and calculations of existing and
proposed square footage, lot coverage, and impervious surface coverage. The City’s website
provides comprehensive information for applicants seeking permits, including on-line portals for
applications, payment, and checking progress on permit status.
Larger projects such as new homes take longer, but they are less common. New homes in
Rolling Hills are multi-million dollar projects that often require demolition, site preparation and
grading, and new driveways before construction may begin. Larger projects may also require
review by the LA County Health Department for the adequacy of the septic system, and the Fire
Department for fuel modification.
Unless specifically exempted by State law, large projects such as new homes and residential
additions of 1,000 square feet or larger are subject to Site Plan Review. An initial consultation
with staff is strongly encouraged at the start of the process. Once an application is received, it is
reviewed for completeness, including required calculations, elevations, and site plans. When the
application is deemed complete, it is forwarded to the Planning Commission for a hearing,
including a recommendation from staff. The Planning Commission conducts an initial project
review meeting, a field trip, and a meeting to forward the application to the City Council.
Likewise, the Council conducts an initial meeting, a field trip, and a meeting to forward the plans
to the Rolling Hills Community Association (RHCA).
The Site Plan review process typically takes three to six months from start to finish, including a
field trip by Planning Commissioners to the project site at the start of the process. The process
may be completed in a single hearing but on occasion may take two to three hearings so that
issues raised by the Commission and public can be addressed. Additionally, project applicants
may modify their site plans after approval and return to the Commission for approval of major
revisions.
The Planning Commission has the authority to approve Site Plan Review applications. The
decision of the Commission is considered final unless an appeal is filed with the City Council or
the City Council decides to take the application under its jurisdiction. The decision becomes
effective 30 days after the adoption of the resolution.
Approval of a Site Plan Review application requires findings related to compliance with the
General Plan and adopted lot coverage standards, preservation of topography and vegetation,
grading that follows natural contours or does not adversely modify natural drainage channels,
the use of drought-tolerant landscaping, impacts to pedestrian movement, and compliance with
CEQA.
The Planning Commission does not expressly perform design review as part of this process, as
its findings are principally related to address public health, safety, and welfare. Design review
occurs privately, through the Rolling Hills Community Association (RHCA). The RHCA has an
Architectural Committee that reviews plans for new homes and large additions to ensure that
easements are kept free and clear of structures, including fences and other obstructions.5
5 School District and City-owned property is exempt from this requirement. Thus, any development in the RDMO
Housing Opportunity Zone would not be subject to RHCA review.
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Projects are submitted to LA County Building and Safety following RHCA review. RHCA
maintains its own design guidelines, covering such topics as roofs, walls, windows, doors, and
lighting. Because RCHA is a non-governmental agency, these guidelines are described later in
this report under non-governmental constraints (see discussion of CC&Rs on page 5-22).
Projects that require Variances to development standards or Conditional Use Permits (CUPs)
also require Planning Commission hearings. CUPs are required for large horse stables and
corrals, detached garages, tennis courts, and a number of other large-footprint site features.
From start to finish, the process from submittal of plans to approval of permits may take six
months or longer for a brand new home. Applications for ADUs, major remodels, residential
additions, and accessory structures are more common, and are processed more rapidly. ADUs,
JADUs, and other ministerially approved projects take approximately two to four weeks to
process.
The City regularly seeks ways to expedite processing and improve the timeliness of its services.
At the present time, permitting and processing time is not considered a constraint and the City
complies with the time limit requirements established by Sections 65943 and 65950 of the
Government Code. The Site Plan Review requirements and other permitting requirements are
not a constraint to the development of multi-family or affordable housing as they would not apply
to projects on the Rancho Del Mar site nor would they apply to ADUs that meet the City’s adopted
standards. As such, they have no impact on the cost, supply, timing, or approval certainty of these
projects. For new single family homes, the review requirements result in processing times that
may take several months. However, they do not affect the supply approval certainty. In a review
of applications over the past eight years, only one application was denied (requesting a height
modification to approved addition in 2017) and another application had a partial denial (for stairs
and walls, in 2014).
5.2.7 Site Improvement Requirements
The principal site improvements required upon development of a vacant property are the
undergrounding of electrical lines to the structure, installation of a septic system, and
conformance to the City’s outdoor lighting standards. Road and emergency access (fire safety)
improvements may be required for properties that do not have street frontage or have other
access constraints. New development in Rolling Hills consists almost entirely of custom homes
on existing vacant or previously developed lots, rather than subdivision of “raw land,” which
tends to reduce overall improvement requirements. At the Rancho Del Mar affordable housing
site, installation of curb and gutter improvements would be required prior to development, but
the site already has road access, storm drainage, and water and sewer facilities in place. There
would be no special or unique site improvement requirements imposed on development of this
site.
Projects requiring the subdivision of land would be subject to the standards set forth by the
City’s subdivision regulations, which are specified in Title 16 of the Municipal Code. These
standards establish a 24-foot road width for streets. A 32-foot turning radius is required on
dead-end streets, and grades may not exceed six percent. The standards recognize that all
streets in Rolling Hills are private. The City Council has the discretion to require additional site
improvements adjacent to sites where land is being subdivided, including widening existing
roads to meet neighborhood traffic and drainage needs. The subdivider may also be required to
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provide drainage improvements, in accordance with standards set by the City Engineer and with
the city’s MS4 permit (see P 5-26). The subdivision ordinance further specifies that water mains
and fire hydrants may be required when new lots are created, and that easements for gas and
electric services may be required.
The cost of installing a new septic system is generally not a constraint for brand new homes but
can be an impediment for ADUs and smaller additions, particularly for homeowners with limited
incomes. At minimum, the County Health Department requires a feasibility study for any project
that could result in septic tank capacity being exceeded. Older homes may face costly septic
installation requirements that could render a home addition or ADU infeasible. Programs to
assist lower income or senior homeowners with septic tank replacement could be considered,
particularly where an ADU is being added.
5.2.8 Development and Permitting Fees
Fees are charged by the City and other agencies to cover the costs of processing permits and
providing services and facilities, such as utilities, schools, and infrastructure. Most of these fees
are assessed through a pro rata system based on the square footage or value of the project, the
staff time required for processing, and the magnitude of the project’s impact. If fees become
excessive, they can become a constraint on development and make it more difficult to build
housing affordably. They can also place a burden on lower income homeowners seeking to
modify their homes or add an Accessory Dwelling Unit.
A summary of residential development fees charged by the City of Rolling Hills is presented in
Table 5.2. Most projects do not require payment of these fees, as they would not typically
require use permits, Variances, Zoning changes, General Plan amendments, CEQA review, lot
line adjustments, and so on. However, Site Plan Review is commonly required for all new
homes and major additions, and ADU permits are required for larger ADUs. For projects
complying with City standards and requirements, the fees are not a development constraint.
Table 5.2: City of Rolling Hills Major Development Fees1
Fee Type Fee Amount Notes
Site Plan Review $1,500
Conditional Use Permit $1,500
Variance $1,250
Minor Variance
$750 Encroachments from main
structure that do not extend
more than 5’ into required
setbacks
Zoning Change or Code Amendment $2,000
General Plan Amendment $2,000
Accessory Dwelling Unit application $375
Major Remodel Review $375
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View Impairment Review
$2,000 Processing fee for Committee
review of impacts on trees and
views
Water Efficient Landscape Review $1,500 Unused balance refunded
Traffic Commission Review $300 Required for new driveways
Lot Line Adjustment $1,500 Plus County fee
Tentative Parcel Map $1,500 Plus County fee
Final Parcel Map -- County fee only
Environmental Review Determination $200 Plus Fish and Game Fee
Environmental Impact Reports Consultant fee
plus 10%
Only required as needed
Appeal Fee 2/3 of original
application fee
Only required as needed
Source: City of Rolling Hills, 2021. Barry Miller Consulting, 2021
1 This is not a comprehensive list of all fees but covers the major development-related categories in the City’s fee
schedule. The fee schedule also covers records searches, inspections, and review of grading plans.
Rolling Hills is one of 13 cities that contracts with the Los Angeles County Department of
Building and Safety (LACDBS) for plan checking, building permits, and building inspection. The
County issues building, plumbing, mechanical, and electrical permits on the City’s behalf. The
cost schedules for the incorporated cities served by LACDBS are higher than the schedules for
the unincorporated area but are comparable to nearby cities with full-service building
departments. A residential project with an assessed valuation of $100,000 would be subject to a
plan check fee of $3,413 and a permit fee of $4,029. This includes required energy and
disabled access checking costs. As the value of a project increases, the fees decline as a
percentage of total project costs. They represent 7 percent of a $100,000 project but less than
5 percent of a $500,000 project.
The fee schedules for other permits varies by type. Electrical permits are subject to a base fee
of $74.70, plus a cost per square foot ($0.20/SF for multi-family and $0.50/SF for single family
and duplexes). Separate fees are collected for swimming pools, branch circuits, lighting
fixtures, appliances, and electrical plan checking. Mechanical permits are collected for HVAC
systems, compression units, boilers, refrigeration systems, etc. Plumbing permits are based on
the number of fixtures and also cover projects requiring connection to septic tanks and work
such as solar water heaters, sprinkler systems, and backflow protection devices. Relative to the
other 12 cities that contract with Los Angeles County, the fee schedule in Rolling Hills is slightly
higher. However, the fees are lower in Rolling Hills than in nearby Rolling Hills Estates.
The County also collects fees for projects requiring geotechnical review. This would apply to
most new housing units in Rolling Hills. The fee ranges from $2,752 to $17,746, with the actual
amount based on 0.50% of the value of the proposed structure. Additional fees are charged for
geotechnical site inspections and geotechnical review of grading plans.
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Los Angeles County typically updates its fees annually based on the consumer price index and
other factors. The increase in 2021 was 2.2 percent for all cities served by the County. Rolling
Hills updates its fee schedule less frequently, although fees are considered as part of the annual
budgeting process. Some of the City’s fees—such as the fees for parcel maps and lot line
adjustments—have not been updated in many years.
There are no local surcharges or special fees associated with multi-family housing. On a per unit
basis, permitting costs would be substantially lower for multi-family units than for new single family
units. This is due to the smaller size of multi-family units and to multi-family housing being
permitted “by right” within the Rancho Del Mar Overlay Zone, with no applicable administrative
fees. The City’s fee structure has not historically distinguished between single and multi -family
construction, as multi-family housing only recently became a permitted use.
A number of other fees apply in Rolling Hills; these are typically associated with new residences
and are intended to offset the additional cost of providing services. These include:
• A Park and Recreation Fund Fee, which is equivalent to 2% of the first $100,000 in
building evaluation, plus an additional 0.5% of the remaining balance. The fee for a $1
million construction project would be $6,000. This fee is only charged for new primary
homes---ADUs are exempt.
• A School Impact Fee, which is paid to the Palos Verdes Unified School District. In
2020, the fee was $3.79 per square foot for new residential construction.
• A fee collected by the Rolling Hills Community Association (RHCA), equivalent to $0.20
per $100 of assessed valuation (i.e., $2,000 for a project with a construction value of
$1,000,000)
• Additional architectural review fees collected by the RHCA, including a $165 flat fee
plus $1 per square foot for new construction, additions and major remodels. In
addition, RHCA collects fees ranging from $25 to $500 for individual features such as
swimming pools, tennis courts, gazebos, and new roofs.
There are no sewer connection fees in the city, since there are no sewers. There is no water
connection fee; water service charges are determined by the size of the meter and the number
of fixtures, plus the amount of water used. The City likewise has no impact fees for housing,
transportation, public art, or other services. Projects in the RDMO Zone would be exempt from
the RHCA fee, since they are outside the HOA boundary.
In total, fees for a typical new home are roughly equivalent to 7-8 percent of total construction
costs. This is comparable to other cities on the Palos Verdes Peninsula, though somewhat
higher than in other urbanized parts of Los Angeles County. The higher fees are associated in
part with the terrain and hazards in Rolling Hills and the size and complexity of applications for
new homes, many of which require extensive grading and multiple inspections. Fees do not
constrain development in Rolling Hills, but they do add to the cost of housing, which is already
expensive in the City. Programs to reduce processing and permitting fees for ADUs could be
considered, as they could incentivize ADU production.
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5.2.9 Other Local Ordinances and Disclosure Requirements
No other local ordinances were identified that could present potential constraints to housing
needs. The City does not have an inclusionary zoning requirement, growth control ordinance or
limits on the number of units that may be constructed in a given year, or other locally-imposed
requirement impacting the cost of residential development. The City prohibits the rental of
rooms and houses for periods of less than 30 days, effectively disallowing short-term rentals.
This supports the City’s goal of using Accessory Dwelling Units as rental housing, rather than for
transient occupancy.
The City also complies with AB 1483 (2019), which requires that agencies publish specific
information on their websites starting January 1, 2021. This information includes:
• All current fees and exactions applicable to housing
• All zoning ordinances, design and development standards
• Current and five previous annual financial reports
• An archive of nexus studies for impact fees conducted after January 1, 2018
The City of Rolling Hills maintains a Planning and Community Services landing page on its
website that contains all of this information. This landing page includes a link to all planning and
development fees, the Zoning Map, the Municipal Code (which includes the zoning ordinance
and all applicable development standards), the General Plan, the Local Hazard Mitigation Plan,
Landscape Design Standards, the Water Efficient Landscape Ordinance, Planning and
Development forms and application materials, the Planning Commission calendar, technical
information for developers (related to stormwater management), permitting requirements,
guidelines for equestrian facilities, information on solar panels and rainwater harvesting, and
guidance on septic system installation. The City is also updating its environmental programs
page. An action program in the Housing Element calls for this information to be reorganized and
updated, with new information added on Accessory Dwelling Units and links to the RHCA Design
Guidelines.
Every annual budget and audited financial report for the City since 2010 is available on the
City’s website. There have been no nexus studies for impact fees since 2018, but such studies
would be posted if conducted in the future.
Disclosure requirements related to SB 35 also apply to Rolling Hills. In 2018, California adopted
SB 35, which establishes streamlining provisions for multi-family projects meeting certain criteria
related to affordability and payment of prevailing wages to construction workers. As of 2021,
projects in Rolling Hills in which 10% of more of the units are affordable are eligible for SB 35.
Article III Section 300 (b) of HCD’s Guidelines for SB 35 requires that cities in this situation must
provide “information, in a manner readily accessible to the general public, about the locality’s
process for applying and receiving ministerial approval, materials required for an application as
defined in Section 102(b), and relevant objective standards to be used to evaluate the
application.” An action program in this Housing Element recommends creating an SB 35
information sheet and application and including it on the Planning and Community Services
Website.
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5.3 Non-Governmental Constraints
Non-governmental constraints significantly affect the affordability of housing in Rolling Hills.
Specifically, the high cost of real estate in the city, its heritage as a rural, gated equestrian
community, and its limited infrastructure and severe environmental constraints, make it
extremely challenging to build traditional affordable housing units. The city is one of the most
expensive and highly constrained communities in California. To be economically viable,
affordable housing must be tailored to community context—for example, through accessory
dwelling units.
5.3.1 Land Costs
Land in Rolling Hills is expensive. The city features dramatic topography, with sweeping views
of the Pacific Ocean and Los Angeles basin. Property in the city is marketed as a location for
prestigious estates. The supply of acre-plus homesites on the Palos Verdes Peninsula is limited,
making demand for such properties very strong. A scan of Zillow.com in Fall 2021 shows two
vacant lots for sale in the city—one for $7.5 million and another with geologic constraints for $1
million. Data on recent sales shows a vacant single family parcel that sold for $6.85 million in
November 2020 and another that sold for $1.84 million in 2019. These properties have been
marketed and sold as sites for large single family homes.
The economic viability of affordable housing on these sites is further challenged by the cost of
the site improvements that would be required to facilitate safe development. The vacant parcels
described above lack public sewer; are accessed by narrow, winding, private roads traversing
an area with very high wildfire severity; and have slopes that exceed 50 percent in some cases.
The cost of road widening, grading and earth movement, and installation of community-wide
sewer and storm drainage construction make most types of multi-family housing economically
infeasible. There is no public revenue source to make these improvements. The absence of
commercial land uses in the city limits the City’s ability to sponsor programs that would reduce
or underwrite land or site improvement costs.
5.3.2 Construction Costs
The cost of construction, including labor and materials, is a significant constraint to housing
development in Rolling Hills. While high costs have impacted the entire state, Rolling Hills is
particularly impacted by the high cost of mitigating environmental constraints, including fire and
geologic hazards. New home construction requires grading and earth movement, often with
costly retaining walls and engineered drainage systems. Many homes in the city feature high-
end finishes, as well as amenities that result in higher costs. The city is also vulnerable to
elevated or inflated costs that reflect its reputation as a high-end, high-income market.
In 2014, the Rolling Hills Housing Element estimated that construction costs were approximately
$330 to $500 per square foot. Based on recent projects in the city, costs have doubled since
then. The National Association of Homebuilders estimated that costs increased 26 percent
between June 2020 and June 2021 alone. There have been rapid increases in the price of
lumber, copper, steel, aluminum, concrete, and other building materials, resulting in some
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projects being placed on hold and others being cancelled altogether. Construction costs for
home additions now regularly exceed $800 per square foot.
Construction of septic tanks represents a unique expense in Rolling Hills that is not common in
surrounding cities. Anecdotally, homeowners in the city report costs of well over $25,000 to
install new septic systems, which in some cases can be an impediment to adding an accessory
dwelling unit or expanding an older home.
5.3.3 Financing
Financing is not a constraint to housing development in Rolling Hills, but the high cost of housing
makes it infeasible for most households to buy a home in the community. Home mortgage
interest rates were remain relatively low at the time the Housing Element was drafted, with rates
at around 3.0 percent for a 30-year mortgage in Fall 2021. Income and down payment
requirements have become more stringent than they were following the mortgage crisis of a
decade ago, and there are fewer flexible loan programs to bridge the gap between the amount
of a required down payment and a potential homeowner’s available funds.
Given the very high cost of housing in Rolling Hills, significant capital is required to purchase a
home. A 20 percent down-payment on the median priced home in the City would be nearly
$750,000, with monthly mortgage payments of nearly $19,000. A very high income would be
required to qualify. First time buyers face particular challenges in the city, given the lack of
equity from prior home ownership.
5.3.4 Delays Between Approval and Construction
Given the high cost of construction and rising interest rates, there may be delays between the
time a project is entitled and when it is actually constructed. Applicants may postpone their
projects due to high material costs, supply shortages and shipping delays, and a lack of skilled
construction workers and contractors. Rising interest rates can also add to the cost of a project,
leading to postponement. The economic uncertainty and upheaval of the COVID-19 pandemic
has also caused some projects to stall over the last two years. In some cases, projects may be
cancelled altogether, or the property may be sold to a new owner who may modify or abandon
previously approved plans.
These factors are out of the City’s control but can have a real impact on housing supply and
construction. The City is particularly interested in the completion of permitted ADUs, as these
units are critical to achieving affordable housing goals. As noted in Chapter 6, Rolling Hills
intends to establish a monitoring program for permitted ADUs to facilitate their construction.
This would include reaching out to those who receive ADU permits and monitoring construction
progress on those units. The monitoring program includes follow-up conversations with any
applicants who do not complete their projects to understand the factors leading to that decision,
and any steps the City can take to improve completion rates.
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5.3.45 Conditions, Covenants, and Restrictions (CC&Rs)
Development in Rolling Hills is controlled through both municipal zoning and privately enforced
CC&Rs. The CC&Rs are considered a non-governmental constraint because they are enforced
by the Rolling Hills Community Association (RHCA), a private entity. The CC&Rs were
established by the Palos Verdes Corporation in 1936 upon the initial development of the
community. They apply to all property in the city except the City Hall Campus, Tennis Court
Facilities, PVP Unified School District site (Rancho Del Mar), and Daughters of Mary and Joseph
Retreat Center. The RHCA does not have design review or building permit review authority on
these sites.
Elsewhere in Rolling Hills, the CC&Rs restrict the development and use of property to single
family homes and limited public uses. They do not allow multi-family housing, commercial, office
or industrial activity. One of the stated purposes of the CC&Rs is to preserve and maintain the
rural character of the community, including regulating the architectural design of structures.
The CC&Rs authorize the RHCA Board to appoint and maintain a five-member Architectural
Review Committee to carry out this objective. The Committee is comprised of three Association
members and two licensed architects.
The RHCA Board has adopted a Building Regulations manual that is used by homeowners and
their architects/ contractors, and by the Committee to evaluate projects. Committee review is
required for all new residences and accessory structures, and for all projects that modify the
exterior of existing structures. Committee meetings occur twice monthly, on the first and third
Tuesdays. The meetings are not considered “public hearings” since RHCA is not a public
agency, but they are open to all members of the Association and are subject to Association
bylaws.
RHCA’s Building Regulations require that all homes under RHCA’s jurisdiction be one-story,
ranch-style construction. The Regulations identify three permissible style types: traditional
ranch, contemporary ranch, and early California Rancho. Specific standards are provided for
each style, including allowable exterior siding materials, roof materials (and colors), roof pitch,
building height (25 feet), and floor to ceiling plate heights (8’6” maximum in at least 50 percent
of the structure). Regardless of style, all buildings must be painted white, conform to the natural
grade, and have consistently designed doors and windows. A minimum floor area of 1,300
square feet, plus a two-car garage, is required for all residences.
The regulations align with the City of Rolling Hills zoning regulations—in fact, the CC&Rs
expressly state that the Architectural Committee must comply with applicable provisions of the
Rolling Hills Municipal Code. This includes allowing Accessory Dwelling Units (ADU), which are
not mentioned in the Association’s Building Regulations. Under AB 670 and AB 68 (effective
January 2020), CC&Rs may not be used to deny ADU applications, and prohibitions on ADUs by
homeowner associations are not enforceable.
State law does allow homeowner associations to review the design of ADUs, provided their
process is fair, reasonable, and expeditious. This has been occurring in Rolling Hills for the last
three years with no adverse effects on ADU construction.
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As noted earlier in this chapter, the City has developed a ministerial process for ADU approval
as required by state law. Projects meeting the dimensional requirements in the Municipal Code
(which are consistent with State standards) are approved without a public hearing or
discretionary review by the City. If an ADU does not affect the exterior of a home (for instance,
a Junior ADU entirely within the footprint of an existing home, or the conversion of a detached
guest house to an ADU), then no RHCA review is required. The Architectural Committee does
review ADUs that modify the exterior, add square footage to a structure, or result in a new
accessory structure. The purpose of this review is to verify that the structure meets the
objective design requirements in the RHCA Building Regulations rather than to evaluate the
merits of the project or its off-site impacts. According to the Committee’s own guidelines, it “will
not require modifications to working drawings that materially change the massing of the
project.”
City staff has worked closely with RHCA staff to ensure that their design review process is
coordinated with City permitting, streamlined, and does not impose unreasonable restrictions on
applicants. The RHCA office is adjacent to City Hall and there is ongoing coordination between
the two entities. When an application for an ADU is submitted to the City, the City advises the
applicant to proceed to RHCA immediately afterwards to initiate project review. Projects are
typically forwarded to the RHCA Architectural Committee within two weeks and are typically
approved at the initial meeting; if modifications are required, the plans are typically approved at
the second meeting two weeks later. The review occurs concurrently with the City permitting
process, avoiding potential delays.
In practice, every ADU application approved by City staff has subsequently been approved by
the RHCA Architectural Committee. Nonetheless, an action program in this Element
recommends that the City work with RHCA to update the 2017 Building Guidelines to
acknowledge ADUs and provide guidance for homeowners seeking to add an ADU.
5.3.56 Infrastructure
Another factor adding to the cost of new construction is the limited availability of infrastructure,
specifically streets, sewer, storm water and water facilities.
Streets
Rolling Hills has no public roads or streets. Since the 1930s, the community’s internal street
network has been designed to establish a rural, equestrian character. This historic aspect of the
city’s infrastructure is one of Rolling Hills’ defining features. The road network is typified by
winding roads with a 15- to 25-foot paved cross-section and no curbs, gutters, sidewalks, or
streetlights. Narrow road width, coupled with steep grades and very low densities, effectively
precludes public transit within the city. Access is also gate-controlled at three entry points.
The city's circulation infrastructure is not conducive to uses generating high trip volumes, such
as higher-density housing. Given the entire city’s designation as a very high wildfire hazard
severity area, the capacity to evacuate the population is also a limiting factor. Most streets in the
community are “dead ends” without emergency vehicle access alternatives in the event that
ingress and egress is blocked.
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A number of properties—including City Hall, the Retreat Center, and the PVUSD site, are
accessed from roads outside the City gates. These parcels are less constrained by street access
but could require ingress and egress improvements (resurfacing, driveways, etc.) in the event a
change of use was proposed. Such improvements are typical for any development and would
not adversely affect expected construction costs.
Wastewater Disposal
With the exception of the school site and thirteen residences that have individually or collectively
(through the creation of a small sewer district) connected to an adjacent jurisdiction's sewer
systems, there is no sanitary sewer system in Rolling Hills. Residences are served by individual
septic tanks and seepage pits. These systems are designed to serve single family residences
and are not conducive to multi-family housing. This is particularly true given the geologic, slope,
and soil constraints in Rolling Hills. To meet water quality and runoff requirements, high-density
housing typically requires a viable sewer connection.
Over the past 35 years, the City has conducted multiple sewer system feasibility studies. In
2019, the City received approval from the Los Angeles County Public Works and Sanitation
District to discharge effluent from up to 235 existing homes in Rolling Hills. The City is in the
process of completing design drawings for Phase One, which is a 1,585-foot long 8-inch
diameter sewer line along Rolling Hills Road/Portuguese Bend Road. This will provide service to
City Hall, the RHCA offices, and the Tennis Courts. Future phases of the project could provide
service to residences but would require significant grant funding and potentially special
assessments.
In 2021, the City surveyed all households to determine the level of support for developing a
sewer system. Roughly 16 percent of the City’s households participated. The survey found that
about three-quarters of the residents’ septic tanks were more than 20 years old. More than 80
percent supported construction of a sewer system, though many responses were contingent on
the cost. Past engineering studies have concluded that the terrain and unstable geological
conditions in the city make a conventional gravity sewer system infeasible in the city, meaning
the cost to property owners could be significant.
The Palos Verdes Unified School District site is an exception. It is connected to a wastewater
treatment line that was installed when the school was initially constructed. Collection lines were
sized to accommodate a school campus with several hundred students, and associated
maintenance facilities—a higher level of demand than is associated with current uses on the
site. Given the availability of sewer service to this site and the high cost of extending sewer
services elsewhere, it is the most suitable property for multi-family housing in the City.
In some instances, septic systems may present a constraint to ADU development. This is
generally not an issue for JADUs or smaller ADUs that repurpose existing habitable space, but a
new detached ADU that adds floor space may require increasing the capacity of a septic
system. As noted earlier in this chapter, a program in this Housing Element proposes further
evaluation of this constraint, and possible ways to assist homeowners in addressing it.
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Storm Water Run-off
As a rural community without public streets, Rolling Hills does not have a municipal storm sewer
system or continuous network of storm drains. Drainage follows topography, with stormwater
flowing into steep ravines through the community. Water percolates into the ground along
canyon bottoms, with runoff flowing to the ocean, or to larger streams and detention basins
downstream, depending on location.
To comply with federal National Pollutant Discharge Elimination System (NPDES) requirements
and maintain its Municipal Separate Storm Sewer System (MS4) permit, the City is required to
screen and monitor its runoff to avoid compromising downstream water quality standards. It
also required to implement a number of programs, such as an Illicit Discharge Elimination
Program. The City also requires Best Management Practices (BMP) for construction in order to
avoid erosion, pollution, sedimentation, and runoff that would degrade water quality. These
requirements are not a development constraint but may add to the cost of construction.
Moreover, the lack of a municipal storm drainage system represents another constraint to higher
density housing in most of the city.
The Rancho Del Mar site is outside the area covered by the MS4 monitoring program and drains
west toward Rancho Palos Verdes. Unlike the rest of Rolling Hills, it is served by an improved
storm drainage system. A 2017 facility evaluation reported the storm drains and inlets on the
site as being in good condition.
Water
Water infrastructure in Rolling Hills is owned, maintained, and operated by California Water
Service (CalWater). The city is within CalWater’s Palos Verdes District, which also serves the
other cities on the Palos Verdes Peninsula. Facility planning is governed by an Urban Water
Management Plan (UWMP), which evaluates anticipated demand and the water resources
available to meet that demand.
Projections of future water use are based in part on expected population growth, which is
derived from SCAG forecasts and local general plans. Water demand is projected to increase
by 6 percent by 2045, reflecting very slow population and housing growth in the Peninsula cities.
Development beyond that anticipated by SCAG forecasts could reduce water pressure,
compromise firefighting capabilities, and curtail domestic water availability. This is a problem
throughout California, made worse by persistent drought conditions. The UWMP provides water
shortage contingency plans, including measures to reduce demand and procure emergency
supplies.
Water storage facilities and pipelines in Rolling Hills are generally adequate to meet local needs.
However, many of the city’s water facilities are aging and the system as a whole is vulnerable to
damage during earthquakes and landslides. Storage and distribution facilities reflect the rural
density of the city and are not sized to accommodate significant growth. The Palos Verdes
Unified School District site provides a unique opportunity in this regard, as its water system was
designed for a public school campus with several hundred students.
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The introduction of ADUs in Rolling Hills could potentially impact water demand in the City. The
California Water Company has no plans to upgrade the aging water system. As ADUs are
created, it will be important to consider potential impacts on water distribution lines and fire
fighting capacity. Several factors work to mitigate the impacts of ADUs on the water system.
First, the population of Rolling Hills has declined by roughly 300 since 1980. Thus, the addition
of 40 or so ADUs over eight years may not increase the total number of residents in the City.
Second, water conservation measures have been implemented—and continue to be
implemented—to reduce water flows and water demand. These measures include water-
efficient landscaping requirements, as well as requirements for more efficient plumbing fixtures.
Dry Utilities
Rolling Hills residences are also served by dry utilities. Electric services are generally provided
by Southern California Edison while natural gas is provided by Southern California Gas
Company. A range of private vendors provide phone, internet, and cable services. Capacity is
available to serve new development, and all of the vacant and underutilized sites identified in
Chapter 4 would have access to these services if they were developed. The Rancho Del Mar
site currently has access to these services as it is a former school.
5.3.76 Environmental Constraints
Rolling Hills has severe environmental constraints to development. Slopes exceeding 25
percent are present on almost every remaining undeveloped parcel in the city. Geotechnical
studies are required when new homes are constructed, and mitigation is often required to
reduce the potential for future damage. The City’s Site Plan Review Process and grading
requirements are intended to strictly limit recontouring of existing terrain. Most grading occurs
through “cut and fill” procedures that retain materials on site. This adds to local housing costs
and limits the viability of multi-family housing on most properties in the city.
Landslide Hazards
Figure 5.2 shows landslide zones in Rolling Hills, as mapped by the California Geological Survey
(CGS). Large portions of the city are considered hazardous and major slides have occurred in
the past. This includes the Flying Triangle Landslide, which has impacted roads, homes, and
properties in the southern part of the city for the last 50 years. These areas are poorly suited for
development and are susceptible to slope failure. Human modifications to slopes (through
development) can exacerbate the problem and the risk.
Building at the head of a landslide can decrease the bedrock strength along an existing or
potential rupture surface and “drive” the landslide down slope. Improper grading practices can
also trigger existing landslides. Because of these geologic hazards, the City limits land
disturbance and other actions that would exacerbate soil instability. Ground instability would
contribute to potential risks to human life as well as to physical structures. The Safety Element of
the General Plan sets forth policies to restrict new development and expansion of existing
development in areas susceptible to landslides.
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Earthquake Hazards
Like most of Southern California, Rolling Hills is vulnerable to earthquakes. Large earthquakes
can cause building damage and collapse, as well as damage to roads and utilities. The City of
Rolling Hills is crossed by the Cabrillo Fault, which is part of the Palos Verdes Fault Zone. It is
also vulnerable to earthquakes on the Whittier Fault, the Newport-Inglewood Fault, the Malibu
Fault, the Santa Monica Fault, the Redondo Canyon Fault. The location of these faults is shown
on Figure 5.3.
The Whittier and Newport-Inglewood Faults are considered capable of generating earthquakes
with magnitudes greater than 7.0 and have the potential to cause catastrophic damage. In the
event of a major earthquake on either fault, the city of Rolling Hills would be vulnerable to
ground shaking. Secondary hazards include liquefaction, earthquake-induced landslides and
differential settlement. Fault rupture is not a significant hazard in the city, and there are no
Alquist Priolo “special studies” zones within the city limits.
Wildfire
As shown on Figure 5.4, the entire city of Rolling Hills has been designated a “Very High Wildfire
Hazard Severity Zone” by CalFire. The city’s terrain creates challenges for vegetation
management and presents conditions where a fire can travel quickly up and down canyon
slopes. Despite defensible space requirements, the city’s rural nature and equestrian heritage
means that extensive areas are covered by dense scrub and brush. The Palos Verdes
Peninsula has a history of destructive wildfire, including fires that destroyed homes in 1973,
1993, 2009, and 2018.
The City has taken measures to reduce fire hazards, including preparing a Community Wildfire
Protection Plan in 2020. The Plan outlines measures to harden infrastructure, improve
vegetation management, underground electric power lines, and improve inspections and
enforcement. It also includes provisions for evacuation. Additionally, the City (and Los Angeles
County) require special building safety measures, including standards for roofing, eaves,
exterior finishes, and buffer zones that respond to the higher fire hazard levels.
Despite these measures, the risks of wildfire cannot be eliminated entirely. Moreover, the city
continues to face evacuation constraints resulting from its narrow roads, limited ingress and
egress points, and the presence of livestock on many properties.
Biological Resources
Rolling Hills supports a variety of plant and wildlife species, including some that are listed or
under consideration for listing by the U.S. Department of Fish and Wildlife and/or the California
Department of Fish and Wildlife. These species include the Palos Verdes Blue butterfly, the
California Gnatcatcher, the Pacific Pocket Mouse, the San Diego Horned Lizard, and
Brackishwater snail. Development that could adversely impact the habitat of these species must
undergo review and approval by the overseeing federal and state agencies. Typical mitigation
measures include preservation of habitat, further restricting the potential land available for
development. This constraint is likely to continue throughout the planning period.
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Figure 5.2: Landslide Hazard Areas in Rolling Hills Source: Draft Rolling Hills Amended Safety Element, 2021
Updated Map-shows Flying
Triangle Landslide Area
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Figure 5.3: Earthquake Faults in the Rolling Hills Vicinity
Source: Draft Rolling Hills Amended Safety Element, 2021
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Figure 5.4: CalFire “Very High” Fire Hazard Severity Zones
Source: Draft Rolling Hills Amended Safety Element, 2021
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6. Housing Goals, Policies, Objectives, and Programs
Chapter 6 provides the City’s housing plan for the next eight years. The plan has three
components:
• A statement of the City’s goals and policies for housing. The goals and policies balance
State mandates and Government Code requirements with local needs and priorities.
• An action program. The action program identifies the specific, measurable steps the City
will take during 2021-2029 to implement the policies.
• Measurable objectives for housing production. These objectives correspond to the
City’s Regional Housing Needs Allocation (RHNA) and also include numeric targets for
housing rehabilitation and conservation.
6.1 Goals and Policies
The following goals and policies reflect the City’s continued commitment to actively support
residential development and plan for the City’s fair share of regional housing needs:
GOAL 1: Provide housing opportunities which meet the needs of existing and
future Rolling Hills' residents.
Policy 1.1: Accommodate Rolling Hills’ share of the region’s housing needs in a way that
protects public safety, responds to infrastructure constraints and natural hazards,
recognizes market conditions, and respects the historic context and land use
pattern in the city.
Policy 1.2: Allow the development of a variety of housing types in the city, including multi-
family housing. While Rolling Hills will remain a rural equestrian community,
housing opportunities will be provided for all income groups as required by State
law.
Policy 1.3: Facilitate development on the remaining vacant buildable lots in the city in a
manner consistent with adopted zoning standards.
Policy 1.4: Allow Accessory Dwelling Units (ADUs) and Junior Accessory Dwelling Units
(JADUs) in all residential zones. Maintain objective standards to ensure that
ADUs and JADUs are compatible with the community; minimize visual, parking,
traffic, and other impacts; and respect neighborhood context.
Policy 1.5: Explore incentives to create and maintain Accessory Dwelling Units that are
affordable to low and very low income households.
Policy 1.6: Encourage the conversion of existing guest houses and other habitable
accessory buildings into legal ADUs.
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Policy 1.7: Work with other governmental entities and the non-profit community to support
the development of affordable or senior housing on the Palos Verdes Peninsula
and in nearby South Bay cities.
Policy 1.8: Maintain planning and building procedures that maximize efficiency and reduce
permit processing times and high fees. Encourage public understanding of the
planning and building processes to reduce project costs and delays.
GOAL 2: Maintain and enhance the quality of residential neighborhoods in
Rolling Hills.
Policy 2.1: Encourage and facilitate the maintenance and improvement of existing homes.
Policy 2.2: Ensure that new housing and home improvements comply with building code and
fire safety requirements.
Policy 2.3: Maintain a code enforcement program, including procedures to remediate
violations.
Policy 2.4: Require the design of home improvements, additions, ADUs, and infill housing to
minimize impacts on existing residences. Include objective standards in the
zoning ordinance that protect visual quality, privacy, and community character.
Policy 2.5: Mitigate hazards that could potentially cause a loss of housing units in the city,
including wildfires, landslides, and earthquakes. Encourage home hardening and
defensible space to minimize the potential for housing loss during a natural
disaster.
Policy 2.6 Prohibit the use of ADUs as short-term rentals in order to maintain their viability
as permanent housing units.
Policy 2.7: Encourage weatherization, energy conservation, and renewable energy to
increase energy efficiency and reduce home energy costs.
GOAL 3: Address the housing needs of older adults and others in the
community with special housing needs.
Policy 3.1: Provide reference and referral services for seniors, such as in-home care and
counseling for housing-related issues.
Policy 3.2: Support shared housing programs and room rentals as options for seniors to
remain in the community without financial hardship.
Policy 3.3: Encourage housing opportunities for live-in care givers, domestic employees, and
family members who may assist elderly or mobility-impaired residents who wish
to age in place.
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Policy 3.4: Consider participation in state and federal programs that assist lower income and
senior households in home repair and maintenance.
Policy 3.5: Strive to meet the needs of extremely low-income Rolling Hills residents,
including seniors on fixed incomes.
Policy 3.6: Encourage the retrofitting of existing Rolling Hills homes so they are accessible to
the disabled, including persons with developmental disabilities. Provide
reasonable accommodations in rules, policies, practices, and procedures for
disabled persons to ensure equal access to housing.
Policy 3.7: Participate in countywide programs to meet the needs of unsheltered residents
and others who may need emergency housing assistance.
GOAL 4: Promote housing opportunities for all persons regardless of race,
religion, sex, marital status, ancestry, disability status, or national
origin.
Policy 4.1: Affirmatively further fair housing by ensuring that housing opportunities for
persons of all income levels, races and ethnicities, and physical abilities are
available in Rolling Hills.
Policy 4.2: Enforce all applicable laws and policies pertaining to equal housing opportunity
and discrimination. Maintain third party agreements to follow-up on and correct
alleged violations.
Policy 4.3 Make information on fair housing laws available to residents and realtors in the
City by providing information on the City’s website and print media at the City
Hall public counter.
Policy 4.4: Ensure effective and informed community participation in local housing decisions.
This should include special efforts to include traditionally underrepresented
groups, including persons working or providing services in Rolling Hills.
Policy 4.5: Distribute affordable housing opportunities around the city by focusing on ADUs
as a housing strategy.
Policy 4.6: Participate in regional forums and initiatives to promote fair housing.
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6.2 Housing Implementation Plan, 2021-2029
The goals and policies set forth in the Housing Element will be implemented through a series of
housing programs. Some of these programs are already underway and others will be
implemented over the next eight years. This section of the Housing Element provides a brief
description of each program, including measurable objectives, responsible entities, and
implementation timeframes. Each of these programs has been developed consistent with HCD
guidelines and State Government Code requirements.
Program 1: Annual Progress Report
As required by State law, the City will prepare and file an annual report on the progress made
toward implementing its Housing Element using forms and definitions adopted by the California
Department of Housing and Community Development (HCD). Guidance on the content of the
report is provided by the State Office of Planning and Research. It documents the City’s
progress toward meeting its share of regional housing needs and efforts to remove government
constraints to housing production. The report must be presented to the City Council prior to its
submittal (it may be approved as a consent item).
Quantified Objective: Provide one report per year
Funding Source: City General Fund
Responsible Agency: Planning and Community Services Department
Implementation Time Frame: File by April 1 of each year
Program 2: Rancho Del Mar Opportunity Site Monitoring
In February 2021, the City adopted the Rancho Del Mar Overlay Zone on the 31-acre Rancho
Del Mar (RDM) campus owned by the Palos Verdes Unified School District. As documented in
Chapter 4 and Appendix B of this Housing Element, large parts of the RDM site are unimproved
and vacant. The new zoning permits 16 affordable multi-family units on the site, which may be
developed “by right” at a minimum density of 20 units per acre.
The City Manager will meet at least once annually with the School Superintendent to discuss the
future of the site, including future development opportunities. Next steps to be pursued on the
site include:
• Exploring the feasibility of sSubdividing the site to create a separate parcel west of the
PVPTA transit facility. This site could potentially be more easily marketed as a
development opportunity than the 31-acre site as a whole.1
• Preparation of a “fact sheet” for the site, for review by the School Superintendent and
School Board, highlighting the potential for multi-family housing
• Further discussions with the School Board regarding opportunities for teacher housing
and/or senior housing on the site.
1 Subdivision is not required to develop the site—it can also be developed “as is” in 2022. However, subdivision could provide an
incentive for future development during the planning period.
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• In collaboration with the School District, make information on the site (e.g., the “Fact
Sheet”) available to affordable housing developers.
• Further discussions with non-profit developers regarding the opportunity to construct
housing on the site, including technical assistance to developers where requested.
• Consideration of permit streamlining, CEQA clearance, and fee reductions for future
affordable housing development on the site. Multi-family housing is already permitted
“by right” subject to objective design standards adopted in February 2021, but further
steps could be taken to reduce future development costs.
Quantified Objectives: (1) 16 units of affordable housing on the RDM site
(2) Annual meeting between the City Manager and School
Superintendent
Funding Source: City General Fund
Responsible Agency: City Manager
Implementation Time Frame: Once annually, beginning in 2021
(1) Meeting with School Superintendent by end of 2022 and once
annually thereafter
(2) Preparation of site “fact sheet” for review by School District
and School Board by June 2023
(3) Subdivision creating “western” parcel by end of 2023, subject
to School Superintendent and Board approval
Program 3: No Net Loss Monitoring and Other Multi-Family Housing Opportunities
The City has identified adequate capacity to accommodate 45 units of housing, as required by
the Regional Housing Needs Allocation. Sixteen of these units are on the Rancho Del Mar Site.
Five are new single family homes on vacant lots (three of which are already approved). The
remainder are Accessory Dwelling Units. Rolling Hills will continue to maintain General Plan and
zoning designations that facilitate development of the required number of units and will continue
to comply with the Housing Accountability Act in the event projects are proposed.
SB 166 (2017) requires that every city maintain “adequate sites” to accommodate its RHNA by
income category at all times during the eight-year Housing Element period. If a designated
housing opportunity site becomes unavailable, the city must demonstrate that it still has
adequate capacity on its remaining sites (e.g., “no net loss”). In the event the Rancho Del Mar
site becomes unavailable to produce the housing units envisioned by the overlay zone, the City
would need another suitable site to accommodate those units.
Cities generally meet the no net loss mandate by providing one or more “buffer” sites in addition
to their primary sites. These sites must meet HCD criteria, including the ability to accommodate
16 units at a density of at least 20 units per acre. As demonstrated in Chapter 4, due to the lack
of sewer and the community’s natural hazards, Rolling Hills does not have a buffer site available.
The City will continue to explore potential housing sites that could supplement the RDM site,
particularly where sanitary sewer service could be made available in the future. The City will
continue to rely on accessory dwelling units to meet the balance of its lower-income housing
assignment, regardless.
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Quantified Objectives: No net loss of housing capacity to meet RHNA at all times
Funding Source: City General Fund/ Permitting Fees
Responsible Agency: Planning and Community Services Department
Implementation Time Frame: Continuous through 2029
Program 4: Add Definitions of Transitional and Supportive Housing, Residential
Care Facilities, and Employee Housing, to Municipal Code
To comply with Government Code Section 65583(c)(3), the City of Rolling Hills must clarify that
residential care facilities, transitional housing, and supportive housing are considered residential
uses and are subject to the same restrictions that apply to the other residential uses that are
allowed in a given zoning district. In other words, a single family home used as a group home
for persons with disabilities is subject to the same planning and zoning requirements that apply
to a single family home used by a traditional family. Most local governments have addressed
this requirement by adding definitions to their zoning codes for transitional and supportive
housing, as well as large and small residential care facilities.
The purpose of this program is to add those definitions to the Rolling Hills Municipal Code
(Chapter 17). The definitions would acknowledge that such housing is permitted or conditionally
permitted in the same manner as other residential dwellings of the same type in the same zone
as required by State law. The Code amendments will ensure that no special requirements are
placed on residential care facilities with seven or more occupants, as required by State law.
Definitions of small licensed residential care facilities (for six of fewer residents) and low barrier
navigation centers also will be added to the Code and referenced in other zoning regulations, as
required by State law.
This program also includes a Municipal Code Amendment to add a definition for employee
housing in accordance with the California Health and Safety Code (HSC). HSC Section 17021.5
states that employee housing providing accommodations for six or fewer people shall be
deemed a single family structure with a residential land use designation. It further states that
employee housing may not be considered a boarding house, rooming house, hotel, dormitory,
or similar term that implies that such housing is a business run for profit or differs in any other
way from a single family dwelling. State law precludes a city from requiring a conditional use
permit, zoning variance or other zoning variance for such housing, and stipulates that the use of
a single family dwelling for six of fewer employees does not constitute a change of occupancy
for building code purposes.
Quantified Objectives: Council Action Adopting Definitions
Funding Source: City General Fund
Responsible Agency: Planning and Community Services Department/ City Attorney
Implementation Time Frame: Complete by December 2022
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Program 5: Density Bonus Ordinance
Section 65915 of the California Government Code establishes mandatory statewide provisions
for density bonuses for affordable and senior housing projects. Rolling Hills does not currently
have density bonus provisions in its Municipal Code. Historically, the City has not had multi-
family housing, nor any site where multi-family housing could be constructed. With the creation
of the Rancho Del Mar Overlay Zone, a developer could request a density bonus and related
concessions from a developer. State standards would apply in this instance. The City should
adopt provisions in its Municipal Code acknowledging the applicability of State density bonus
laws in the event a request is received.
Quantified Objectives: Municipal Code amendment related to Density Bonuses
Funding Source: General Fund
Responsible Agency: Planning and Community Services Department
Implementation Time Frame: Complete by December 2022
Program 6: Accessory Dwelling Unit (ADU) Production, Monitoring, and Incentives
As noted in Chapter 4, the City intends to meet its Regional Housing Needs Allocation of 29
lower income units through a combination of affordable housing on the Rancho Del Mar site (16
units) and privately constructed and rented ADUs on scattered sites throughout the city. At
least 13 ADUs should meet affordability thresholds for low and very low income households.2
Creating opportunities for lower income households on scattered sites supports one of the main
objectives of the State’s Affirmatively Further Fair Housing (AFFH) requirements, which is to
avoid the concentration of lower income housing in a single location. An ADU-centered strategy
also responds to the lack of sanitary sewer, storm drainage, and public streets in Rolling Hills
and the community’s rural densities and absence of supportive services.
As stated in Chapter 4, the City approved nine ADUs in 2021 alone, including two that are
projected to be affordable to lower income households based on their small size. Thus, creating
another 11 ADUs affordable to lower income households over the next eight years is an
attainable goal. The Annual Housing Progress Report should address the City’s progress
toward meeting this goal; if the City is falling short after two years, the strategy should be
revisited and additional incentives should be developed.
Program 6 includes a number of specific elements, which are listed below:
6.1 Develop Citywide Roster of ADUs. The City developed an ADU roster in October 2021
and will expand the roster as new units are created. Currently, the roster (or data base)
contains fields such as Address, Owner, month approved, square footage, and a description
of each unit. This should be expanded to include information on whether the unit is
occupied, the number of occupants, and the rent charged—this information would be
requested from homeowners on a voluntary basis. Tracking occupancy and affordability is
intended to determine how many units are serving very low- and low-income households,
and to demonstrate that the City is meeting its RHNA.
2 Two ADUs meeting affordability criteria for low/very low are already under construction (see Table 4.1), leaving a balance of 11
needed.
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6.2 Annual ADU Survey and Monitoring. The City will send an annual letter to households on
the ADU roster requesting information on the status of the unit. The information will be used
to prepare a summary that can be referenced as part of the City’s Annual Progress Report.
As part of this task, the City will also identify instances where very low or extremely low
income households (including family members, domestic employees, caregivers, etc.) are
residing on Rolling Hills properties and paying below market rent (or no rent). To the extent
these households are occupying independent living quarters, this data provides evidence
that the City is accommodating its RHNA target for very low income households.
As part of this effort, the City will also implement an annual monitoring program to ensure
that the Housing Element targets for ADUs are being achieved. A determination of the City’s
progress toward meeting its RHNA target of 40 units over 2021-2029 shall be made once
per year. In the event the City is not on track to meet its target, it will consider alternative
means of meeting its RHNA goals within six months of this determination. These could
include additional ADU incentives, modifications to the affordable housing overlay zone, and
other actions that would facilitate production of additional affordable units.
6.3 Develop Inventory of Potential ADUs. Over time, the City will develop a parcel data base
of potential (or “unintended”) ADUs, which are existing habitable spaces that could
potentially be converted into independent dwelling units. This would include guest houses,
pool houses, and similar accessory structures that are used by the primary residence. As
the inventory is completed, owners would be advised of the opportunity to convert the space
into a legal ADU.
6.4 Incentives for ADU Construction. The City will develop incentives for ADU construction.
Different incentives may be developed for those building new homes (i.e., reduced fees for
including an ADU in a new residence), those adding a new ADU on their property, and those
converting existing habitable floor space into an ADU. In accordance with California Health
and Safety Code (HSC), Section 65583(c)(7) (effective January 1, 2021), the City will
explore the use of State CalHome, LEAP, REAP, and SB 2 funding to help local homeowners
build or finance ADUs on their properties. Access to these funds typically requires rents that
are affordable to low and very low-income households.
6.5 Pre-Approved ADU Plans. The City will determine its eligibility for State grant funding to
develop “pre-approved” plans for ADUs that can be used by Rolling Hills residents. These
architect-developed plans would be specifically tailored to meet the RHCA design guidelines
and would respond to the topography and access constraints found on most Rolling Hills
lots. Enabling homeowners to use pre-approved plans may reduce architectural design
costs, and potentially reduce construction costs. This can make ADUs more feasible and
allow them to be rented more affordably.
6.6 Coordination with RHCA. The City will coordinate with the Rolling Hills Community
Association to ensure that RHCA’s design review practices and procedures do not constrain
ADU construction or add to their costs. City staff will meet with RHCA staff and the RHCA
Architectural Committee regularly to coordinate review, advise RHCA of State laws relating
to ADUs, and address any issues that may arise in the future. The City will also work with
the Rolling Hills Community Association to explore reduction of annual HOA fees for
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property owners agreeing to limit rents on their ADUs.
6.7 Septic Tank Replacement Grants or Financial Assistance. The City will pursue funding
for a grant which can be used to assist homeowners with septic tank replacement when
paired with the addition of an ADU. The grants would be targeted to lower income seniors
who may seek to add an ADU but lack the financial resources to replace their septic tanks.
6.8 Non-Profit Construction of ADUs. The City will explore the possibility of engaging a non-
profit housing developer in a program to develop ADUs in partnership with interested Rolling
Hills property owners. Participation could be limited to qualifying lower income residents, or
to homeowners who agree to limit rents to levels that are affordable to lower income
households. Such a program was successfully implemented by the City of Santa Cruz, in
collaboration with Habitat for Humanity, and could be considered locally.
6.9 Monitor Best Practices in ADUs. The City will continue to track statewide and national
trends in ADU management, incentives, and regulations. The focus will be on cities in
California that are comparable to Rolling Hills in density, character, and constraints, with an
eye toward cities that are relying on ADUs to meet a substantial share of their RHNA for
lower income households. Programs that are potentially transferable to Rolling Hills will be
considered for local implementation.
6.10 Update Municipal Code Provisions for ADUs. By October 15, 2022, the City will update
its ADU ordinance to reflect changes to State law made since the last revision to the
ordinance in February 2020. This includes eliminating references to a maximum bedroom
count in an ADU and including provisions for complete applications to be deemed
approved if they are not acted upon within 60 days.
6.11 Outreach to ADU Permit Recipients. The City will monitor ADU approvals, including six-
month “check-ins” with all applicants receiving ADU permits until the units are completed.
These check-ins will include status updates on the projects, including whether a building
permit has been issued and what progress is being made. In the event an applicant
chooses not to follow through on an approved ADU, staff will make an effort to document
the reasons and evaluate any changes that might be made to the City’s ADU program to
improve completion rates. This information should be part of the City’s annual housing
progress report.
In addition to the specific measures listed above, City staff will continue to assist homeowners
who are interested in adding an ADU, and will work with applicants to facilitate ADU review,
permitting, and approval.
Quantified Objectives: (1) Citywide ADU roster of 40 ADUs by 2029, including at least 13
ADUs rented at levels meeting affordability criteria for lower
income households
(2) ADU Survey, administered once a year
(3) Inventory of potential ADUs
(4) ADU Incentives
(5) Two to four pre-approved ADU architectural plans
(6) Municipal Code Revisions (see 6.10 above)
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(7) 100% completion of ADUs receiving permits
Funding Source: City General Fund/ State grants
Responsible Agency: Planning and Community Services Department/ City Attorney
Implementation Time Frame: (1) Rosters and Surveys prepared by 2022 and updated annually
(2) ADU incentives by 2023
(3) Approved architectural plans by 2024, or as funding allows
(4) Amend Municipal Code Chapter 17.28 (Accessory Dwelling
Units) for consistency with State law by October 15, 2022
(5) Establish protocol for 6-month check-ins with ADU permit
recipients by January 1, 2023
(6) Annual monitoring report on ADU production
Program 7: Accessory Dwelling Unit (ADU) Outreach, Education, and Information
Program 7 addresses public outreach, education, and information on ADUs. Like Program 6, it
has multiple elements.
7.1 Biennial Mailing. The City will send a mailing to all households in Rolling Hills at least
once every two years advising them of the opportunity to create an ADU, the potential
benefits of having an ADU, and potential incentives in the event the ADU will be
occupied by a household worker, caregiver, family member, or other household meeting
the definition of a low or very low income household. The mailing may consist of an
article in the City’s monthly newsletter.
7.2 Website. The City will develop a landing page on its website with information on ADU
opportunities (“Thinking about building an ADU?”). The website landing page will
include information on the types of ADUs an owner may consider (detached, attached,
junior, etc.), the typical cost and cost considerations, financing options, tax implications,
development standards, tenant selection, and so on. The information should also be
provided in printed form for interested homeowners.
7.3 RHCA Design Guidelines Update. The City will work with the Rolling Hills Community
Association to facilitate an update of the RHCA Design Guidelines so that they address
ADUs. Currently, the Guidelines do not acknowledge ADUs at all. The Update would
provide objective design standards for ADUs that are consistent with Rolling Hills zoning
standards as well as the design guidelines that currently apply.
Quantified Objectives: (1) Mailings to all Rolling Hills households (at least once every 2
years)
(2) Updated City website
(3) Updated Design Guidelines document
Funding Source: City General Fund, State grants
Responsible Agency: Planning and Community Services Department
Implementation Time Frame: (1) First mailing by December 2022
(2) Website update by June 2023
(3) Update of design guidelines by 2024
Program 8: Assist Senior and Disabled Households
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The City will continue to address the housing needs of seniors and persons with disabilities by
connecting those in need with social service agencies, non-profits, volunteer organizations, and
other service providers, and by coordinating with the RHCA in the services and programs it
provides. As noted in the Needs Assessment, more than one-third of the city’s residents are
over 65 and about 10 percent have one or more disabilities. The City will work with seniors,
especially those on fixed incomes, to evaluate housing needs and resources. Within 18 months
of Housing Element adoption, the City Council will convene a study session jointly with the
RHCA Needs of Seniors Committee and at least one local non-profit serving seniors (such as
Peninsula Seniors) to discuss the needs of Rolling Hills seniors and potential programs to
address these needs.
Several of the programs listed elsewhere in this Element (shared housing, assistance with home
maintenance, reduced utility rates, etc.) are primarily intended to benefit lower income seniors.
The City also will support expanded opportunities for persons with disabilities, including the use
of universal design principles and accessibility standards in new construction and ADUs. As
part of this program, Rolling Hills will also work with the Harbor Regional Center to implement
outreach services to Rolling Hills families on services available to persons with developmental
disabilities. The City’s website will be updated to include links to housing and supportive
services for seniors and disabled persons.
Quantified Objectives: Website landing page with senior housing resources
Facilitate age-in-place retrofits for 10 senior households
City Council study session on needs of seniors and potential
actions to assist Rolling Hills seniors
Funding Source: City General Fund
Responsible Agency: Planning and Community Services Department/ City Manager
Implementation Time Frame: June 2023 (for website)
Council Study Session before December 2023
Program 9: Assist Extremely Low-Income Households
Extremely Low Income (ELI) households have incomes that 30 percent or less of the County
median. In 2021, the income thresholds for ELI were $24,850 for a household of one; $28,400
for a household of two; $31,950 for a household of three; and $34,450 for a household of four.
Based on CHAS data, there are 25 ELI households in Rolling Hills, representing about 3.5
percent of the city’s households. The CHAS data indicated that all 25 of these households were
homeowners, suggesting they are primarily seniors on fixed incomes. The City will explore ways
to assist elder Rolling Hills homeowners on fixed incomes with home maintenance, repair, and
retrofit activities. It will also direct these households to appropriate resources, such as shared
housing services and programs to reduce utility costs.
There are additional ELI households in Rolling Hills that may not be counted in the Census data,
including extended family members living in independent quarters on a property, or domestic
employees (housekeepers, au pairs, personal assistants, etc.) living in guest houses, accessory
buildings, or in separate quarters within the primary residence. The City will address the needs
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of these households by prioritizing applications for ADUs and encouraging homeowners to
create opportunities for domestic employees and family members to live “on site.”
A study sponsored by SCAG in 2020 determined that 15 percent of the ADUs in the coastal Los
Angeles area were likely to be available at rents affordable to Extremely Low Income
Households.3 A 2018 study further found that 17% of the ADUs in Portland, Seattle, and
Vancouver were occupied by a friend or family member for free.4 A 2014 study found that 18%
of the ADUs in Portland were occupied for free or extremely low cost.5 A 2012 UC Berkeley
publication indicates that up to half of all ADUs are occupied at no cost.6
Based on these analyses, the City is estimating that seven “rent free” or extremely low income
rentals will be added to the Rolling Hills housing stock by 2029. It will seek to document and
measure progress toward this objective by soliciting voluntary reporting of such units by
individual homeowners. As noted in Program 6.2, an annual survey is proposed to be
administered to all registered ADU owners in the city. This would enable tracking of rent-free or
reduced rent ADUs.
Quantified Objectives: Provide seven housing units affordable to Extremely Low Income
Funding Source: City General Fund/ Permitting Fees
Responsible Agency: Planning and Community Services Department
Implementation Time Frame: Prepare inventory of Extremely Low Income (ELI) units by 2024,
update annually
Facilitate housing assistance to at least three ELI senior
homeowners by 2025
Program 10: Support Regional Efforts to End Homelessness
Extremely low-income persons also include those who are homeless or may be at risk of
becoming homeless. Although the point-in-time surveys for the last five years have not counted
any homeless residents in Rolling Hills, the City recognizes that homelessness is a regional
problem that requires regional solutions. Rolling Hills will continue to allow emergency shelters
and single room occupancy hotels in the Rancho Del Mar Overlay Zone and will monitor the
effectiveness of its regulations in its Annual Housing Progress Report.
The City will continue to work with adjacent communities on emergency shelter referrals. As a
member of SCAG and the South Bay Cities COG, staff and elected officials participate in forums
and discussions of homelessness, and potential programs and resources to end homelessness
and increase the supply of shelter, transitional, and supportive housing in Greater Los Angeles.
Quantified Objectives: Participation in point in time surveys; participation in at least one
regional meeting annually on strategies to end homelessness
Funding Source: City General Fund/ Permitting Fees
Responsible Agency: Planning and Community Services Department/ City Manager
Implementation Time Frame: Ongoing, 2021 through 2029
3 SCAG Regional Accessory Dwelling Unit Affordability Analysis, 2020
4 Jumpstarting the Market for ADUs. Terner Center (for ULI), San Francisco, 2018
5 ADUs in Portland OR. Environmental Solutions Management, 2014
6 Scaling Up Secondary Unit Production in the East Bay. Berkeley Institute of Regional Development, 2012
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Program 11: Permit Streamlining
The City will continue its efforts to expedite permit processing, ensure efficiency, and reduce
administrative and processing costs for new development. This could include provisions for
reduced fees for ADUs that are rented at below market levels, or occupied by qualifying lower
income households. As part of the annual budgeting process, the City will ensure that fees are
appropriate for the services provided, and will consider ways to improve the permitting and
entitlement processes.
Quantified Objectives: Compliance with all provisions of the Permit Streamlining Act
Funding Source: City General Fund/ Permitting Fees
Responsible Agency: City Manager/ Finance Director/ Planning and Community
Services Department/ LA County Building and Safety
Implementation Time Frame: Ongoing, 2021 through 2029
Program 12: Facilitate Communication with Affordable Housing Service Providers,
Developers, and Advocates
The City of Rolling Hills periodically receives requests from housing advocates, non-profit
developers, and service providers to disseminate information on affordable housing needs and
opportunities and work collaboratively to address housing issues. City planning staff regularly
field requests from for-profit and non-profit developers, participate in regional housing meetings
and discussions, and work with other cities to explore creative, effective ways to meet housing
needs. In the event a non-profit agency or developer wishes to submit a grant application that
will increase housing affordability for senior or low income Rolling Hills residents, staff will
provide administrative support wherever possible.
Quantified Objective: Hold at least one meeting a year with one or more non-profit
housing sponsors to discuss housing opportunities and needs in
Rolling Hills
Funding Source: General Fund
Responsible Agency: Planning and Community Services Department
Implementation Time Frame: Convene one meeting before December 2022. Convene additional
meetings at least once a year from 2023 to 2029.
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Program 13: Shared Housing
Shared housing enables homeowners to offset their housing costs by receiving rent, or get
additional help in managing housing duties. It also creates a resource for lower income
households in the community, including college-aged students and young adults, caregivers,
domestic workers, landscapers and building industry workers, child care workers, teachers, and
other public service employees. It can also be a resource for seniors, some of whom may no
longer wish to live alone or lack the financial resources to live alone.
Residents in Rolling Hills have access to two nearby shared housing programs: Focal Point at
the South Bay Senior Services Center in Torrance and the Anderson Senior Center in San
Pedro. Both these centers offer resources to assist seniors locate roommates interested in
sharing housing. These programs make roommate matches between seniors based on
telephone requests.
Numerous other home sharing services have emerged over the last decade. These include
SHARE! Collaborative Housing, a public-private partnership supporting shared single family
housing for persons with disabilities in Los Angeles County; Affordable Living for the Aging,
which matches younger single tenants with seniors in Los Angeles County; and Los Angeles
County HomeShare, which serves residents of all ages throughout the County. There are also
private services such as Silverleaf (Long Beach) that facilitate home sharing for a fee.
The City will continue to apprise residents about shared housing programs by providing information
at the public counter and online.
Quantified Objectives: Continue to provide informational brochures advertising shared
housing programs at City Hall and on the City’s website
Funding Source: City General Fund
Responsible Agency: Planning and Community Services Department
Implementation Time Frame: Establish website links by December 2022
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Program 14: Sewer Feasibility Studies and Phase One Construction
As indicated in Section 5.3.5 of this Housing Element, Rolling Hills does not have a sanitary
sewer system. With a few exceptions, the entire city is served by private septic systems. Septic
system installation is costly and requires customized design to reflect steep terrain. The cost of
installing sanitary sewers and storm drains would be even more costly, as it would likely require
easements, force mains, and lift stations.
The City recently completed design drawings for a sanitary sewer extension through adjacent
Rolling Hills Estates that will bring service to Rolling Hills City Hall and the Tennis Courts. A
future phase of this project could continue southward along Portuguese Bend Road, allowing
some Rolling Hills homes and a number of vacant properties to be served by sewer. A survey
done by the City in 2021 indicated there was strong support for a sewer extension project,
contingent on the cost to each homeowner. There is currently no funding source for such an
extension. Grant funding would be required, as it would reduce the cost burden on
homeowners and make the project more feasible.
The City will continue to work toward addressing this constraint during the 2021-29 planning
period. This includes:
• Developing the initial phase of the project, serving City Hall and the Tennis Courts
• Conducting feasibility and cost studies for a future phase to serve privately owned
homes and parcels in the northern part of Rolling Hills
• Pursuing funding for future phases
• Continuing to poll Rolling Hills residents on their level of support for the project
In addition, the City continues to monitor water quality issues related to its MS 4 permit for
stormwater discharge. Efforts to address runoff quality and implement best management
practices to reduce pollution are ongoing and will continue.
Quantified Objective: (1) Complete 1,585-foot sanitary sewer extension to City Hall/
Tennis Courts (Phase I)
(2) Complete feasibility / cost study of sanitary sewer extension
(3) Obtain grants for Phase I project construction
Funding Source: General Fund/ State grants
Responsible Agency: City Manager
Implementation Time Frame: Complete Phase I by 2024
Determine viability of future phases and available grants by 2023
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Program 15: Consider Participation in CDBG Urban County Program
At least once every two years, the City should re-evaluate the feasibility of joining the Los
Angeles Urban County CDBG program in order to create a funding source for home
improvements for qualifying lower income Rolling Hills residents. The decision should consider
the potential amount of funding that could be received by the city, and potential uses for that
funding, as well as the administrative costs, reporting requirements, and staff resources required
to carry out the program. In the event the City receives CDBG grants, it could consider using
the funding to assist qualifying lower income households with energy efficiency improvements,
housing rehabilitation and improvements, or septic tank replacement.
Quantified Objectives: Prepare staff report to City Council regarding participation in
Urban County CDBG program
Funding Source: City General Fund
Responsible Agency: City Manager/ Finance Director
Implementation Time Frame: By 2023, and every two years thereafter
Program 16: Code Enforcement
The City will continue code enforcement and nuisance abatement activities to ensure the safety
and habitability of housing in Rolling Hills. While property maintenance in Rolling Hills is
excellent, there is a need for ongoing enforcement of planning and building codes. The City has
a “Code Enforcement” webpage with online forms for reporting suspected violations, including
those relating to vegetation management and outdoor lighting as well as unpermitted
construction or nuisances. Periodic information on code enforcement resources and
requirements is also provided to residents through the City’s monthly newsletter.
Quantified Objective: Respond to 100 percent of resident Code Enforcement inquiries
Funding Source: General Fund
Responsible Agency: Planning and Community Services Department
Implementation Time Frame: Ongoing, 2021-2029
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Program 17: Reduce Home Energy Costs
Energy bills can be a significant cost burden, particularly for households on fixed incomes with
large homes to heat and cool. The City has adopted the Green Building Code and enforces Title
24 energy efficiency requirements through its contract with the Los Angeles County Department
of Building and Safety. New residential projects, including new homes, ADUs, renovations, and
additions, will continue to be required to meet Title 24 standards. These requirements result in
energy savings which reduce gas and electric consumption and home utility bills.
Rolling Hills also works with Southern California Edison to distribute information to residents on
energy conservation and weatherization, including information on financial assistance and lower
utility rates for low-income customers. The City will provide links on its website to assist lower
income residents in accessing information on reduced utility rates. Rolling Hills is also a
member of the South Bay Environmental Services Center, which provides information on energy
incentives, audits and rebates. These programs will continue in the future.
The City will also support resident installation of solar energy systems. A growing number of
Rolling Hills homeowners have installed photovoltaic panels, increasing energy independence
and resilience while reducing home energy costs.
Quantified Objective: (1) Provide links on City website related to energy conservation,
weatherization, and financial assistance
(2) Adopt updated Building Code standards for energy efficiency
Funding Source: General Fund, LIHEAP
Responsible Agency: Planning and Community Services Department
Implementation Time Frame: Website Update, with links: Complete by January 2023
Program 18: Facilitate New Construction and Home Improvements
The City will continue to work with property owners, architects, and builders to enable new
housing to be built in the City. Continued cooperation and communication between City staff,
applicants, and neighbors will facilitate the construction of new housing. The City is committed
to efficient planning, building, and inspection procedures, and regularly seeks ways to improve
the process and reduce delays.
With few vacant lots remaining, most construction projects in Rolling Hills consist of home
additions, repairs and modernization, or replacement of existing dwellings. Continued
investment in Rolling Hills housing stock is strongly encouraged and will continue to be
supported in the future. Although the City does not provide direct financial assistance to lower
income homeowners, it assists owners in keeping costs down through permit streamlining and
fees that are generally below average compared to other cities in Los Angeles County.
Quantified Objective: 5 new single family homes (above moderate income)
Funding Source: Private Funds (Permitting Fees)
Responsible Agency: Planning and Community Services Department, LA County
Building and Safety
Implementation Time Frame: Objective covers the period from 2021 through 2029
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Program 19: Remediate Geologic Hazards
The City will continue to explore solutions to ground stability and landslide problems. Grading,
new structures and additions typically require a soils and geology report along with grading and
building permits. The City has developed strict grading practices that limit grading to no more
than 40 percent of the lot and require maintenance of natural slopes. These practices are
necessary to safeguard the public against ground instability.
The City will support repair work on landslide-damaged homes and hillsides that have been
damaged or compromised by past landslides. The City will strive to avoid further loss of its
housing stock as a result of natural disasters, including landslides and wildfires.
Quantified Objective: Geologic studies for new development and major grading permits
Funding Source: City General Fund
Responsible Agency: Planning and Community Services Department/ City Manager
Implementation Time Frame: On-going, 2021 to 2029
Program 20: Fair Housing Services Program Administration
The City will complete a Fair Housing Outreach and Enforcement Options Memorandum to
determine options for ensuring that existing and prospective residents have access to fair
housing services, and that property owners are apprised of Fair Housing laws and practices.
This could include an agreement contract with a third party fair housing services provider to
promote and affirmatively further fair housing opportunities for all persons regardless of race,
religion, sex, marital status, ancestry, national origin, color, familial status, disability, or other
characteristics protected by state and federal fair housing law. Other alternatives for outreach,
education, and enforcement may be considered. Based on the findings of the Memorandum,
the City will implement Fair Housing measures, including Programs 21 and 22 described below.
City will also contact the fair housing service provider annually to obtain information on cases
and referrals originating in Rolling Hills.
Quantified Objective: Fair Housing Outreach and Enforcement
Memorandum Active contract with a fair housing
services provider
Funding Source: General Fund
Responsible Agency: City Manager
Implementation Time Frame: Complete memorandum Bby December 2022; renew Agreement
as needed
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Program 21: Fair Housing Outreach
The City will provide information on fair housing resources on its website, including a links to the
fair housing services provider. Other outreach measures to be implemented include posting
regulations regarding housing discrimination, as well as phone contacts, at City Hall and
periodically providing this information in the City’s newsletter.
The City will also provide a referral process for any person who believes they have been denied
access to housing because of their race, sex, marital status, ancestry, national origin, color,
familial status or disability. In the event a complaint is received, the City will refer the party to a
fair the City’s housing service provider for follow up and work with the complainant to resolve the
issue.
Quantified Objective: Active contract with fair housing services provider
Funding Source: General Fund
Responsible Agency: City Manager
Implementation Time Frame: Ongoing, 2021-2029. Website update by December 2022.
Program 22: Fair Housing Training for Staff
At least one City staff member will attend an on-line fair housing certification training class on an
annual basis. These classes are typically three-hour sessions in which participants are informed
and educated about federal and California fair housing laws, compliance, and illegal housing
practices. The trainings cover prohibited and best practices, including language guid ance for
advertising housing for sale or for rent, and protected classes under federal and California law.
In addition, the City will regularly evaluate the need for multi-lingual services, including
translation of material on its website into other languages. It will also continue to implement its
reasonable accommodations ordinance and monitor data on persons with disabilities in the city
to ensure that barriers to mobility are eliminated to the greatest extent possible.
Quantified Objective: Annual staff training
Funding Source: General Fund
Responsible Agency: City Manager
Implementation Time Frame: Initiate in 2022 and continue annually through 2029
Program 23: Written Procedures for SB 35 Projects
As required by State law, the City will prepare written procedures and application materials for
projects seeking to use SB 35. Affordable multi-family housing development on the Rancho Del
Mar site would be potentially eligible. The procedures would follow the provisions established
by the Affordable Housing Overlay Zone, and include the objective standards and application
procedures identified when that zone was adopted. Once completed, the information will be
included as a PDF link on the Planning and Community Services Department website for easy
access.
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Housing Goals, Policies, Objectives, and Programs Page 6-20
Quantified Objective: Posted information on SB 35, including application
form
Funding Source: General Fund
Responsible Agency: Planning and Community Services Department
Implementation Time Frame: Complete by December 31, 2022
Program 24: Updating of Linked Files on Planning and Community Services
Department Landing Page
AB 1483 requires that every city post current information on fees, zoning standards, design
guidelines, processes and procedures, nexus studies and other pertinent information on its
website. Although Rolling Hills complies with this requirement today, reorganization of the
material could provide greater clarity and easier access to this information. For example, the
website could include a link to the RHCA design guidelines, as well as updated flow charts and
graphics showing approval processes. As noted under Program 7.2, the website also should
include dedicated information about Accessory Dwelling Units (ADUs) and the steps residents
can take to add an ADU on their property.
Quantified Objective: Reorganized and updated Planning and Community
Services Department website
Funding Source: General Fund
Responsible Agency: Planning and Community Services Department
Implementation Time Frame: Complete by December 31, 2023
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6.3 Summary of 2021-2029 Quantified Objectives
Table 6.1 provides quantified objectives for housing construction, rehabilitation, and
conservation by income group. The new construction objectives align with the RHNA numbers
that appear earlier in the Housing Element. The rehabilitation objective aims to assist 10 very
low-income senior households over the eight year period. The conservation and preservation
objectives correspond to the approximate number of households in Rolling Hills by income
group based on Census data. The objectives aim to preserve housing for 100 percent of these
households. There are no housing units in Rolling Hills that are at risk of conversion from
affordable to market-rate.
Table 6.1: Quantified Objectives by Income Group for Rolling Hills (20 21-2029)
Income Category New
Construction Rehabilitation Conservation/
Preservation
Extremely Low [1] 7 5 25
Very Low 13 5 45
Low 9 45
Moderate 11 25
Above Moderate 5 500
Total Housing Units 45 10 640
Source: SCAG Adopted Regional Housing Needs Determinations (November 2012)
[1] City’s RHNA for “Very Low” income is 20 units. This has been allocated proportionally to “Extremely Low” and “Very
Low” based on Table 3.8, which indicates the current proportion of “Very Low” income households in these two groups.
Extremely low income households represent 35% of the “very low” total.
Table 6.2 summarizes the 2422 Housing Element programs listed in this chapter. It includes a
quantified objective and timeframe for each program, as presented above.
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Table 6.2: Housing Element Action Plan Summary
# Program Timing Quantified Objective
1 Prepare Annual Progress Report on
Housing Element implementation
Annually, by April 1 One Report per year
2 Facilitate affordable housing on Rancho
Del Mar Housing Opportunity site
Annual meeting with
School Superintendent
Subdivision by 2024
16 lower-income units by
2029
3 No net loss monitoring/ other housing
opportunities
Continuous, through
2029. Address in
Annual Report.
No net loss of housing
capacity for duration of
planning period
4 Add definitions of transitional,
supportive, employee housing and
residential care facilities to Municipal
Code
December 2022 Council action adopting
definitions and
identification of permitted
uses
5 Adopt density bonus provisions in
Municipal Code
December 2022 Council action adopting
density bonus provisions
6 Accessory Dwelling Unit production,
monitoring, and production
• Updated ADU
ordinance by 10/15/22
• ADU Roster in 2021
• Annual ADU survey,
starting in 2022
• Pre-approved plans in
2024
• ADU incentives in
2023
• Annual monitoring
program (2023)
40 ADUs by 2029,
including at least 13 ADUs
affordable to lower income
households
7 Accessory Dwelling Unit Outreach,
Education, and Information
• First biennial mailing
by end of 2022
• Website update by
6/23
• Update of design
guidelines by 2024
• Outreach mailer to 639
households
• ADU website landing
page
• ADU section added to
RHCA Guidelines
8 Assist senior and disabled households • Website update by
6/23
• Housing assistance
during 2021-2029
Assist 10 lower income
senior households with
age in place retrofits
9 Assist extremely low income households • Prepare inventory of
ELI units by 2024
7 ADUs affordable to ELI
households
10 Support regional efforts to end
homelessness
Ongoing • Participate in point-in-
time surveys
• Attend one mtg a year
11 Permit streamlining Ongoing Compliance with Permit
Streamlining Act
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# Program Timing Quantified Objective
12 Facilitate communication with affordable
housing service providers, developers,
and advocates
By December 2022 • Convene at least one
meeting a year
13 Shared housing By December 2022 • Provide information on
website, plus print media
resources
14 Sewer feasibility studies and Phase I
construction
Phase I construction
(serving City Hall) by
2024
• Sewer extension to City
Hall/ Tennis Courts
• Feasibility study for
sewer extension
15 Consider participation in Urban County
CBDG Program
By 2023 Staff report and Council
discussion
16 Code enforcement Ongoing 100% follow up
17 Reduce home energy costs By 2023 Website update
18 Facilitate new construction and home
improvements
Ongoing 5 market-rate single family
homes (including 3 already
approved)
19 Remediate geologic hazards Ongoing Geologic studies for new
development
20 Fair housing services contract and
program administration
Develop fair housing
compliance program by
December 2022 Develop
agreement in 2022;
renew annually or as
needed
Contract with fair housing
service provider Fair
Housing Planning Memo
21 Fair housing outreach Website update by
December 2022
• Contract with fair
housing service provider
• Website links or landing
page
22 Fair housing training for City staff Initiate in 2022 Annual training for at least
one staff member
23 Prepare written instructions for SB 35
applications
Complete by December
31, 2022
Guidance memo and
application form
24 Update Planning and Community
Services website
Complete by December
31, 2023
Updated website
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APPENDICES
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Appendix A: Affirmatively Furthering Fair Housing Analysis A-1
Appendix A:
Affirmatively Furthering Fair Housing (AFFH) Evaluation
Overview
In 2018, the Governor signed Assembly Bill 686, adding a requirement that local housing
elements address each community’s obligation to “affirmatively further fair housing.” AB 686
defined this is as:
“taking meaningful actions, in addition to combatting discrimination, that overcome
patterns of segregation and foster inclusive communities that restrict access to
opportunity based on protected characteristics. Specifically affirmatively
furthering fair housing means taking meaningful actions that, taken together,
address significant disparities in housing needs and in access to opportunity,
replacing segregated living patterns with truly integrated and balanced living
patterns, transforming racially and ethnically concentrated areas of poverty into
areas of opportunity, and fostering and maintaining compliance with civil rights
and fair housing laws.”
In April 2021, the California Department of Housing and Community Development issued
its formal guidance memo on how local governments should address this new
requirement in their housing elements. The guidance memo indicates the ways in which
the AFFH mandate affects outreach and community engagement, data collection and
analysis, the site inventory, identification and prioritization of “contributing factors,” and
the goals, policies, and programs of the housing element. It also includes data sources
and other resources for local governments.
Chart A-1 summarizes the AFFH mandate; the requirements are extensive. As a result,
the City of Rolling Hills has provided this appendix to address the mandatory components
rather than including this information in the body of the Housing Element. The findings of
this assessment have informed the policies and programs in the Housing Element.
There are limitations to the analysis presented here. Rolling Hills is a small community,
comprised of a single Census Tract Block Group. It is affluent and homogenous and does
not have pockets of poverty or notable disparities between its neighborhoods. Many of
the AFFH maps developed by HCD simply affirm this, rather than revealing spatial
patterns within the city limits. The underlying goal, which is to reduce impediments to fair
housing in the city and improve housing opportunities for lower-income households,
remains relevant.
In addition, Rolling Hills does not participate in the federal CBDG program as a member of
the Los Angeles County Urban County designation. As such, it is not directly covered by
the Analysis of Impediments to Fair Housing Choices prepared by the County Community
Development Commission and Housing Authority. Some of the findings of the County
Analysis are cited here, as they apply more broadly to the Palos Verdes Peninsula (Rolling
Hills Estates and Rancho Palos Verdes are both members).
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Appendix A: Affirmatively Furthering Fair Housing Analysis A-2
Chart A-1: Summary of AB 686 Requirements
Source: HCD, April 2021
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Appendix A: Affirmatively Furthering Fair Housing Analysis A-3
The remainder of this report provides the data that is generally referred to as the AFFH analysis.
This includes trends and patterns related to segregation, racially or ethnically concentrated
areas of poverty, disparities in access to opportunity (including persons with disabilities), and
disproportionate housing needs. Unless otherwise indicated, all maps in this chapter were
prepared using the AFFH data viewer from the California Department of Housing and
Community Development.
Duty of All Public Agencies to Affirmatively Further Fair Housing
Federal law already requires that federal agencies administer programs in a way that
affirmatively furthers fair housing. This also extends to all local governments receiving funds
from the federal government. AB 686 further extended the obligation to all public agencies in
the State of California. This mandate applies to administration of all programs and activities
relating to housing and community development. The statute requires an examination of
policies, programs, rules, practices, and activities, and where necessary, changes to promote
more inclusive communities.
Outreach
The City of Rolling Hills has worked to engage all economic segments of the community in the
Housing Element Update process. This included conducting more than 11 housing-focused
public meetings on Zoom in 2020 and 2021, delivering newsletters with information on the
Housing Element to every household in the city, and providing housing-related surveys (both
paper and electronic) to every housing unit in Rolling Hills. By reaching out to every household
in the city, Rolling Hills has engaged its lower income residents in the process.
Meetings have been held in the evenings to facilitate participation. The public was invited to
participate in each meeting as “panelists” rather than “attendees,” giving them equal footing to
staff and Councilmembers/ Commissioners rather than the more limited opportunities offered by
webinars. Drafts of the Housing Element were made available at City offices and on-line, with at
least 30 days provided between the release of the Draft and action by the City Council.
Site Inventory
AB 686 requires that a jurisdiction identify sites throughout the community in a manner that is
consistent with its duty to affirmatively further fair housing. The sites identified by the City must
work to replace segregated living patterns with integrated living patterns. Rolling Hills has done
this by focusing on Accessory Dwelling Units (ADUs) to meet its housing needs, rather than by
zoning scattered sites throughout the city for multi-family housing. By definition, ADUs provide
an effective way to achieve economic integration as they enable low and very low income
households to live throughout the community rather than in segregated living patterns.
As noted throughout the Housing Element, the City currently has no multi-family housing units—
thus, the designation of the Rancho Del Mar property as an affordable housing opportunity zone
would not constitute a “concentration” of poverty. As the only site in the city that has sewer and
storm drainage, flat buildable land, road and transit access, and relatively few natural hazards, it
is the only suitable site in the city for multi-family housing (see Chapter 4). Placing multi-family
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Appendix A: Affirmatively Furthering Fair Housing Analysis A-4
housing elsewhere in Rolling Hills---on hazardous sites prone to landslides and wildfires, without
public street access or sewer facilities—would be inconsistent with the objectives of AB 686.
Fair Housing Enforcement
Fair housing enforcement is presently handled on a case-by-case basis. The State of California
has an Office of Fair Housing and Equal Opportunity (FEHO) that enforces the Fair Housing Act
and other civil rights authorities that prohibit discrimination. In the event a fair housing
complaint is received by the City, the involved party would be referred to FEHO for investigation.
There are no pending lawsuits, enforcement actions, judgements, settlements, or findings
related to fair housing and civil rights in Rolling Hills. There are currently no local fair housing
laws in the City, but Rolling Hills complies with all applicable state and federal laws. These
include:
• The City is committed to complying with tThe federal Fair Housing Act, Title VIII of the Civil
Rights Act of 1968, as amended by the Fair Housing Amendments Act of 1988, 42 U.S.C. §§
3601 et seq., which the City complies with by ensuring that housing is available to all
persons without regard to race, color, religion, national origin, disability, familial status, or
sex.
• The federal Americans with Disabilities Act (ADA), which the City complies with through its
building code, permit review procedures, and reasonable accommodation procedures
• The California Fair Employment and Housing Act, which the City complies with through its
protocols for hiring, decision-making, staff training, advertising, and legal counsel
• Government Code Section 65008 and 11135, which guide the City’s procurement protocols,
provide preferential treatment for affordable housing, provide equal access to housing
assistance, and ensure that multi-family housing is treated fairly relative to single family
housing
• Government Code Section 8899.50, which specifies AFFH requirements
• Government Code Section 65913.2, which precludes excessive subdivision standards
• Government Code Section 65302.8, which precludes certain types of municipal growth
control laws (the City has none)
• Government Code Section 65583, which includes the requirement to have a housing
element
• Housing Accountability Act, which is implemented through the City’s development review
and zoning procedures
An action program in the 2021-2029 Housing Element recommends that the City contract with a
third party non-profit to promote the enforcement of fair housing laws, respond to complaints,
and resolve complaints through conciliation, mediation, referrals, and litigation where necessary.
Most cities in the region have agreements with third party non-profits that provide this service.
These entities also provide on-line workshops for city staff and landlords, and offer phone and
on-line counseling.
HCD’s AFFH data viewer reports that there were zero (0) fair housing enforcement and outreach
inquiries in Rolling Hills between 2013 and 2021. The City is unaware of any fair housing cases
that may have occurred without being formally reported, and has not received complaints or
inquiries from residents. The City is likewise unaware of any Section 8 housing choice vouchers
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Appendix A: Affirmatively Furthering Fair Housing Analysis A-5
in use within Rolling Hills, or any instance of a prospective applicant being denied the
opportunity to use a voucher within the city.
Due to the small size of the City’s staff, there is not a formal fair housing training program and
there is limited expertise on fair housing issues. An action program in this Element directs the
City to provide fair housing training to staff, and to improve web-based and print media
resources to inform residents of their rights and obligations under the Fair Housing Act. Fair
housing information will also be included in the City’s newsletter.
The City is committed to complying with the Fair Housing Act, Title VIII of the Civil Rights Act of
1968, as amended by the Fair Housing Amendments Act of 1988, 42 U.S.C. §§ 3601 et seq., by
ensuring that housing is available to all persons without regard to race, color, religion, national
origin, disability, familial status, or sex.
Integration and Segregation
Race and Ethnicity
Chapter 3 of the Housing Element provides an overview of the racial composition of Rolling Hills
and the surrounding region. In addition, Table A-1 below shows race and ethnicity data for
Rolling Hills and the region (in this case Los Angeles County) for 2010 and 2020.
Relative to Los Angeles County and the greater Los Angeles region, Rolling Hills has a higher
percentage of White and Asian residents, and a lower percentage of Black and Hispanic
residents. This is also true of the other cities on the Palos Verdes Peninsula. Rolling Hills has
have seen an increase in Asian and multi-racial residents over the last 20 years, but the
aggregate Black and Hispanic population is 8.37.3 percent compared to a countywide figure of
55.656.3 percent. The percentage of residents who are two or more races more than doubled
in Rolling Hills between 2010 and 2020, which is a much faster rate of increase than the county
as a whole. However, given the city’s small population, even a few households can cause
percentages to shift noticeably. The most significant change is that the number of White, Non-
Hispanic households in the city declined from 74.1 percent to 64.9 percent over the decade.
Countywide, this percentage dropped from 27.8 percent to 25.6 percent, a smaller rate of
decrease .
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Appendix A: Affirmatively Furthering Fair Housing Analysis A-6
Table A-1: Population Share by Race and Ethnicity, Rolling Hills and Los Angeles County
Percent of Residents by Race
in Rolling Hills
Percent of Residents by Race
in Los Angeles County
2010 2020 2010 2020
White Non-Hispanic 74.1% 64.9% 27.8% 25.6%
Hispanic/Latino 5.5% 7.0% 47.7% 48.0%
Black 1.5% 1.3% 8.3% 7.6%
Native American 0.0% 0.1% 0.2% 0.2%
Asian 16.2% 20.4% 13.5% 14.7%
Native Hawaiian/
Pacific Islander 0.1% 0.1% 0.2% 0.2%
Other 0.2% 0.7% 0.3% 0.6%
Two or More Races 2.4% 5.6% 2.0% 3.1%
Sources: US Decennial Census, 2010 and 2020.
Since the City is comprised of a single Census tract block group, this data is most useful on a
regional basis. Census tracts located several miles to the east and north of Rolling Hills, in
Lomita, and in the San Pedro and Wilmington neighborhoods of Los Angeles, are more diverse.
Some of the Census tracts on the Palos Verdes Peninsula have larger percentages of Asian
residents, making them majority non-White.
Figure A-2 shows the “diversity index” for Census tract block groups in and around Rolling Hills.
The index is an indicator of racial and ethnic diversity within a given geographic area. It
considers both race and ethnicity (Hispanic or Non-Hispanic). The higher an area’s number, the
more diverse it is. The index ranges from zero (no diversity) to 100 (complete diversity). An
area’s diversity is 100 when the population is evenly divided into different race/ethnic groups.
The Table indicates an index of 48.4 for Rolling Hills, indicating it is somewhat diverse. The
rating is comparable to many other census tracts on the Palos Verdes Peninsula. Some tracts in
Rolling Hills Estates and Rancho Palos Verdes are more diverse, while several tracts in Palos
Verdes Estates are less diverse. The diversity index is considerably higher in the more
urbanized tracts in San Pedro and the Harbor neighborhoods to the east.
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Appendix A: Affirmatively Furthering Fair Housing Analysis A-7
Persons with Disabilities
Chapter 3 of the Housing Element provides information on the number of people with disabilities
by disability type in Rolling Hills. Roughly 10.6 percent of the city’s population has one or more
disabilities compared to 9.9 percent in Los Angeles County as a whole. The higher local
percentage is likely a result of the older population in Rolling Hills, where the median age is 55
compared to the County average of 36.5. This is further supported by the data shown in Table
A-2, which indicates that the percentage of residents with a hearing disability and an ambulatory
disability is higher in Rolling Hills than in the county as a whole. Conversely, a smaller
percentage of Rolling Hills residents have cognitive disabilities, vision disabilities, and self-care
limitations.
Table A-2: Percentage of Residents with a Disability, Rolling Hills and Los Angeles County
Percent of Residents
in Rolling Hills
Percent of Residents
in Los Angeles County
2010 2020 2010 2020
Total with a Disability N/A 10.6% 9.3% 9.9%
Hearing N/A 3.7% 2.3% 2.5%
Vision N/A 1.3% 1.8% 2.0%
Cognitive N/A 2.1% 3.6% 4.1%
Ambulatory N/A 6.9% 5.2% 5.8%
Self-Care N/A 2.3% 2.6% 3.0%
Independent Living N/A 5.0% 4.1% 5.6%
Sources: US Decennial Census, American Community Survey, Five Year Averages for 2010 and 2020. ACS 2010 indicates no data
for Rolling Hills (“X”).
Figure A-3 shows census tract maps for Rolling Hills and the surrounding area indicating the
percentage of residents who are disabled. As Figure A-3 indicates, Rolling Hills appears within
the 10-20 percent interval on the map, which is comparable to the percentage in Rancho Palos
Verdes, Lomita, and the San Pedro and Wilmington neighborhoods in Los Angeles. Most of the
other Census tracts in the vicinity, including those comprising the majority of Rolling Hills
Estates, Palos Verdes Estates, and Torrance, are in the less than 10 percent interval. However,
the difference is marginal, with Rolling Hills being less than one percentage point above the 10
percent threshold. Given that the population of Rolling Hills is significantly older than the county
as a whole, the rate of disability in the city is relatively low. Compared to the disabled population
in the region at large, the city’s disabled residents have greater access to medical care and
supportive services as a result of higher household incomes and the generational wealth
accrued through home ownership and equity.
The special housing needs of persons with disabilities are addressed in Section 3.3.2 of the
Housing Element.
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Appendix A: Affirmatively Furthering Fair Housing Analysis A-8
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Appendix A: Affirmatively Furthering Fair Housing Analysis A-9
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Appendix A: Affirmatively Furthering Fair Housing Analysis A-10
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Appendix A: Affirmatively Furthering Fair Housing Analysis A-11
Familial Status
The federal Fair Housing Act prohibits discrimination on the basis of familial status. This refers
to the presence of children in a household, regardless of the relationship of the child to the adult
members of the household. It also includes pregnant women and persons in the process of
obtaining legal custody of a child. Housing that is exclusively reserved for seniors is exempt
from these requirements.
Examples of familial status discrimination include refusing to rent to someone because they
have a child or are a single parent, evicting a tenant if they have a child, or requiring families
with children to live in a specific part of a multi-family building. Advertising that prohibits
children also is prohibited.
Relative to Los Angeles County as a whole, Rolling Hills has about the same percentage of
married couples with children but much lower percentages of single parent households. The
2015-2019 ACS indicated there are five single parent female households with children in Rolling
Hills. Despite the small number, single parent households may have special needs due to
having only one income, as well as greater needs for child care and other supportive services
(see Housing Element Section 3.3.4). These obstacles can limit net income and prevent most
single parents from being able to live in Rolling Hills.
Table A-3 shows familial status in Rolling Hills relative to Los Angeles County. The table
compares the percentage of households in different categories, including families, married
couples, other households, and non-families (including persons living alone).
Table A-3: Population by Familial Status, Rolling Hills and Los Angeles County
Percent of Total
in Rolling Hills
Percent of Total in
Los Angeles County
2010 2020 2010 2020
Family Households 81.9% 78.7% 67.3% 66.4%
Married Couples (75.2%) (68.5%) (44.5%) (44.8%)
With children
under 18 at home 30.1% 17.8% 21.6% 18.8%
Without children
under 18 at home 45.1% 50.7% 22.9% 26.0%
Other Families (6.7%) (10.2%) (22.9%) (21.5%)
With children
under 18 at home 2.8% 3.1% 11.2% 8.8%
Without children
under 18 at home 2.9% 7.1% 11.7% 12.7%
Non-family Households 18.1% 21.3% 32.7% 33.6%
Sources: American Community Survey, Five Year Averages for 2010 and 2020. All percentages refer to the percentage of total
households in Rolling Hills in the listed category. Because the categories are “nested”, the numbers add up to more than 100
percent.
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Appendix A: Affirmatively Furthering Fair Housing Analysis A-12
Relative to Los Angeles County as a whole, Rolling Hills has a much higher percentage of
married couples. However, the percentage of married couples with children at home is about
the same as the countywide average, and has declined substantially since 2010. More than half
of the city’s households are married couples with no children living at home, compared to 26
percent countywide. Only 10 percent of the city’s households are “other” families (mostly single
parent households), which is less than half the countywide average. Rolling Hills also has a far
smaller percentage of non-family households than Los Angeles County, representing 21 percent
of the city compared to 34 percent countywide. The city’s demographics are indicative of a
relatively stable, older population with smaller households than the county as a whole.
Figure A-4 shows familial status in Rolling Hills and surrounding areas. As the map indicates,
the entire Palos Verdes Peninsula is in the same category as Rolling Hills, which corresponds to
80 percent or more of all children living in married couple households. The rate is considerably
lower in adjacent cities in Los Angeles County but is still at least 60 percent in most of the South
Bay cities. Rates below 60 percent occur in some of the census tracts in the Harbor area of Los
Angeles, including San Pedro. Rates below 60 percent are also found beyond the South Bay, in
locations such as Compton, Inglewood, Carson, Northern and Central Long Beach, and South
Central Los Angeles. These are generally lower resource areas, with higher rates of poverty
and unemployment, and lower rates of home ownership.
Income Level
Activities funded by federal community development and housing programs are typically
designed to benefit low- and moderate-income (LMI) persons. For example, activities qualify for
Community Development Block Grant (CDBG) funding if they benefit the residents of a primarily
residential area where at least 51 percent of the residents are low- and moderate-income.
Accordingly, HCD has used Census income data to map these areas by Census block group.
This is shown in Figure A-45.
The Figure illustrates that there are no LMI areas in Rolling Hills or in any of the adjacent
communities on the Palos Verdes Peninsula. Fewer than 25 percent of Rolling Hills’ residents
are LMI. While there are a few block groups in Rancho Palos Verdes that are 25-50 percent,
none exceed 51 percent. There are multiple LMI block groups in San Pedro and the Harbor
neighborhoods east of the Palos Verdes Peninsula. There are also LMI areas in Lomita and
Torrance to the north.
Figure A-56 shows median income by Census block group. The Palos Verdes Peninsula is one
of the most affluent parts of Los Angeles County, with Rolling Hills among the highest income
census tracts in the County.
Figure A-7 shows median income for a larger geographic area, including most of the urbanized
part of Los Angeles and Orange Counties. At the regional level, the Palos Verdes Peninsula
stands out as an affluent area with incomes above $100,000. The Beach cities of Manhattan,
Hermosa, and Redondo Beaches are also in this category, as are numerous census tracts on the
west side of Los Angeles, the base of the San Gabriel Mountains, and Orange County. The
lower income areas are generally located in central and south Los Angeles County, East Los
Angeles, the southeast part of the San Fernando Valley, and the older suburbs in Orange
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Appendix A: Affirmatively Furthering Fair Housing Analysis A-13
County. Many of these areas include high concentrations of persons of color who historically
faced discrimination in the housing market.
Comparative income data between the city and region is shown in Table A-4. As the table
indicates, Rolling Hills has a substantially higher income profile than the county, with well over
half of its population earning over $200,000 a year, compared to 11 percent in the county as a
whole. By contrast, only 15 percent of the city’s households earn less than $50,000 a year,
compared to 36 percent countywide. However, it is notable that the percentage of households
in Rolling Hills earning less than $25,000 a year grew from 4.5 percent of the population in 2010
to 6.4 percent in 2020. This is likely due to the growing number of households aging in place
and living on fixed incomes. Countywide, the percentage of households in this category
declined over the decade, from 24 percent to 18 percent.
Table A-4: Household Share by Income, Rolling Hills and Los Angeles County
Percent of Residents by Income
in Rolling Hills
Percent of Residents by Income
in Los Angeles County
2010 2020 2010 2020
Less than $10,000 1.5% 1.5% 6.8% 5.5%
$10,000-$14,999 0.7% 2.7% 6.1% 4.6%
$15,000-$24,999 2.3% 2.2% 11.1% 7.8%
$25,000-$34,999 4.8% 4.7% 9.7% 7.6%
$35,000-$49,999 2.5% 4.5% 13.5% 10.7%
$50,000-$74,999 4.9% 3.3% 17.4% 15.8%
$75,000-$99,999 4.9% 3.5% 11.7% 12.3%
$100,000-$149,999 14.1% 12.0% 12.8% 16.3%
$150,000-$199,999 11.0% 12.0% 5.3% 8.2%
$200,000 or More 53.3% 53.6% 5.5% 11.1%
Median Income $219,688 $250,000+ $52,684 $71,358
Sources: American Community Survey, Five-Year Averages, 2010 and 2020
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Appendix A: Affirmatively Furthering Fair Housing Analysis A-14
Racially and Ethnically Concentrated Areas of Poverty (R/ECAP) and Affluence
Racially/ethnically concentrated areas of poverty –or R/ECAPs—are census tracts identified by
HUD with a majority non-White population (greater than 50 percent) and poverty rates that
exceed 40 percent or are three times the average tract poverty rate for the metropolitan area,
whichever is lower. Figure A-86 shows the location of R/ECAP areas in southern Los Angeles
County, including the City of Los Angeles.
The largest concentration of R/ECAP areas in the County are in and around Downtown Los
Angeles, the neighborhoods south of Downtown, and a few tracts in the Harbor area and Long
Beach. There are no R/ECAP areas on the Palos Verdes Peninsula.
HCD also has identified “racially concentrated areas of affluence” (RCAAs). These are areas
that exhibit both high concentrations of White residents and high concentrations of wealth. With
a population that is 70 percent White, Non-Hispanic and a median income of over $250,000, all
of Rolling Hills is considered an RCAA. Large areas of Rancho Palos Verdes, Rolling Hills
Estates, and Rancho Palos Verdes also meet the RCAA criteria. Other parts of Los Angeles
County considered to be RCAAs include Malibu, Santa Monica, Bel Air/ Brentwood, Westwood,
Beverly Hills, and adjacent parts of the West Side, as well as La Canada-Flintridge and several
other outlying communities.
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Appendix A: Affirmatively Furthering Fair Housing Analysis A-15
Figure A-4:
Familial Status
NEW MAP
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Appendix A: Affirmatively Furthering Fair Housing Analysis A-16
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A D O P T I O N D R A F T
Appendix A: Affirmatively Furthering Fair Housing Analysis A-17
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Appendix A: Affirmatively Furthering Fair Housing Analysis A-18
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Appendix A: Affirmatively Furthering Fair Housing Analysis A-19
Historic Context
Like many communities in Southern California, Rolling Hills reflects cultural and social norms of
the era in which the city was founded and initially developed. These norms predated the Fair
Housing Act and civil rights movement and included practices that excluded certain racial and
ethnic groups from purchasing property.
As Table A-5 indicates, Rolling Hills is almost exclusively comprised of single family homes.
Even between 2010 and 2020, the composition of the City’s housing stock did not change
significantly. In Los Angeles County, fewer than half of the housing units are single family
detached homes and more than one-third are in multi-family buildings. The county as a whole
has seen the share of multi-family units go up over time. By contrast, the California Department
of Finance reports that 99.9 percent of the dwelling units in Rolling Hills are single family homes.
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Appendix A: Affirmatively Furthering Fair Housing Analysis A-20
Table A-5: Housing Units by Type, Rolling Hills and Los Angeles County
Number/Percent of Total
in Rolling Hills
Number/Percent of Total
In Los Angeles County
2010 2020 2010 2020
Single Family Detached 715
99.9%
718
99.9%
1,717,448
49.9%
1,732,045
48.2%
Single Family Attached 0 0 228,560
6.6%
234,107
6.5%
2-4 units 0 0 282,178
8.2%
295,700
8.2%
5+ units 1
0.01%
1
0.01%
1,156,648
33.6%
1,270,425
35.4%
Mobile Homes 0 0 58,253
1.7%
58,297
1.6%
TOTAL 716 719 3,443,087 3,590,574
Source: California Dept of Finance Table E-5, 2010 and 2020.
Note: (*) The State’s data indicates that there is a building with five or more units in Rolling Hills. This is incorrect, as there are no
multi-family units in Rolling Hills at this time.
The history of Rolling Hills is linked to broader early 20th Century efforts to develop the 16,000-
acre Palos Verdes Peninsula as a master planned community. Prior to 1910, the entire area was
farm and ranchland. Several development concepts were proposed in the 1910s and 20s,
including a plan to divide the peninsula into large estates (Vanderlip, 1914) and the “Palos
Verdes Project,” which eventually became the City of Palos Verdes Estates. Long before Rolling
Hills was subdivided, the Peninsula had gained a reputation as the “Riviera of America” and was
renowned as an exclusive and beautiful place to live.1
A.E. Hanson became manager of the Palos Verdes Corporation in 1931. He laid out the
boundaries of a development named Rolling Hills, just beyond the boundaries of the Palos
Verdes Project. The community was initially marketed to residents of Los Angeles and Beverly
Hills as 10 to 50 acre “dude ranches.”2 In 1936, it was reimagined as an equestrian community
of one- to five-acre homesites. The initial development included 100 homesites on 600 acres.
All homes were required to be one-story ranches, painted white, a requirement that remains in
place today. The Covenants, Codes, and Restrictions (CC&Rs) were a strong part of the
community’s appeal, as they assured maintenance and uniformity throughout the years.
Rolling Hills was subdivided by a single large owner. In that respect, it is more akin to a large
residential subdivision, rather than a traditional city or town with multiple land uses, developers,
and housing types. Moreover, its first generation of housing consisted of modest one-story
ranch-style homes, including homes smaller than 2,000 square feet. Multi-family housing was
excluded from the community to retain its rural, equestrian character and to recognize what was
1 Morgan, Delane. The Palos Verdes Story, 1982
2 Rolling Hills General Plan Land Use Element, 1990
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Appendix A: Affirmatively Furthering Fair Housing Analysis A-21
then a remote and rugged location with no services. As a community of small horse ranches
with no sewer system, high fire danger, and private streets, construction of multi-family housing
would not have made economic sense.
As the Palos Verdes Peninsula was built out at suburban densities in the 1950s and 60s, Rolling
Hills retained its very low density zoning. Some of the adjacent cities on the Peninsula added
multi-family housing, but the established lot pattern in Rolling Hills and its CC&Rs made this
infeasible. In this respect, the CC&Rs had an exclusionary impact on the community. The City
incorporated in 1957 to further protect its very low-density character. As this became a rarer
commodity in southern Los Angeles County, real estate values increased substantially. Much of
the original 1930s and 40s era housing stock was replaced with newer, larger housing with
many more amenities. The city became a “location of choice” and became less affordable.
These changes were largely economic and driven by the dynamics of the private real estate
market. They occurred after the passage of the Fair Housing Act and the era of redlining.
However, the conditions were compounded by historic inequities in access to capital among
racial monitories and a legacy of discriminatory lending practices in the United States. Housing
opportunities for lower income households have not historically existed in the city. The city’s
identity and history is rooted in its low density, rural character and equestrian heritage.
Fair housing solutions that reflect the City’s history and character can and should be pursued.
These include creating housing opportunities on the recently rezoned Rancho Del Mar site, and
encouraging greater production of accessory dwelling units in the community. They also
include enforcement of fair housing laws and increased awareness of fair housing rights and
practices, as well as the history of housing practices in California.
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Appendix A: Affirmatively Furthering Fair Housing Analysis A-22
Access to Opportunity
California HCD and the California Tax Credit Allocation Committee (TCAC) convened a task
force to advance fair housing through research and policy recommendations. One of the
products of this effort was a series of “opportunity maps” that identify resource levels across the
state. The intent of these maps is to improve the eligibility of “high resource areas” for low-
income housing tax credit funding. Improving access to these funds makes it more viable to
build affordable housing in these areas.
The opportunity maps depict composite data on environmental conditions (vulnerability to
pollution, etc.), economic conditions (poverty, job proximity, home values), and educational
conditions (graduation rates, math and reading proficiency, etc.). HCD has made these maps
available through its AFFH data viewer. Conditions in Rolling Hills are depicted in Figures A-97
through A-120. On all of these maps, each census tract is assigned a value based on its level of
resources. The higher the value, the more positive the outcome.
TCAC Environmental Outcomes
In this context, environmental conditions refers to environmental health and exposure to man-
made hazards such as vehicle exhaust, industrial emissions, and cancer-causing chemicals. It
does not refer to natural environmental hazards such as wildfire and landslides.
Figure A-97 indicates that outcomes in Rolling Hills are positive, as the community does not
have industrial land uses or major pollution sources. Rolling Hills has an environmental score of
0.97, which is close to the highest possible score of 1.0. All of the Census tracts on the Palos
Verdes Peninsula have scores of 0.75 or greater. Rolling Hills Estates also receives a 0.97
rating, while Rancho Palos Verdes varies from 0.82 to 0.98. Just two miles east of the city limits,
near the Phillips 66 refinery, the environmental score is 0.03. Refineries and heavy industrial
uses along the 110 Freeway and in the Port of Los Angeles vicinity result in low environmental
rankings in a number of Census tracts around San Pedro and Wilmington. Scores are also
below 0.50 around the Zamperini Airfield in Torrance, and in parts of Downtown Long Beach.
The City also is in the highest-ranking category using the Cal EnviroScreen maps and is highly
ranked on the Public Health Alliance of Southern California “Healthy Places Index.”
Environmental outcome values are also high in the other Peninsula cities. Exposure to
environmental hazards is much higher along the freeways and in the Harbor area, where
industrial uses and refineries are more prevalent.
TCAC Economic Outcomes
Figure A-108 shows economic outcomes in southern Los Angeles County. This is generally a
measure of wealth and access to jobs. Rolling Hills and all of the Peninsula cities are in the
highest category, reflecting high rates of home ownership, high home values, and high incomes.
The census tracts to the east have more diverse ratings, with low ratings in Northwest San
Pedro and Wilmington.
The TCAC Opportunity Score for Rolling Hills is 0.86, which is in the highest of the four quartiles
shown on the opportunity map. Neighboring census tracts in Rolling Hills Estates and Rancho
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Appendix A: Affirmatively Furthering Fair Housing Analysis A-23
Palos Verdes have comparable scores, generally ranging from 0.75 to 0.95. Just to the east, in
the Harbor neighborhoods of Los Angeles, the economic index is as low as 0.04 in some census
tracts. Areas of strongly positive and much less positive economic outcomes exist in close
proximity in this area, a legacy of historic land use and development patterns. To the north of
Rolling Hills, the City of Torrance has economic opportunity scores that are comparable to the
Palos Verdes Peninsula, despite a more moderate-income profile. Torrance is predominantly
White and Asian, while the Harbor neighborhoods are primarily Latino, an indication that race
and ethnicity have influenced economic opportunity in the area.
TCAC Educational Outcomes
Educational outcomes are shown in Figure A-119. Rolling Hills is in highest quartile, with
positive educational outcomes. The City’s score is 0.96, on a scale of zero to 1.0. This reflects
the community’s high wealth and access to education. Adjacent neighborhoods in Rolling Hills
Estates and Rancho Palos Verdes have identical scores, while scores in the beach cities to the
north are even higher. Conversely, scores step down in several bands moving to the east, with
the third quartile just east of Rolling Hills, then the second quartile, and then the lowest quartile
in San Pedro roughly four miles east. Low outcomes also appear in Wilmington and the Less
positive outcomes appear in the census tracts to the east, with the lowest outcomes in the San
Pedro area and in the neighborhoods around the Port of Los Angeles.
Transportation
Public transportation to and from Rolling Hills is poor and there is no transit service at all within
the city limits. The Palos Verdes Peninsula Transit Authority operates buses along Palos Verdes
Road North, which serve the northern edge of the city and provide service to the Peninsula’s
commercial centers as well as San Pedro. Connecting service is available along those routes to
other transit systems (including the Metro Silver Line in San Pedro), providing connections to
Los Angeles and other regional destinations. However, given the distance and travel time, these
are not generally viable means of transport to workplaces. US Census data indicates that zero
percent (0.0%) of the city’s residents use public transit to commute to work.
Composite Opportunity Map
Figure A-120 is a composite of the TCAC analysis, taking the three above variables into
consideration. The Figure affirms what is shown in Figures A-97, -108, and -119. Rolling Hills is
a high-resource, high opportunity area, with positive environmental health indicators, positive
economic outcomes for its residents, and access to quality education. Because of the city’s
small size, these opportunities are homogenously distributed across the community. The same
conditions are found in the other Palos Verdes Peninsula neighborhoods, some of which have
even higher composite scores than Rolling Hills.
Figure A-120 provides a more regional perspective than Figures A-97, -108, and -119. The
pattern immediately evident on this map is that the coastal communities of Los Angeles County
are almost all in the highest resource category. There is a swath of moderate and low resource
neighborhoods extending from Downtown Los Angeles southward to the Port of Los Angeles.
Areas extending from Central LA southward are highlighted on the map as having high
segregation and poverty rates, corresponding with the lowest level of opportunity. Moving
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Appendix A: Affirmatively Furthering Fair Housing Analysis A-24
further east, the pattern becomes more diffuse, with a patchwork of high, moderate, and low
resource areas extending toward the San Gabriel Valley and Orange County.
The high opportunity ranking given to Rolling Hills was part of SCAG’s rationale for assigning the
city a large allocation in the 6th Cycle RHNA. The base number of units assigned to the city by
SCAG was calibrated upward based on their “social equity adjustment,” resulting in Rolling Hills’
45 units (compared to six units in 2013-2021). This reflects several mandated objectives of the
RHNA methodology, including promoting socio-economic equity and balancing disproportionate
household income distribution across the region.
As indicated earlier in this analysis, the Rancho Del Mar School site provides the best location to
improve access to opportunity and affirmatively further fair housing within Rolling Hills. The site
has the potential to improve economic outcomes for lower income households by providing
affordable housing in a high-resource area.
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Appendix A: Affirmatively Furthering Fair Housing Analysis A-25
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Appendix A: Affirmatively Furthering Fair Housing Analysis A-26
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Appendix A: Affirmatively Furthering Fair Housing Analysis A-27
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Appendix A: Affirmatively Furthering Fair Housing Analysis A-28
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Appendix A: Affirmatively Furthering Fair Housing Analysis A-29
Disproportionate Housing Needs
“Disproportionate housing needs” refer to conditions in which members of a protected class
within a defined geographic area experience much higher housing needs than the population at
large.3 Following HCD guidance, the analysis to identify disproportionate needs considers cost
burden, overcrowding, and substandard housing conditions. Much of this data also is contained
in the Housing Element Needs Assessment (Chapter 3), but the focus here is on extremely low-
income residents, tenure, and persons of color. As noted in earlier sections of this Appendix,
the analysis for Rolling Hills is hampered by the small size of the community and the fact that it
contains only one Census Block Group. The margin of error for American Community Survey
(ACS) data for the city is high, and the number of residents in protected classes is small. Where
available, maps are used to compare data for Rolling Hills with data for surrounding
communities.
Tenure and Tenure by Race
Table A-6 shows tenure in Rolling Hills and Los Angeles County as a whole. Relative to the
region, Rolling Hills has a much higher rate of homeownership. The rate exceeded 95 percent in
2020, compared to 46 percent regionally. As in the County, the percentage of renters increased
slightly between 2010 and 2020, but the number remains very small.
Rates of home ownership often vary by race and ethnicity. Regionally and nationally, the rate of
home ownership is substantially lower for Black/African-American households than it is for White
households. This is not the case in Rolling Hills. The 2015-2019 ACS indicates that 100 percent
of the Hispanic, Black, and multi-racial households in the city are homeowners. For White
households, 95 percent are homeowners and 5 percent are renters. Among Asian households,
98 percent are homeowners and 2 percent are renters.
Table A-6: Housing Tenure in Rolling Hills and Los Angeles County
Percent of Households
in Rolling Hills
Percent of Households
in Los Angeles County
2010 2020 2010 2020
Owners 96.9% 95.1% 46.9% 46.0%
Renters 3.1% 4.9% 53.1% 54.0%
Sources: American Community Survey Five-year averages for 2010 and 2020
3 The protected classes are race, color, religion, national origin, sex, familial status, and disability.
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Appendix A: Affirmatively Furthering Fair Housing Analysis A-30
Cost Burden
As noted in Chapter 3, a household is considered cost burdened if more than 30 percent of its
income is spent on housing (including utilities). Figures A-131 and A-142 depict the incidence
of cost burden for owners and renters in Rolling Hills and surrounding communities. Table 3.9
(in Chapter 3) indicates the percent of income spent on housing for homeowners with a
mortgage, homeowners without a mortgage, and renters. Roughly 31 percent of the city’s
households are considered cost-burdened, but most have above moderate incomes.
The US Department of Housing and Urban Development publishes data on the number of
households that are cost-burdened in each community using federally-defined income
categories. This is referred to as the CHAS (Comprehensive Housing Affordability Strategy)
data. According to the CHAS 2014-2018 data, there are 100 low- and very low-income
households in Rolling Hills (i.e., earning 80 percent or less of the areawide median income
[AMI]). These households include 83 who were cost-burdened, including 65 who were defined
as being “severely” cost-burdened (spending more than half their incomes on housing).
CHAS data indicates that 78 of the cost-burdened lower-income households were homeowners
and the remainder were renters. The relatively high number of cost-burdened low-income
homeowners is likely associated with retired seniors on fixed incomes, who must still pay
property taxes, utilities, insurance, HOA dues and other housing costs—even after their
mortgages are paid off. These expenses may be several thousand dollars a month. In fact, the
CHAS data indicates that there are 25 extremely low-income households in Rolling Hills (earning
less than 30% of AMI), all of whom are homeowners. The most recent available CHAS data
indicates that there are no extremely low-income renters in the city.
CHAS data identifies 10 very low-income renter households in the city (30-50% of AMI), along
with 30 very low-income owners. Seventy-five percent of these households pay more than 30%
of their incomes on rent.
As illustrated in Figures A-113 and A-142, the incidence of cost burden is somewhat lower in
Rolling Hills than it is in adjacent communities, including those on the Palos Verdes Peninsula.
Figure A-13, which is based on American Community Survey (ACS) data for 2015-2019,
identifies Rolling Hills as being in the 20-40% overpayment interval for homeowners. In other
words, between 20 and 40 percent of its owner-occupied households spend more than 30
percent of their incomes on housing. The city is surrounded on all sides by census tracts with
rates in the 40-60% interval. This is not an indication that homes in Rolling Hills are more
affordable, but rather a reflection of the length of residency and the large number of
homeowners in Rolling Hills who have no mortgages. About 37 percent of the city’s
homeowners have lived in their homes for over 30 years. Rates of homeowner overpayment are
higher in the San Pedro area of Los Angeles, several miles east of Rolling Hills and in lower
income census tracts throughout Central Los Angeles County. On the other hand, the rate in
Rolling Hills is comparable to many cities in the county, including Torrance, Carson, Palos
Verdes Estates, and the Beach cities to the north.
Figure A-14, which is also based on ACS data for 2015-2019, identifies Rolling Hills as also
being in the 20-40% overpayment interval for renters. However, this is based on a sample of a
very small demographic, since there are only 27 renter households in the entire city. As Figure
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Appendix A: Affirmatively Furthering Fair Housing Analysis A-31
A-14 indicates, the rate of overpayment is significantly higher in the portion of Rancho Palos
Verdes located immediately east of the city, and in the portion of Rolling Hills Estates located
immediately west of the city. There are also nearby tracts with overpayment rates that are less
than 20 percent. On a regional basis, the percentage of renter overpayment in Rolling Hills is
low. Most tracts in Los Angeles, Long Beach, and the larger suburban cities have rates in the 40
to 60 percent range. Rolling Hills renters tend to be more affluent, and are typically renting
single family homes rather than apartments.
Cost-burden data is also shown in Table A-7 below. As the table indicates, most extremely low-
income households in Rolling Hills were considered severely cost-burdened in both 2010 and
2020. Most lower income homeowners and many lower income renters (i.e., those earning 80
percent of areawide median or lower) were also cost-burdened. Rates of cost-burden were
even higher in Rolling Hills than in the county as a whole. However, the data for Rolling Hills in
Table A-7 is based on a very small number of households, leading to a high statistical margin of
error (for instance there are only 10 lower income renter households in the city). At a
countywide level, about 63 percent of all low-income homeowners and 75 percent of all low-
income renters are cost-burdened.
Table A-7: Percentage of Cost-Burdened Households, Rolling Hills and Los Angeles
County
Percent of Households
in Rolling Hills (*)
Percent of Households
in Los Angeles County
2008-2012 2014-2018 2008-2012 2014-2018
Cost-burdened households earning less than 80% AMI (low income)
Owners
Paying > 30% 78.8% 86.7% 66.3% 63.1%
Paying > 50% 61.2% 66.7% 44.3% 40.2%
Renters
Paying >30% 100.0% 80.0% 73.3% 75.1%
Paying > 50% 0% 40.0% 43.0% 44.5%
Cost-burdened households earning less than 30% AMI (extremely low income)
Owners
Paying > 30% 100.0% 76.0% 74.7% 75.4%
Paying > 50% 100.0% 60.0% 62.4% 63.0%
Renters
Paying > 30% 100.0% 0% 82.4% 81.7%
Paying > 50% 0% 0% 70.4% 70.2%
Sources: CHAS HUD User website, data for 2008-2012 and 2014-2018. Data for Rolling Hills indicates 4 lower income renter
households in 2008-2012 and 10 lower income renter households in 2014-2018
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Appendix A: Affirmatively Furthering Fair Housing Analysis A-32
Overcrowding
As noted in Chapter 3, a household is considered overcrowded it the housing unit it occupies
has more than one person per room, excluding kitchens and bathrooms. As noted on page 3-
11, only one percent of the city’s households meet this definition. There are no households in
the city that meet the definition of “severe” overcrowding, which is more than 1.5 persons per
room. Moreover, the data indicates that none of the renter-occupied households in the city
were overcrowded. There were six owner-occupied units with more than one person per room.
Figure A-135 shows this information spatially, illustrating that units on the Palos Verdes
Peninsula are generally not overcrowded. All of the tracts in all four Peninsula cities have
overcrowding rates below 8.2 percent, which is the statewide average. Units in the more
urbanized areas to the east, with higher percentages of renters and smaller housing units, are
more likely to be overcrowded. Tracts in the Wilmington and San Pedro areas have rates
exceeding 20 percent in some cases. Further north, tracts in South Central Los Angeles,
Compton, Southgate, Lynwood, Compton, and other more diverse and lower income
communities have higher rates of overcrowding.
Table A-8 shows household overcrowding in Rolling Hills and the region.
Table A-8: Overcrowded Households, Rolling Hills and Los Angeles County
Percent of Households
in Rolling Hills
Percent of Residents
in Los Angeles County
2010 2020 2010 2020
Owner Households
Less than 1.0
persons per room 99.5% 99.4% 93.9% 94.3%
1.01-1.50 persons
per room 0.5% 0.6% 4.6% 4.1%
1.51-2.00 persons
per room 0 0 1.1% 1.1%
2.01 or more
persons per room 0 0 0.3% 0.5%
Renter Households
Less than 1.0
persons per room 100.0% 100.0% 82.4% 84.0%
1.01-1.50 persons
per room 0 0 9.8% 8.5%
1.51-2.00 persons
per room 0 0 5.2% 5.3%
2.01 or more
persons per room 0 0 2.6% 2.2%
Sources: American Community Survey Five-Year averages for 2010 and 2020
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Appendix A: Affirmatively Furthering Fair Housing Analysis A-33
Table A-8 confirms that rates of overcrowding are much lower in Rolling Hills than in Los
Angeles County, with no overcrowded rental units and only 0.5 percent of the owner-occupied
units meeting the Census definition of overcrowding. Moreover, the data indicates almost no
change between 2010 and 2020. By contrast, the countywide data shows that about 6 percent
of owner-occupied units and 16 percent of rental units are considered overcrowded. In most
cases, the percentages did not change significantly between 2010 and 2020.
Housing Problems
The HUD CHAS data indicates how many households in each community experience one of four
specific housing problems—these problems are (a) lack of a complete kitchen; (b) lack of
complete plumbing facilities; (c) overcrowding; and (d) severe cost burden (paying more than 50
percent of income on housing). According to CHAS data for 2014-2018, there are about 110
owner-occupied households in Rolling Hills and four renter households in Rolling Hills with one
or more of these problems. Since all housing units in the city have kitchens and baths, and only
six are overcrowded, the primary problem experienced is a severe housing cost burden. The
CHAS data indicates there are 105 owner-occuped households with a severe housing cost
burden. Most of these are lower-income senior households
Figure A-146 shows this data on a regional level. The rate of housing problems is higher in
Rolling Hills than it is in the other Palos Verdes Peninsula cities, due to the high percentage of
senior homeowners living on fixed incomes and paying substantial portions of their incomes on
housing. However, the city’s rate is comparable to other affluent areas on the west side of Los
Angeles and is lower than in the neighborhoods and communities immediately south and
immediately east of Los Angeles.
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Appendix A: Affirmatively Furthering Fair Housing Analysis A-34
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Appendix A: Affirmatively Furthering Fair Housing Analysis A-35
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Appendix A: Affirmatively Furthering Fair Housing Analysis A-36
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Appendix A: Affirmatively Furthering Fair Housing Analysis A-37
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Appendix A: Affirmatively Furthering Fair Housing Analysis A-38
Displacement Risk
Figure A-175 illustrates “sensitive communities” in the southern half of Los Angeles County.
These are communities with relatively high risks of displacement due to rising rents and a lack of
tenant protection. None of the Palos Verdes Peninsula cities are shown as vulnerable. On the
other hand, most of the tracts in the City of Los Angeles, including the San Pedro and
Wilmington communities, are shown as vulnerable. The entire South-Central area of Los
Angeles is vulnerable, as are nearby communities such as Compton, Inglewood, and Hawthorne.
As depicted on Figure A-175, vulnerable communities are communities in which at least 20
percent of the population is low income and two or more of the following conditions are present:
• Renters are over 40% of all households
• People of color are 50% or more of the population
• Share of severely cost-burdened very low income renters is above county median
• Rents have been increasing at faster rate than county median
• Larger than average gap between local rents and rents in surrounding tracts
These conditions are not present in Rolling Hills.
Figure A-175: Sensitive Communities
Census tracts in
purple are
designated as
“vulnerable” due
to displacement
risk
ROLLING HILLS
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Appendix A: Affirmatively Furthering Fair Housing Analysis A-39
Due to the very high percentage of home ownership, Rolling Hills does not face displacement
risk. Displacement may occur due to other reasons, such as an aging household unable to
maintain their property or afford the modifications needed to age in place.
Homelessness
Homelessness in Rolling Hills is addressed in Section 3.4.8 of the Housing Element (Chapter 3).
As indicated there, the annual point-in-time count for Los Angeles residents identified no
unhoused residents in the city in 2016, 2017, 2018, 2019, or 2020. Figure A-18 shows the
spatial extent of homelessness at a regional level based on data provided by the County of Los
Angeles. The table shows that there were three unhoused residents per square mile in all four
of the Palos Verdes Peninsula cities. The density is highest in Downtown Los Angeles, Venice,
and various neighborhoods on LA’s West Side and South Central areas. Some of these areas
have more than 500 unhoused residents per square mile. The relatively low densities on the
Palos Verdes Peninsula reflect the absence of shelter facilities, supportive services, non-
residential land, and public lands where outdoor camping might occur.
Other Populations with Special Needs
Chapter 3 of the Housing Element identifies special needs populations in Rolling Hills. The
principal special needs group is older adults, with one-third of the city’s population over 65. As
noted in Section 3.3.1, 56 percent of the households in Rolling Hills include at least one person
who is 65 or older. Most of the persons with disabilities and all of the extremely low income
households in the city are seniors. Rolling Hills has a very small number of single parents and
large households, and it does not have unhoused residents or farmworkers.
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Appendix A: Affirmatively Furthering Fair Housing Analysis A-40
NEW MAP
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Appendix A: Affirmatively Furthering Fair Housing Analysis A-41
Other Relevant Factors
The State’s guidance for AFFH requires that other relevant factors contributing to fair housing
issues be evaluated as part of this analysis. As explained in the next section, the principal
contributing factor is that Rolling Hills was developed as an equestrian community in which
multi-family residential uses were not permitted. The city’s single family character was
reinforced by minimum lot size requirements (one acre) and a (now repealed) prohibition on
Accessory Dwelling Units which made it difficult for low and moderate income persons to afford
housing in the community. These requirements effectively limited the rental housing supply to
very expensive single family homes and resulted in a tenure pattern in which more than 97
percent of the households in the city are homeowners.
Governmental spending on affordable housing and the implementation of housing programs is
severely limited by the small size of the city (fewer than 700 homes), the lack of any tax-
generating land uses other than housing, the high cost of land and construction, and severe
environmental hazards in the community. Historically, there have no instances of transportation
or infrastructure improvements causing the displacement of lower income households. As
documented in Chapter 5 of the Housing Element, there are no public streets in the city and
almost no properties served by sanitary sewers. This has been an impediment to the
development of multi-family housing.
The high cost of housing in Rolling Hills has historically precluded low- and moderate-income
households from living in the city, unless they were home care providers, domestic employees,
persons renting a room, family members, or seniors without a mortgage. Additionally, lending
practices historically favored White borrowers, making the city less diverse than the county and
region. This has changed in the past few decades and Rolling Hills has become more racially
diverse. However, the city has not become economically diverse.
Based on Census (ACS 2015-2019) data, there are not significant differences in the rates of
home ownership among different race and ethnic groups in Rolling Hills. As shown in Table A-9,
the data indicates that all Black and Latino households in the city are homeowners, and that all
renter households in the city are White or Asian. However, the findings are based on sample
data and the sample sizes are very small. The greater takeaway is that housing in the city
continues to be affordable only to very high income households.
Table A-9: Rolling Hills Home Ownership Rates by Race/Ethnicity
Race/Ethnicity Owners Renters Total % Owners
White, Non-Hispanic 360 8 368 98%
Asian, Non-Hispanic 101 16 117 86%
Black, Non-Hispanic 9 0 9 100%
Hispanic/Latino 28 0 28 100%
Two or more races 35 3 38 92%
Source: American Community Survey, 2015-2019 (2022)
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Appendix A: Affirmatively Furthering Fair Housing Analysis A-42
Local Data and Knowledge
HCD’s guidance for the AFFH analysis indicates that cities should use local data and knowledge
to analyze fair housing issues, including information obtained through community participation
or consultation. The regional demographic data help show spatial patterns but do not expressly
explain why problems exist. An additional screen of local insights is necessary to complement
federal and state data sources.
While there is no specific local data on fair housing specific to Rolling Hills, the circumstances
behind the spatial patterns shown throughout this analysis are mostly self-evident. The city was
master planned more than 80 years ago as a low-density equestrian community with large
parcels marketed to prospective homeowners. Rental housing was not included in these plans
and CC&Rs were drafted and enforced to maintain single family character. The lack of sewers,
risk of wildfire and landslides, and absence of public streets created further disincentives for
multi-family housing, while also increasing construction costs. More recently, the high cost of
land has made affordable housing construction economically infeasible, which will continue to
be an impediment in the future.
Rolling Hills is also an entirely residential community. There are no private businesses in the city
limits, except for a handful of home-based occupations. Employment is associated with the
PVPTA maintenance yard, the Rancho Del Mar school building, the Fire Station, and the City
Hall/ Rolling Hills Community Association buildings, which collectively employ just over 100
people. Housing demand is not generated by businesses within the city. There are no
underused commercial sites to be repurposed for housing, since there have never been
commercial land uses in the city.
Rolling Hills does generate demand for services that create jobs, including low-income jobs.
Local homeowners provide employment for caregivers and home health care workers, au pairs
and home child care providers, landscapers and domestic workers, personal assistants, and
those in the construction trades. Housing for this workforce has been largely unavailable in the
city, although some of these employees may live on-site and are considered part of the primary
household.
Local data and knowledge supports a fair housing strategy that is heavily focused on housing
this population in ADUs, potentially at reduced rents. The service industry population is
generally more racially and ethnically diverse than the city at large. Providing additional ADU
and JADU opportunities would help contribute to the State’s integration and equity goals while
improving access to housing in a high-resource area. It can also reduce commuting and
associated congestion and greenhouse gas emissions.
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Appendix A: Affirmatively Furthering Fair Housing Analysis A-43
Distribution of Proposed Housing Sites
This section of the AFFH analysis evaluates the City’s site inventory to ensure that the
distribution of sites does not exacerbate patterns of segregation, access to opportunity, and
disproportionate housing needs. The site inventory must be consistent with each community’s
duty to affirmatively further fair housing.
Rolling Hills presents a unique situation in this regard, as the entire city consists of just one
census block group. Data for this one tract indicates that the entire city is in the highest
resource category. The land use pattern is homogenous and consistent in all parts of the city,
and there are no observable disparities in housing condition, demographics, or income at the
neighborhood level.
Additionally, the city’s lower income RHNA is 29 units. While the State mandate calls for
distributing opportunities on multiple sites in each city, the economics of affordable housing
development make this impractical in Rolling Hills. The City is more likely to see affordable units
developed on a single site capable of supporting a critical mass of at least 16 units than on
multiple sites capable of accommodating a few units each.4 The City will distribute affordable
opportunities through a strategy that relies on its housing opportunity site and about a dozen
accessory dwelling units (ADUs) on scattered sites.
The development of affordable housing on the Rancho Del Mar site furthers the goals of AB 686
by providing a viable opportunity for affordable housing in a very high resource area. This
opportunity did not exist prior to 2020 when the site was rezoned. Moreover, the City has
adopted provisions to allow the development “by right” creating a path to expedited approval.
As documented in Chapter 4, this is the only viable site in Rolling Hills for higher density housing
given the lack of sewer and a public road system. It is also one of the few sites that is accessible
to transit and evacuation routes.
Meeting the remaining lower income need for affordable units through ADUs is a practical,
effective way to meet the intent of AB 686 while dispersing opportunities across a large
geographic area. By definition, ADUs distribute affordable housing opportunities across the
community rather than concentrating them in a single location. They are also responsive to very
real opportunities in Rolling Hills, resulting from large house sizes, numerous accessory
buildings, a large number of one- and two-person households, and an aging population. The
City’s new ADU program has a demonstrated track record of success, with nine units permitted
in 2021. Continued efforts to support ADUs will allow Rolling Hills to achieve AFFH goals in a
way that is realistic, practical, responsive to local conditions, and produces real results.
4 While the base density for the Rancho Del Mar site is 16 units, the City requires that the site be developed with 100% affordable
housing. Thus, it will be eligible for an 80% State density bonus which would enable 29 units in total.
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Appendix A: Affirmatively Furthering Fair Housing Analysis A-44
Identification and Prioritization of Contributing Factors
“Contributing factors” are the underlying forces that create, contribute to, perpetuate, or
increase the severity of fair housing issues. In its AFFH Guidance Memo (2021), HCD has
identified eight contributing factor topic areas, including general outreach, fair housing
enforcement and outreach capacity, segregation and integration, racially and ethnically
concentrated areas of poverty, disparity in access to opportunity, disparity in access for persons
with disabilities, disproportionate housing needs and displacement risks, and the site inventory.
Under each of these topic areas, the Guidance memo lists individual issues which can
potentially be addressed by a Housing Element action. According to HCD, examples of
contributing factors are community opposition to affordable housing, housing discrimination,
land use and zoning laws, lack of regional cooperation, lack of affordable housing, and lack of
public or private investment in areas of opportunity or affordable housing choices.
AB 686 requires that the City strategically prioritize the contributing factors and develop
programs that mitigate these these factors through its goals, policies, and actions. The Housing
Element must include programs that mitigate discrimination and improve fair housing choices
and access to opportunities in high resource areas. HCD generally groups these actions into
the following four categories:
• Housing Mobility Strategies, which consist of removing barriers to housing in areas of
opportunity
• New Housing Choices and Affordability, which include strategies to promote more
housing supply and choices in areas of high opportunity and outside areas of
concentrated poverty
• Place-based strategies to Encourage Community Conservation and Revitalization, which
include approaches to conserve and improve assets in areas with concentrated poverty
and lower opportunities
• Protecting Residents from Displacement, which includes strategies to preserve housing
choices and affordability for residents within low and moderate opportunity areas.
Given that Rolling Hills is a high-resource, high-opportunity area, all of the City’s AFFH strategies
fall in the first two of these categories.
Following is an assessment of factors that could contribute to fair housing issues in Rolling Hills,
along with strategies that mitigate these factors.
Priority 1: Address Disparities in Access to Opportunity
Contributing Factors:
• Land Use and Zoning Laws
• Lack of Public Investment in Services and Amenities
The City’s highest AFFH priority is to address disparities in access to opportunity. These
disparities have been created primarily by land use and zoning laws, coupled with economic
conditions and environmental hazards that precluded multi-family housing in Rolling Hills.
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Appendix A: Affirmatively Furthering Fair Housing Analysis A-45
The City historically has had no rental housing and no housing opportunities for lower and
moderate income households. It has begun to remove land use and zoning barriers by allowing
and encouraging accessory dwelling units, promoting home sharing, rezoning land for multi-
family and special needs housing, and supporting public investments in infrastructure that will
facilitate future housing development. The 2021-2029 Housing Element identifies additional
steps the City will take to mitigate this contributing factor.
Specific Programs (described in Chapter 6) aimed at mitigating land use and zoning as a
contributing factor include:
• Program 2 supporting the development of affordable multi-family housing on the
Rancho Del Mar Housing Opportunity Site
• Program 4 adding definitions of transitional and supportive housing to the Municipal
Code, to clarify that these uses are subject to the same standards that apply to the other
residential uses in each zoning district
• Program 5 adopting a density bonus ordinance
• Program 6 creating incentives for ADUs
• Program 7 promoting community education on ADUs
• Program 12 supporting outreach to affordable housing service providers and
developers
• Program 13 supporting a shared housing program
Specific Programs (described in Chapter 6) aimed at mitigating lack of public investment in
services and amenities as a contributing factor include:
• Program 14 calling for sewer feasibility studies and phase one construction of a
sanitary sewer system that would serve City Hall and the community tennis courts and
potential future expansions
• Program 15 calling for potential participation in the CDBG Urban County program,
which could provide a public funding source for infrastructure and housing
improvements
This contributing factor is also mitigated by the designation of the Rancho Del Mar site for multi-
family housing, since this is the only site in the city that has sanitary sewers and access to a
public street. As noted throughout the Housing Element, most of Rolling Hills does not sewer or
public street access.
All of the above programs fall into the “New Housing Choices and Affordability” category, as
they promote more housing supply and choices in areas of high opportunity.
Priority 2: Increase Fair Housing Outreach, Education and Enforcement Capacity
Contributing Factors:
• Lack of local private fair housing outreach and enforcement
The second AFFH priority area is to improve fair housing outreach, education, and enforcement
capacity. While public agencies do not directly control the actions of private property owners
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Appendix A: Affirmatively Furthering Fair Housing Analysis A-46
related to fair housing, they can influence outcomes. Rolling Hills has limited staff (6 FTEs) and
a severely constrained budget, no tax-generating commercial land uses, and with limited
revenue to fund new programs. The capacity to do pro-active outreach and enforcement of fair
housing complaints is constrained. As a result, owners seeking to rent property may be
unaware of fair housing laws and discriminatory practices. Likewise, tenants (or prospective
tenants) may be unaware of their rights and may face discrimination without awareness of the
opportunity for recourse. At present, there is not a formal private fair housing outreach and
enforcement program and resources for such a program are limited.
Specific Programs (described in Chapter 6) aimed at increasing fair housing outreach,
education, and enforcement include:
• Program 20 recommends that the City increase its capacity for fair housing outreach,
education, and enforcement. This would include education to those choosing to rent
their homes or ADUs regarding state and federal laws on discrimination and the
acceptance of housing vouchers.
• Program 21 calls for increased information on fair housing on the City’s website,
including a dedicated landing page with fair housing information and links to fair housing
resources.
• Program 22 calls for fair housing training for City staff.
All of the applicable strategies to address this priority fall are in the “Housing Mobility” category,
in that they are aimed at removing barriers in a high opportunity area.
Priority 3: Disparities in Access for Persons with Disabilities
Contributing Factors:
• Lack of assistance for housing accessibility modifications
• Lack of affordable in-home or community-based supportive services
As noted earlier in this Appendix and in Chapter 3 of the Housing Element, more than one-third
of Rolling Hills residents are over 65 and most of the City’s households include at least one
person over 65. This demographic has the highest rate of disability in the city, primarily
associated with mobility limitations. Sight and hearing impairments and cognitive impairments
also may affect older adults. As a rural community with very large lots and no public
transportation, persons with these limitations and impairments may face housing challenges as
well as other challenges such as the ability to evacuate in an emergency.
Specific Programs (described in Chapter 6) aimed at reducing disparities in access for persons
with disabilities include:
• Programs 6 and 7 supporting ADU development, including units for live-in caregivers
and health care providers
• Program 8 to assist senior and disabled households, including home retrofits for aging
in place. This also includes housing resources for persons with developmental
disabilities.
• Program 12 supporting home sharing, especially for senior and disabled households
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Appendix A: Affirmatively Furthering Fair Housing Analysis A-47
All of the above programs fall into the “New Housing Choices and Affordability” category, as
they promote better choices in high opportunity areas.
Summary
Table A-10 summarizes AFFH priorities, contributing factors, fair housing issues, and applicable
housing programs.
Table A-10: Fair Housing Priorities, Issues, Contributing Factors and Strategies
Priority Fair Housing
Issue
Contributing
Factors
Program
Category
Relevant Program (see Chapter 6)
1 Disparities to
Access in
Opportunity
• Land Use and
Zoning Laws
New
Housing
Choices and
Affordability
• Program 2: Affordable multi-family housing
development on Rancho Del Mar site
• Program 4: Definitions of transitional and
supportive housing in the Municipal Code,
• Program 5: Density bonus ordinance
• Program 6: ADU incentives
• Program 7: ADU education and outreach
• Program 12: outreach to housing service
providers
• Program 13 supporting a shared housing
program
• Lack of Public
Investment in
Services and
Amenities
• Program 14: sewer feasibility studies
• Program 15: CDB Urban County Program
2 Fair Housing
Outreach,
Education,
and
Enforcement
• Lack of local
private fair
housing
outreach and
enforcement
Housing
Mobility
• Program 20: Increase capacity for fair
housing outreach, education, enforcement
• Program 21: Increased fair housing
information on City’s website
• Program 22: Fair Housing training for staff
3 Disparities in
Access for
Persons with
Disabilities
• Lack of
assistance for
housing
accessibility
modifications
• Lack of
affordable in-
home or
community-
based
supportive
services
New
Housing
Choices and
Affordability
• Program 6: ADU incentives
• Program 7: ADUs outreach for live-in
caregivers and health care providers
• Program 8: Assistance to senior and
disabled households
• Program 12: Home sharing
Environmental Constraints
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Appendix A: Affirmatively Furthering Fair Housing Analysis A-48
The entire city is designated a Very High Wildfire Hazard Severity area. In the past, wildfires
have destroyed homes in Rolling Hills and endangered life and property. Wildfires are likely to
become a greater threat in the future due to global climate change and continue to limit the
viability of land in Rolling Hills for higher-density construction. Much of the city is landslide
prone. Landslides have destroyed Rolling Hills homes in the past and will remain an impediment
to multi-family development in the future. The City has responded to this contributing factor by
identifying the opportunity for multi-family housing on one of the only unconstrained sites in the
city.
Economics
Economic factors will continue to present a challenge to the achievement of fair housing goals in
Rolling Hills. Land and construction costs are prohibitively expensive, making it difficult to build
affordable housing. To the extent that members of protected classes often have lower incomes,
they will continue to be disproportionately affected by high housing costs. The City has little
direct control over economic pressure, as these are driven by the regional economy and real
estate market. Nonetheless, by creating the housing overlay zone on the Rancho Del Mar site, it
has created an opportunity for affordable project in a location that is less impacted by these
factors.
Land Use and Zoning Laws
Land use policies and zoning laws in Rolling Hills allow only very low densities on most sites,
recognizing the city’s identity and heritage as an equestrian community, and the infrastructure
and environmental constraints cited above. The City has worked creatively to allow for ADUs
and multi-family housing within the context of these constraints. Nonetheless, limited
opportunities for higher density housing may cause many of the conditions identified in this
analysis to continue. Various Housing Element programs are included to address this issue.
This includes adding provisions for transitional and supportive housing to the zoning regulations,
as well as density bonus regulations. It also includes proactive support for ADUs, including units
serving lower income residents and workers.
Lack of Participation in Countywide Programs
Rolling Hills does not participate in the Countywide Urban County CDBG Program. This may
limit access to some of the fair housing resources available to other cities.
Community Opposition
The 2020 Rolling Hills Housing Survey, which was focused on ADUs, indicated mixed views on
affordable housing, concerns about community character, and tremendous concern about the
city’s ability to absorb additional housing and evacuate additional residents. The survey was
anonymous and allowed for open-ended comments. While some were supportive, there were
also negative views expressed about affordable housing, renters, ADUs, and the State’s housing
mandates. This will continue to be an issue in the future and requires an ongoing community
dialogue about housing issues and the benefits of having greater housing choices.
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Appendix A: Affirmatively Furthering Fair Housing Analysis A-49
Summary of Fair Housing Issues and Additional Fair Housing Concerns
According to the California Code of Regulations, a land use practice has a discriminatory effect
where it actually or predictably results in a disparate impact on a group of individuals, or creates,
increases, reinforces, or perpetuates segregated housing patterns, based on membership in a
protected class. Such practices may still be lawful--however, the State has determined that they
should be mitigated to the extent that they increase, reinforce, or perpetuate segregated
housing patterns. In this context, the State has found that single family zoning itself has had
unintended (and in some cases, intended) discriminatory effects. In response, the legislature
has taken steps requiring local governments to accommodate additional housing units on single
family zoned sites.
Rolling Hills has adopted regulations permitting accessory dwelling units and is currently
considering legislation reflecting recently adopted SB 9. Both of these measures provide
potential opportunities for rental housing, smaller units, and more affordable units that did not
previously exist in the city. New ADU production and affordability programs affirmatively further
fair housing and promote new housing opportunities throughout the community.
Strategies to enhance mobility (i.e., transit access to Rolling Hills), preserve existing affordable
housing, and protect residents from displacement are less applicable in Rolling Hills. However,
the City’s policies and programs do aim to address disparities and create new affordable
housing opportunities in high-resource areas. The City has required that any multi-family
construction be affordable to low and very low income households, ensuring opportunities for
economic diversification rather than further concentration of affluence. Allowing market-rate
multi-family housing would only exacerbate existing concentrations of affluence and run counter
to the purpose and intent of AB 686.
Rolling Hills also has made fair housing outreach and education a priority, not only for Rolling
Hills residents but for those who may seek to move to Rolling Hills in the future. Current efforts
will be expanded in the future by making more information available and strengthening
communication with fair housing service providers.
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Appendix A: Affirmatively Furthering Fair Housing Analysis A-50
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APPENDIX B: Supplemental Analysis of the PVUSD Site Page B-1
APPENDIX B
Analysis of Palos Verdes Unified School District (PVUSD) Site
(APN 7569-022-900)
The intent of this Appendix is to provide supplemental analysis supporting the designation of the
Palos Verdes Unified School District (PVUSD) site as an opportunity site for “by right” affordable
housing in the City of Rolling Hills. This analysis was requested by the State Department of
Housing and Community Development to demonstrate the site’s capacity to provide 16 multi-
family units at a density of 20 units per acre. Land use regulations supporting such
development are required to meet the City’s 6th Cycle affordable housing allocation. Based on
existing land uses, access, infrastructure, topography and hazards, land ownership, and site
utilization, the City has determined that this represents the most viable site in Rolling Hills for
such development.
The 31-acre property is also known as the Rancho Del Mar site, as it is home to Rancho Del Mar
High School, a small continuation school with an enrollment of 32 students in 2021. The Beach
Cities Learning Center (17 students) also occupies a portion of the school building. Excluding
the adjacent playing fields and lawn, the school campus occupies just six percent of the 31-acre
site. The only other active use on the property is a Palos Verdes Peninsula Transit Authority
maintenance facility. A majority of the site is vacant.
Location and Surroundings
The PVUSD site is located at 38 Crest Road. Figure B-1 provides an aerial photo of the site to
provide context, orientation, and an overview of adjacent uses. Figure B-2 is an assessor parcel
map. Its exact area is 31.14 acres, including a 3.56-acre street internal to the site that provides
access to Crest Road, at a point outside the controlled access entryway to the Rolling Hills (but
within the city limits). The net acreage of the site without the street is 27.58 acres.
The site is oblong in shape, with a panhandle area at its western edge that extends to the Crest
Road access point. Excluding this panhandle area, the site extends roughly 2,600 feet from east
to west and averages more than 600 feet from north to south. Within this area are numerous
flat, graded surface areas with no structure coverage and minimal programmed activities.
The City of Rancho Palos Verdes lies immediately south and west of the site. The area to the
south is developed with single family homes at densities of 2-3 units per acre. This area is
roughly 80 to 100 feet higher in elevation than the site itself, as there is a graded downslope
between the residential neighborhood and the school property (the downslope is on the school
property). Residential uses also abut the west side of the site, with densities around 3-4 units
per acre.
There are no road or driveway connections between the PVUSD site and the Rancho Palos
Verdes neighborhoods to the south and west. A 15’ riding and hiking trail easement exists along
the southern and western edges of the site but it is undeveloped. The difference in topography
reduces the potential for visual impacts associated with future development.
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APPENDIX B: Supplemental Analysis of the PVUSD Site Page B-2
The entire northern perimeter of the site is defined by the Crest Road right-of-way. There are
large lot homes on the northern side of Crest Road, set back more than 100 feet from the
School District property line and more than 200 feet from the improved area of the PVUSD site.
The area to the north is well buffered not only by large setbacks and Crest Road, but also by an
internal street on the PVUSD property. Effectively, there are two streets between homes in
Rolling Hills and the developable area—Crest Road, and the parallel internal street within the
PVUSD site.
On its eastern edge, the site is abutted by large lot residences. The home closest to the site is
heavily screened from the PVUSD site by vegetation, as well as a private tennis court between
the residence and the property line. The residence itself is more than 200 feet from the PVUSD
ballfield and more than 550 feet from the school.
The site context creates effective buffering from adjacent uses, mitigating land use compatibility
concerns such as privacy, noise, and visual impacts. At the same time, the site is easily
accessible from Crest Road and is outside of the gated area of the city. A fire station is located
1,000 feet to the east, and major shopping facilities and services are located just over a mile
away in the City of Rancho Palos Verdes. Crest Road is one of Rolling Hills’ major thoroughfares
and one of the few “through-streets” that bisects Rolling Hills and connects the city to adjacent
cities and regional highways.
History of the Site and Current Uses
The site was initially home to Cresta Elementary School, which was constructed in 1960. A
School District warehouse and maintenance facility was part of the original campus. The school
closed in the early 1980s and was repurposed as Rancho Del Mar Continuation High School,
which opened in 1986. At the time, there were discussions between the City and the School
District to rezone the property and sell the site for residential development. However, Rancho
Del Mar has remained on the site for the last 35 years. Given the value of the land and the low-
intensity and limited extent of the existing use, residential development remains viable, even if
the school does not relocate.
The Rancho Del Mar Campus consists of three one-story buildings totaling 20,000 square feet of
floor area. Figure B-3 shows the campus layout, as well as six photos of the school and adjacent
areas. The campus consists of an L-shaped building (divided by a breezeway) with eight
classrooms, a rectangular building with a classroom, multi-purpose room restroom, and
custodial area, and a small building facing the parking lot with the main office. Classrooms at
the school are open to the exterior and there are no interior hallways. The PVUSD shares its
classroom and administrative facilities with the Beach Cities Learning Center. The Learning
Center has 17 students aged 11-18 with emotional, behavioral, and learning challenges.
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Appendix B: Supplemental Analysis of the PVUSD Site Page B-3
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Appendix B: Supplemental Analysis of the PVUSD Site Page B-4
237
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Appendix B: Supplemental Analysis of the PVUSD Site Page B-5
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Appendix B: Supplemental Analysis of the PVUSD Site Page B-6
Rancho del Mar itself serves students ages 16-18 who were unsuccessful in a traditional high
school setting. Students are referred to the school for a myriad of reasons, including poor
attendance, personal crisis, behavioral issues, or other factors creating a high risk of drop-out.
Enrollment at Rancho del Mar has been steadily declining and was just 32 students in the 2020-
21 school year. Enrollment was 79 students in 2014-15, 72 students in 2015-16, 69 students in
2016-17, 58 students in 2017-18, 47 students in 2018-19, and 46 students in 2019-20. There
are also six teachers on site and three other personnel.
Thus, the combined enrollment (Beach Cities and Rancho Del Mar) is fewer than 50 students on
a 31-acre site. By contrast, Palos Verdes Peninsula High School and Palos Verdes High School
enroll roughly 2,300 and 1,700 students respectively, on sites of similar size. Sale of the school
property could generate significant revenue for the School District. Sale of a portion of the
property also is possible, as the site is configured in such a way that easily facilitates its
subdivision.
A comprehensive structural evaluation of the school was completed in 2016 as part of the
PVUSD Facilities Master Plan. Beach Cities Learning Center likewise prepared a facility
condition status report in 2019 as part of its annual reporting requirements. Both evaluations
found the building(s) to be in good condition. The buildings were last renovated in 2008. The
2016 evaluation called for resurfacing the parking area, upgrading the HVAC system, and
upgrading the electrical system. Total capital needs were estimated at $1.9 million. All utilities
were found to be in good condition, and drainage issues were minimal.
The school campus is adjoined by an approximately 100-space parking lot on its north and east
sides. To the west of the buildings, there is a large flat lawn area. To the east, there is an
athletic field area that includes a basketball court and ballfield. The 2016 facility evaluation
determined that the Floor Area Ratio of the school campus was just 0.03, as it defined the
campus area as being 15.2 acres (including athletic fields, lawns, and other open areas on the
perimeter of the site). The square footage of floor space per student is well below District
averages.
Beyond the 15.2-acre area associated with the school, the PVUSD has leased approximately 4.5
acres of the site (roughly 15 percent of the 31 acres) to the Palos Verdes Peninsula Transit
Authority. The PVPTA facilities include maintenance buildings and administrative offices and are
self-contained in the west central part of the site. The Housing Element analysis presumes this
part of the site will not be available for development and that the transit district will remain a
long-term tenant. However, the PVPTA site could potentially be sold and redeveloped in the
future, leased to a new third party, or repurposed by the School District.
Potential Development Areas
Figure B-4 shows potential development areas on the Rancho Del Mar site. These are
summarized below:
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Appendix B: Supplemental Analysis of the PVUSD Site Page B-7
• Area 1 is located between the transit facility and the school campus. It is an unimproved,
almost completely flat rectangular area of 1.6 acres. Its dimensions are approximately
250 x 300, with 250 feet of frontage along the internal access street. The site is well
situated for multi-family development and has no visible physical constraints.
• Area 2 is located immediately adjacent to the school and is 1.0 acre. The dimensions
are approximately 200 x 200, with a “stem” area providing access to the interior street.
The area is currently an unimproved lawn with a few mature trees. It is almost
completely flat and has no physical development constraints. The site could easily
support up to 16 to 20 multi-family units at a density of 20 units per net acre.
• Area 3 is the school itself, which occupies roughly 1.75 acres including parking,
landscaped areas, courtyards, and classroom buildings. This option would be most
viable if the school relocates and the site is sold, as co-location of a school and multi-
family housing or emergency shelter would be unlikely. However, certain special needs
housing types (such as housing for teachers) would be viable in this setting.
• Area 4 includes the area east of the school. It includes approximately three acres of
level ground, with 0.5 acres of parking, a two-acre ballfield serving the school, and other
paved areas used for basketball and recreation. There are several areas within the three
acres where 16-20 units could be built without impacting use of the site for parking and
school recreation.
• Area 5 includes approximately four acres and is located west of the PVPTA facility. It is
regarded by the City as the best location on the 31-acre site for multi-family housing, as
it would have the least impact on the school campus and transit facility. It is also the
largest of the five areas and the most buffered from adjacent development. There are a
number of extant foundations on the site from prior uses, and internal roadways that are
not in use. The area has gently sloping terrain and has not been improved for school
use, parking, or recreation, as the other portions of the site have.
Figures B-5 through B-7 provide a bird’s eye view of each of the five areas.
Physical Constraints to Site Development
Approximately nine acres of the 31-acre site consists of a graded slope along the south side of
Altamira Canyon. This area is shown in Figure B-8. The slope exceeds 30 percent, making it
poorly suited for development. The sloped areas also have the potential for landslides and other
seismic stability issues, which limit their suitability for further grading and construction. The
sloped area is not considered suitable for multi-family development or special needs housing. It
occupies roughly 29 percent of the site, all of which has been excluded from consideration in
the definition of Areas 1-5 above.
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Appendix B: Supplemental Analysis of the PVUSD Site Page B-8
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A D O P T I O N D R A F T
Appendix B: Supplemental Analysis of the PVUSD Site Page B-9
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A D O P T I O N D R A F T
Appendix B: Supplemental Analysis of the PVUSD Site Page B-10
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Appendix B: Supplemental Analysis of the PVUSD Site Page B-11
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Appendix B: Supplemental Analysis of the PVUSD Site Page B-12
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A D O P T I O N D R A F T
Appendix B: Supplemental Analysis of the PVUSD Site Page B-13
The central portion of the site has historically been used for general maintenance activities, first
by PVUSD and more recently by PVPTA. A search of the California State Water Resources
Control Board (SWRCB) GeoTracker data base identified two leaking underground storage
tanks (LUST sites) at this location. The sites were determined to contain gasoline and
hydrocarbons resulting from leaking underground storage tanks. Both sites have been cleaned
per SWRCB standards and are now designated by the SWCRB as "complete” and “case
closed.”
As noted elsewhere in the Housing Element, the City of Rolling Hills—including the PVUSD
site—has been designated as a Very High Fire Hazard Severity Zone by the State of California.
Rolling Hills is implementing a Community Wildfire Protection Plan to mitigate this hazard and is
implementing vegetation management measures and programs to make structures more
resilient. In the event of a housing proposal on this site, the need for an emergency-only access
connection between the existing access road and Crest Road would be assessed.
An analysis of infrastructure and utilities on the site conducted as part of the Housing Element
found no constraints associated with redeveloping this site with residential uses or special needs
housing. The site is used less intensively now than when it was actively used as an elementary
school and school maintenance facility. Water, drainage, and wastewater facilities are adequate
to support the number of units contemplated by the Housing Element.
Importantly, this is one of the only sites in the City of Rolling Hills that has access to a public
sewer system. As such, it is much more conducive to multi-family housing that sites elsewhere
in the city that are served by private septic systems.
Regulatory Constraints to Site Development
Prior to December 2020, the PVUSD opportunity site was subject to a range of planning and
regulatory constraints that limited the feasibility of multi-family housing. The site has historically
had a General Plan designation of Very Low Density Residential and a zoning designation of
RAS-2 (Residential Suburban 2-acre minimum lot size), which effectively limited uses to existing
community facilities or new large-lot residential development. While Accessory Dwelling Units
(ADUs) could conceivably be incorporated in new homes, the site would not have met State
requirements for the Housing Element.
In February 2021, the City of Rolling Hills amended its General Plan and zoning regulations to
allow multi-family housing and other special needs housing types “by right” on the PVUSD
property, subject to specific development standards. As noted elsewhere in the Housing
Element, the amendments included:
• Amending the Land Use Element of the General Plan to create the Rancho Del Mar
Housing Opportunity Overlay. The Land Use Element now explicitly states that multi-
family housing and emergency shelter are permitted by right in this area, subject to
objective development standards. The number of units on the site is based on a transfer
of the allowable General Plan density to a clustered area where 16 to 20 units could be
added.
• Amending the Rolling Hills Municipal Code (Zoning Regulations) to create the Rancho
Del Mar Housing Opportunity Overlay, and to map this Overlay on the entire PVUSD site.
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Appendix B: Supplemental Analysis of the PVUSD Site Page B-14
The Overlay establishes a minimum density of 20 units per acre and a maximum density
of 24 units per acre. Affordable housing is permitted “by right” subject to objective
development standards defined in the Ordinance. The Ordinance identifies the area
west of the PVPTA site as the location for future housing.
• Amending the Zoning Regulations to allow emergency shelter on the property by right,
subject to specific development standards specified in the Code.
• Amending the Zoning Regulations to allow single room occupancy (SRO) units on the
site, with a conditional use permit.
Other Constraints to Site Development
Development of multi-family housing, emergency shelter, or SRO uses on the PVUSD site could
occur either:
• by the School District itself (on its own or through a public-private partnership)
• through a long-term lease; or
• through sale of all or part of the property
The City has met with the School District and reviewed Board Policies and Codes. Current
policies accommodate all of these options—and that there are no prohibitions or limitations on
multi-family and special needs housing. Moreover, the School District has expressed interest in
developing housing for teachers in the past; such units would meet income criteria for low or
very low income units. There are ample opportunities for such housing on the property that
would not impact operations at either Rancho Del Mar School or PVPTA. Rancho Del Mar is a
logical location for these activities, given the size of the site and its significant underutilization.
The District is less likely to pursue development of an emergency shelter or SRO on its own, as
these are not as clearly mission-aligned. However, it could sell or lease property to a third party
who could develop these uses. SROs and emergency shelters would be unlikely to co-locate in
the school building or on the 1.75-acre school footprint area, given the possibility for use
conflicts. However, the 31-acre PVUSD property is large enough to accommodate multiple
uses. There are developable areas on the site that are 1,500 feet away from the school. The
District has already set a precedent by leasing a large portion of this site to a transit agency; it
could do the same for a social service agency or another agency providing a public benefit
service to the community.
Like most School Districts in California, the sale or lease of PVUSD property is subject to action
by the School Board. Section 3280 of the Board’s Policies allows the Superintendent or
designee to study the existing and projected use of facilities to ensure the efficient utilization of
space. A Board Committee is typically created prior to the sale of land (although teacher
housing is specifically exempted by Board policy from any Committee requirements). A Board
vote is required to approve the sale or lease terms. There are also requirements for how the
proceeds of a sale or lease may be used.
Once property is sold, the School District Board has no land use or decision-making authority
over a site. Thus, the District could sell all or part of the PVUSD site to a non-profit housing
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A D O P T I O N D R A F T
Appendix B: Supplemental Analysis of the PVUSD Site Page B-15
developer, for-profit housing developer, social service provider, or other third party who could
develop housing “by right” without further oversight by the Board or City Council. Subdivision
of the property would be required, creating a new legal parcel on which housing could be
developed.
Given its large size, the most likely scenario is only that a portion of the site would be sold,
rather than the entire site. In effect, the Housing Element is creating a unique opportunity for
the District to sell a vacant or underutilized subarea on its 31-acre site to a third party, who can
then produce teacher housing, senior housing, affordable family housing, or another type of
housing that meet local needs.
There are a number of examples of successful small affordable housing projects in the Los
Angeles region that meet the density and height criteria established for this site. For example,
Habitat for Humanity is currently developing a 10-unit affordable two-story townhome project in
Long Beach on a 0.5-acre site. Similar two-story projects by Habitat have been developed in
Lynwood, Burbank, Bellflower, and Downey.
In the event that the Rancho Del Mar School itself is closed in the future, the building could be
sold and repurposed for other uses. Once sold, the floor space could be reconfigured for
alternative uses, including special needs housing. The project would be subject to the objective
standards prescribed by the zoning regulations (covered elsewhere in this Housing Element),
but approval of the development would be ministerial.
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Appendix B: Supplemental Analysis of the PVUSD Site Page B-16
/intentionally blank/
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A D O P T I O N D R A F T
Appendix C: Accessory Dwelling Unit (ADU) Survey Findings Page C-1
APPENDIX C:
Accessory Dwelling Unit Survey Analysis
In Fall 2020, the City of Rolling Hills surveyed its residents to determine the viability of
Accessory Dwelling Units (ADUs) as a future affordable housing strategy. The survey was
formatted as an 11 x 17 folded sheet printed double-sided (four 8.5 x 11 pages) and was mailed
via the US Postal Service to approximately 700 addresses in the city. Return postage was
provided so the survey could be easily returned. Residents had roughly one month to complete
and return the survey. An option was provided to reply electronically via SurveyMonkey.
Approximately 190 surveys were returned, for a response rate of 27 percent.1 Another seven
surveys were received by SurveyMonkey, bringing the total response rate to 28 percent. The
survey represents the views and experiences of more than one in four Rolling Hills households.
This is a high response rate and is indicative of the community’s strong interest in the subject.
Demographic information about the respondents was collected as part of the survey.
Respondents tended to be older than Rolling Hills residents as a whole and were mostly long-
time residents. About two-thirds of the respondents were 65 or older and 25 percent were 50-
64. By contrast, about 42 percent of the City’s adult residents are over 65 and 36 percent are
50-64. About 42 percent of the respondents had lived in Rolling Hills for more than 30 years
and only 20 percent had lived in the city for less than 10 years. By contrast, about 27 percent of
all residents have lived in Rolling Hills for more than 30 years and 31 percent have lived in the
city for less than 10 years.
The distribution of respondents by household size was close to the citywide average.
Approximately 65 percent lived in one and two person households, which is similar to the
citywide average. Only seven percent lived in households with five or more residents, which is
just below the citywide average. Of the 194 respondents who indicated their housing tenure,
192 were owners and two were renters. This is equivalent to one percent of the respondents,
whereas renters represent about five percent of Rolling Hills households.
Figure C-1 compares demographics for the survey respondents and residents in the city as a
whole.
Responses to the survey was completely anonymous. Respondents were given the option of
phoning the City if they had questions or wanted more information about ADUs.
1 This estimated return rate was based on 700 households. In August 2021, Census data indicated there were 637
households in the City, so the actual return rate was 31 percent.
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A D O P T I O N D R A F T
Appendix C: Accessory Dwelling Unit (ADU) Survey Findings Page C-2
Figure C-1: Demographics of Survey Respondents Relative to All Rolling Hills Residents
0
10
20
30
40
50
Less than 10 yrs 10-20 yrs 20-30 yrs 30+ yrs
Length of Residency in Rolling Hills
Survey Respondents All Rolling Hills Residents
0
10
20
30
40
50
60
1 Person 2 Persons 3 Persons 4 Persons 5 Persons 6+ Persons
Household Size
Survey Respondents All Rolling Hills Residents
0
10
20
30
40
50
60
70
20-35 35-49 50-64 65+
Percent by Age Group
Survey Respondents All Rolling Hills Residents
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A D O P T I O N D R A F T
Appendix C: Accessory Dwelling Unit (ADU) Survey Findings Page C-3
Suitability of the Property for an ADU
Question 1 asked respondents to indicate if their property contained an ADU or other habitable
spaces which could potentially be used as an ADU. Respondents were asked to check “all
choices that apply,” so the results are not additive.
Thirteen of the respondents indicated they had a legally permitted ADU on their properties with
a separate kitchen, bath, and entrance. Some of these units may have been legally created in
2018-2020 after the City adopted its ADU Ordinance, but some likely already existed and are
legally classified as guest quarters.
Thirty-four respondents, or roughly 25 percent of the total, indicated they had a secondary
building on their properties with an indoor kitchen, bathroom, heat and plumbing. This included
guest houses/ casitas, pool houses, habitable barns, and similar features that could be
considered potential ADUs even if they are not used for habitation by another household. Ten
respondents indicated they had a second kitchen in their homes. Eighteen said they had
another space in their home that could “easily be converted” to a separate dwelling or junior
ADU. While some respondents may have counted the same space twice, roughly half indicated
they had spaces on their properties with the potential to be used as an ADU or JADU. This is
further supported by the responses to Question 2 below.
Current Use of ADUs and Spaces Suitable as ADUs
Question 2 asked how the spaces described in Question 1 were being used. Only three of the
respondents indicated they were renting ADUs to a paying tenant. Seven indicated that the
space was used by a caregiver or domestic employee, while eleven had a family member or
long-term occupant living on the property. Collectively, this represents 21 units, or just over 10
percent of the respondent households. The remainder of the respondents with potential ADU
space indicated they used these spaces for house guests or their own families, or that the space
was unoccupied or used as storage.
The survey findings indicate that ADUs (or “unintended” ADUs such as guest houses) already
represent a component of the Rolling Hills housing supply. The survey suggests that there is
potential to expand the number of permitted ADUs in the future, even without any new
construction. About 15 percent of the respondents (30 in total) indicated they had potential
ADU space on their properties that was vacant or used for storage.
Respondents were asked the square footage of the spaces they were describing. Figure C-2
shows the distribution. More than 100 responses were received, with a median size of about
600 square feet.
Respondents who had rented ADUs on their properties were given the option of reporting the
rent that was being charged. Two of the three households who indicated they had a paying
tenant replied. The monthly rents charged for these units were $950 in one case and $1,500 in
another. Based on HCD income limits for Los Angeles County, the $950 unit would be
considered affordable to a very low-income household of one or more persons. The $1,500 unit
would be considered affordable to a low-income household of one or more persons. These
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Appendix C: Accessory Dwelling Unit (ADU) Survey Findings Page C-4
units are presumed to have been created or legalized between 2018 and 2020, following
adoption of the ADU ordinance.
Figure C-2: Square Footage of Spaces Reported by Respondents as Potential ADUs on their Properties,
Including Guest Houses
Income Characteristics of Households in Occupied Units
Those who indicated their ADU (or “unintended” ADU/ guest house/ secondary space) was
occupied by someone who was not part of their household were asked to describe the number
of residents and total income of the occupants. The numeric HCD 2020 income limits (dollar
amounts) and number of persons in the household were used so that the occupants could be
easily identified using HCD’s income categories.
There were 12 responses to this question, or about six percent of all surveys returned. This
presumably includes the small number of units that are rented as ADUs, plus those occupied by
caretakers, domestic employees, and other long-term occupants. The distribution by HCD’s
income categories is shown below:
Household Size and Income of Households Occupying Formal or Unintended ADUs
Income 1 person 2 person 3 person 4 person 5 person 6+ person TOTAL
Extremely
Low 1 1 2
Very Low 2 2
Low 1 1
Moderate/
Above Mod 1 4 1 1 7
TOTAL 5 4 1 1 0 1 12
0
5
10
15
20
25
30
>300 301-450 451-650 651-800 801-1000 1000+Number of UnitsSquare Footage
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A D O P T I O N D R A F T
Appendix C: Accessory Dwelling Unit (ADU) Survey Findings Page C-5
The data indicates that roughly half of the survey respondents’ ADUs (including those which
may be unpermitted and used “informally” on a long-term basis) provided housing for low, very
low, and extremely low income households.
Interest in Developing an ADU
Question 4 asked respondents if they might be interested in developing an ADU if they didn’t
currently have one. There were 164 responses to this question, with 24 percent indicating
“Yes” and 15 percent indicating “Maybe.” Another 40 percent indicated “No” and 14 percent
indicated “Probably Not.” The responses are profiled in Figure C-3 below.
Figure C-3: Level of Interest in ADU development (N=164)
The chart above suggests that more than half of the City’s residents are not interested in
developing an ADU on their properties, and another quarter are undecided or not interested at
this time. To flesh out possible barriers, Question 4 included a follow up asking why
respondents were not interested. The responses suggest it is primarily a lifestyle choice rather
than the result of regulatory or cost barriers. About one-third (51) listed the loss of privacy as a
factor, and another one-third (48) indicated they didn’t want to deal with tenants. The number of
respondents listing the “permitting process” as a factor was relatively small (27 out of 164) and
the percentage listing “cost” as a factor (24 out of 164) was even smaller. About 10 percent of
the respondents cited lack of space as their reason.
Location of Possible ADUs
Those who expressed some interest in adding an ADU were asked where they might locate the
ADU on their properties. The responses can potentially help inform local programs that facilitate
ADUs in particular locations. There were 85 responses, representing more than 40 percent of
No (65)
40%
Probably Not
(23)
14%
Not Sure (11)
7%
Maybe, but not
now (25)
15%
Yes (40)
24%
Question: If you don’t have a
legal ADU on your property,
would you consider developing
one? (164 replies)
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A D O P T I O N D R A F T
Appendix C: Accessory Dwelling Unit (ADU) Survey Findings Page C-6
the total survey respondents. Conversion of an existing accessory building (such as a guest
house or barn) was the most commonly selected choice (38 responses), followed by a new
detached structure (21 responses) and conversion of existing space in the house (6 responses).
Only one respondent indicated they would build an addition to their home. Nineteen of the
respondents were not sure where they might locate an ADU. Again, a majority (about 115) were
not interested in adding an ADU.
The responses suggest stronger demand for traditional ADUs than Junior ADUs, given the large
number of respondents indicating they would built or convert an accessory structure, rather
than use space within their own homes.
Likely Use of Future ADUs
Respondents were asked how they would use an ADU on their property if they developed one in
the future. The responses to this question are important, as the objective of the program is to
create rental housing opportunities or opportunities for on-site care givers. Using the ADU as a
home office or space for occasional house guests would not accomplish State-mandated
housing program goals. Figure C-4 shows the responses to the question.
Figure C-4: Likely Use of Future ADUs (N=192)
The responses indicate that roughly one-third would use the ADU for another household,
including 16 who suggested they would rent it to a tenant and 48 who suggested they would use
it for a domestic employee or caregiver. The latter statistic is particularly important, as it
suggests a potential resource for health care workers, elder care professionals, construction and
landscape workers, and others who may work in Rolling Hills but lack the financial resources to
live here. Nearly a third of the respondents indicated they would use the ADU for a family
For rent to a tenant
(16)
8%
For a family
member
(60)
31%
For
myself
(18)
9%
For an employee or
caregiver (48)
24%
For occasional
visitors (50)
25%
Other (5)
3%
Question: If you had a legal
ADU on your property, how
would you most likely use it?
(192 replies)
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A D O P T I O N D R A F T
Appendix C: Accessory Dwelling Unit (ADU) Survey Findings Page C-7
member. The family member could be an extension of their own household or a relative or
relatives living independently as a separate household. It is worth noting that only a quarter of
the respondents indicated they would use the ADU for occasional visitors—historically, this has
been the intended use of guest houses in the city.
Use of ADUs as Affordable Housing
Respondents were asked if they would consider limiting the rent on an ADU so that the unit was
affordable to a lower income household. The question specifically asked if the respondent
would consider a deed restriction that maintained the rent at a reduced rate (such as $1,200/
month for a two-person household) to help the City meet its State-mandated affordable housing
requirements. Of the 194 surveys returned, 25 indicated they would consider this and another
20 indicated they might consider this (“maybe”). This represents nearly one-quarter of the total
respondents. Another one-quarter indicated they would need more information before deciding.
About 35 percent indicated they would not consider a lower income affordability restriction and
15 percent did not respond.
Figure C-5 shows the responses to this question. The data suggests that an “affordable” ADU
program could generate sufficient participation for the City to meet its entire lower-income
housing allocation through ADUs.
Figure C-5: Viability of ADUs to Meet Very Low Income Housing Assignment (N=194)
For the 98 respondents who answered “Yes”, “Maybe,” or “Need More Information”, the survey
asked a follow-up question, which is the maximum length of time the respondent would consider
acceptable for an affordability deed restriction. Two respondents did not reply, but the other 96
provided the answers below:
• 20 would consider a 5-year term
• 2 would consider a 10-year term
Yes (25)
13%
Maybe
(20)
10%
Need More Info
(53)
27%
No (68)
35%
Didn't reply (28)
15%
Question: If you
had a legal ADU
on your property,
would you
consider a deed
restriction that
maintained the
rent at a reduced
rate to help the
City meet its
State-mandated
affordable
housing
requirements?
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A D O P T I O N D R A F T
Appendix C: Accessory Dwelling Unit (ADU) Survey Findings Page C-8
• 3 would consider a 20-year term
• 17 would consider a deed restriction that ended when they sold the house
• 59 were not sure or answered “other”
The responses suggest that long-term deed restrictions (10 or 20 years) and affordability
contracts that “run with the land” would have limited participation. Residents are more open to
short-term arrangements such as five-year affordability terms, and flexible arrangements that
would not encumber the resale of their homes. This is an important consideration in the event a
program is established.
Incentives
The final question in the survey asked respondents to select from a menu of possible incentives
that might make a rent-restriction on an ADU more acceptable to them. Respondents were
invited to select as many of the choices as they wanted. The most frequently selected options
are shown in descending order in Figure C-6 below:
Figure C-6: Ranking of Potential Affordable ADU Incentives
The most frequently selected option was “nothing.” However, 55 respondents indicated that fee
waivers or reductions would be an incentive, and 50 said expedited permitting would be an
incentive. Many respondents were also supportive of the idea of rent-restricted ADUs serving
local essential service workers such as fire-fighters and teachers. The least popular incentive
was assistance in finding a tenant.
0
10
20
30
40
50
60
Question: What
incentives might
make a rent
restriction more
attractive to you?
257
A D O P T I O N D R A F T
Appendix C: Accessory Dwelling Unit (ADU) Survey Findings Page C-9
Other Comments
The survey provided an opportunity for residents to make general open-ended comments on
ADUs and housing issues in Rolling Hills, as well as the factors the City should consider as new
ADU policies and regulations are developed. Feedback was provided by 52 of the respondents.
This is summarized below.
Most of the open-ended comments expressed negative views about ADUs and their potential
impacts on the character of Rolling Hills, as well as concerns with State housing mandates and
the erosion of local land use control. Numerous concerns were raised about safety, security,
and privacy. There were also concerns expressed about noise, parking, traffic, evacuation
capacity, and impacts on the community’s rural, equestrian feel. Some respondents expressed
concerns that they would not be able to choose their own tenants if they created an ADU or
would be penalized if they created an ADU but did not rent it. Questions were also raised about
property tax impacts, septic system impacts, and whether tenants would pay association dues
and have access to RHCA facilities.
There were also supportive comments, particularly from persons interested in creating ADUs for
aging parents, or for themselves to age in place while renting out their primary home. Several
respondents indicated an interest in renting space to a care giver. One respondent suggested
prioritizing rentals to employees of the RHCA. Some respondents expressed their support for
the idea of using the school property to meet affordable housing needs rather than relying on
ADUs.
Survey
A copy of the survey mailed to residents follows this page.
258
A D O P T I O N D R A F T
Appendix C: Accessory Dwelling Unit (ADU) Survey Findings Page C-10
259
A D O P T I O N D R A F T
Appendix C: ADU Survey Report Page C-11
City of Rolling Hills Accessory Dwelling Unit Survey
October 2020
Dear Resident:
Please take a few minutes to complete this survey about
Accessory Dwelling Units (ADUs) in Rolling Hills. Your
responses will help us understand community goals and
concerns and will be used to develop new policies for
consideration by the Rolling Hills Planning Commission and
City Council.
State law requires that all cities and counties allow ADUs,
provided they meet certain standards. Some of the
potential benefits of ADUs include rental income for
homeowners, on-site living space for caregivers or
household employees, and accommodation of extended
family (adult children, parents, etc.). ADUs can also help
residents “age in place,” particularly as homeowners need
more care or assistance.
The City’s objective in carrying out this survey is to
determine the level of interest in ADUs among Rolling Hills
residents and evaluate their potential to meet local housing
needs. Like all cities in California, Rolling Hills is required by
State law to provide for its “fair share” of the region’s
housing needs, including low- and very low-income
households. ADUs provide a way to do that without
significantly changing the character or appearance of the
community. Some communities even provide special
incentives for homeowners who rent ADUs at reduced rates
to very low-income households, including household
employees and local essential service employees.
The deadline for returning your survey is November 20,
2020. Please use the enclosed postage-paid envelope to
return the survey to City Hall by this date. If you would
prefer to complete the survey on-line, please visit
www.surveymonkey.com//rollinghillsADUsurvey.
Please do not include your name or address on the survey as
the intent is for all responses to be anonymous. If you have
questions about the survey or about ADUs in Rolling Hills,
please call Meredith Elguira at (310) 377-1521.
What are ADUs and JADUs?
Accessory Dwelling Units (ADUs) are
sometimes referred to as “in-law
apartments” or “second units.” They are
small independent dwelling units that exist
on single family properties, either in a
detached structure or as part of the
primary structure with a separate
entrance. ADUs include a bedroom or
sleeping area, a bathroom, and cooking
facilities.
Rolling Hills has adopted specific zoning
standards for ADUs as required by state
law. The maximum allowable size is 850
square feet for a studio or one-bedroom
and 1,000 square feet for a two bedroom.
Other standards also apply.
Junior Accessory Dwelling Units (JADUs)
are a type of ADU created by converting
existing living space inside a single-family
home (usually a bedroom) to a separate
living space. They have a maximum size
of 500 square feet. JADUs may have their
own kitchenette or bathroom, or they may
share the facilities in the primary
residence.
State law allows a property to have both
an ADU and a JADU if certain
requirements are met.
260
A D O P T I O N D R A F T
Appendix C: ADU Survey Report Page C-12
Thank you for taking the time to complete the survey!
Accessory Dwelling Unit Survey
1. Does your property include any of the following features? (circle all that apply)
A. A legally permitted Accessory Dwelling Unit (ADU) with kitchen, bath, and separate entrance?
B. A guest house, pool house, casita, barn or other outbuilding that has heat and plumbing?
_____ Check here if the space has a kitchen or other cooking facilities
C. A space inside your house with a separate entrance from outside and independent living quarters,
including a bedroom/ sleeping area and bathroom?
_____ Check here if the space also has its own kitchen or cooking facilities
D. Another space within your house that could easily be converted into an accessory dwelling unit?
2. If you circled one of the choices above, how is the space currently used? (If you circled more
than one choice, please provide a response for each applicable space on your property. Use
the blank line to the right of each choice below to describe the space you’re referring to).
A. It is occupied by a tenant paying rent ____________________________________
B. It is occupied by a family member or long-term visitor who is not part of my household ___________
C. It is occupied by a caretaker or household employee(s) ____________________________________
D. It is used occasionally by guests or visitors ____________________________________
E. My own household uses the space ____________________________________
F. The space is currently not occupied by anyone, or is used for storage ___________________________
G. Not applicable
2A. About how large is the space of each applicable feature from Question 1 (in square feet)?
(please skip question if not applicable)
__________________ ___________________ _________________
2B. If rent is collected for the space, what is the monthly amount? (if multiple spaces are
rented, please indicate the rent for each area). (Please skip question if not applicable)
__________________ ___________________ _________________
261
A D O P T I O N D R A F T
Appendix C: ADU Survey Report Page C-13
3. If you have space on your property occupied by a household other than your own, please circle
the category in the table below that most closely matches their annual income based on the
number of persons in their household, if you know that amount. Recent data from the US Census
indicates that 16 percent of Rolling Hills households have annual incomes below $50,000. ADUs (or
potential ADUs) may provide a resource for these households. If Question 3 does not apply to your
property, please skip to Question 4.
Number of Persons in the Household (for other occupants only, not your own household)
1 2 3 4 5 6 Annual Income $23,700 or less $27,050 or less $30,450 or less $33,800 or less $36,550 or less $39,250 or less
$23,700-
$39,450
$27,050-
$45,050
$30,450-
$50,700
$33,800-
$56,300
$36,550-
$60,850
$39,250-
$65,350
$39,450-
$63,100
$45,050-
$72,100
$50,700-
$81,100
$56,300-
$90,100
$60,850-
$97,350
$65,350-
$104,550
$63,100 or
more
$72,100 or
more
$81,100 or
more
$90,100 or
more
$97,350 or more $104,550 or
more
4. If you don’t currently have a legal ADU on your property, would you consider developing one?
(circle one answer)
No Probably Not Not Sure/ Neutral Maybe, but not at
this time Yes
4A. If you answered A, B, or C, what are the reasons? (Circle All that Apply)
No Interest Cost Loss of Privacy Permitting
Process
Don’t Want to
Deal with
Tenants
No Space
Other (please explain below)_____________________________________________________
____________________________________________________________________________
5. If you decided to build an ADU on your property, where would it be located? (circle one)
New
detached
structure
on my
property
Conversion of an
existing accessory
building on my
property (e.g., guest
house, barn, etc.)
An addition
to my house
Conversion of space
already within the
footprint of my house
Not sure
I would not add
an ADU on my
property
6. If you had a legally approved ADU on your property, how would you most likely use it? (circle one)
For rent to
a tenant For a family member
For myself
For a household
employee of caregiver
For occasional
visitors
Other
262
A D O P T I O N D R A F T
Appendix C: ADU Survey Report Page C-14
7. If you had a legally approved ADU on your property, would you consider a deed restriction that
maintained the rent at a reduced rate (for example $1,200/month, which is considered the
threshold for an “affordable” housing unit for a two person very low income household) to help
the City meet its State-mandated affordable housing requirements? (circle one)
A. Yes
B. Maybe
C. I would need more information first
D. No
7A. If your answer to Question 7 was A-C, what would be the maximum length of time you would
consider for the rent restriction? (circle one)
A. Five years
B. 10 years
C. 20 years
D. Until I sell the house
E. Not Sure
F. Other _______________________
7B: What incentives might make a rent restriction more attractive to you? (circle all that apply)
A. No parking requirement
B. Reduced (or no) permit fees
C. Expedited permit processing
D. Assistance in finding a tenant
E. Rent supplement for the tenant
F. Local tenant (e.g., school teacher,
fire fighter, child care worker)
G. Senior tenant
H. Low-interest financing to create the ADU
I. Permission to build a unit larger
than 1,000 square feet
J. Nothing
K. Other _______________________
8. To ensure that we are hearing from a cross-section of the community, please tell us a little about you:
How Long Have You
Lived in Rolling Hills?
Less than 10 years
10-19 years
20-29 years
More than 30 years Circle one choice in each box Are you a Homeowner
or a Renter?
Homeowner
Renter
Age
Under 35
35-49
50-64
65+
How Many People Are
in Your Household?
1 4
2 5
3 6 or more
9. Please share any concerns you may have about ADUs in Rolling Hills, or factors you’d like us to
consider as new ADU policies and regulations are developed:
263
Adoption Draft
Published May 9, 2022
Rolling Hills General Plan
2021-2029 Housing Element
264
As required by State law, an initial draft of this document (referred to as the
“HCD Draft”) was circulated for public comment and review for 30 days,
beginning on December 3, 2021. More than 30 local agencies and organizations
providing housing and related supportive services were notified and invited to
comment on the Draft. The Draft was also discussed at a Planning Commission
public hearing in December 2021 and a City Council hearing that occurred on
January 10, 2022. On January 10, the City Council authorized submittal of the
Draft to the California Department of Housing and Community Developlment
(HCD) for review. Under State law, HCD had 90 days to issue its findings.
Comments from the State Department of Housing and Community Development
(HCD) were received on April 11, 2022. City staff/ consultants met with HCD to
review the comments on April 22, 2022. This “Adoption Draft” incorporates
revisions that directly respond to and address the HCD comments, A revised
document was issued on May 9, 2022. This document was made available for
two weeks prior to Council action on the document (seven days is required).
Once adopted, this document will be re-submitted to HCD, inclusive of any
changes made during Planning Commission and Council hearings (including
changes responding to public comments). HCD will then have 60 days to issue its
findings.
265
ROLLING HILLS
HOUSING ELEMENT
2021-2029
Adoption Draft
CONTACT:
City of Rolling Hills
2 Portuguese Bend Road
Rolling Hills, CA 90274
Contact: John Signo, AICP
jsigno@cityofrh.net
Published May 9, 2022
266
ACKNOWLEDGMENTS
Rolling Hills City Council
James Black, M.D., Mayor
Bea Dieringer, Councilmember
Leah Mirsch, Councilmember
Jeff Pieper, Councilmember
Patrick Wilson, Councilmember
Rolling Hills Planning Commission
Brad Chelf, Chair
Greg Kirkpatrick, Vice-Chair
Sean Cardenas, Commissioner
Jana Cooley, Commissioner
Abby Douglass, Commissioner
City Staff
Elaine Jeng, P.E., City Manager
John Signo, Planning and Community Services Director
Michael Jenkins, City Attorney
Jane Abzug, Assistant City Attorney
Consultants
Barry Miller, Barry Miller Consulting
267
i
FOREWORD
This document has been prepared to comply with the requirements of California Government
Code Sections 65580-65589, which mandate that all California cities and counties adopt a
Housing Element to address local and regional housing needs. The Housing Element is part
of the Rolling Hills General Plan and covers the time period 2021-2029. State law requires
that the Housing Element is updated every eight years and submitted to the State Department
of Housing and Community Development for certification.
Certification of the Housing Element is based on a determination that the City has complied
with a variety of State laws addressing regional issues such as affordability, fair housing,
density, housing type, overcrowding, and homelessness. These laws apply universally to all
cities, including those with limited services and land capacity.
As a community within the Greater Los Angeles region, the City of Rolling Hills is obligated to
provide for its “fair share” of regional housing needs as determined by the Southern
California Association of Governments. Cities without certified Housing Elements are subject
to legal and financial penalties, the loss of eligibility for grants which help fund City
operations, and even the potential loss of local control over building and land use decisions.
For these reasons, it is in the City’s best interest to strive for a compliant element.
In adopting this Element, the City has endeavored to balance State mandates with the
overarching goal of preserving the semi-rural, equestrian character of Rolling Hills. The
Housing Element responds to local as well as regional needs, including the need to preserve
the community’s environment, minimize further exposure to wildfire and landslide hazards,
and recognize infrastructure and public facility constraints.
268
ii
Rolling Hills Housing Element
2021-2029
TABLE OF CONTENTS
Section Page
FOREWORD .................................................................................................................... i
TABLE OF CONTENTS .................................................................................................. ii
1. INTRODUCTION .............................................................................................. 1-1
1.1 Purpose ................................................................................................................... 1-1
1.2 Community Overview ............................................................................................ 1-2
1.3 Legislative Requirements ...................................................................................... 1-3
1.4 Relationship to Other General Plan Elements.................................................... 1-5
1.5 Relationship to Private Land Use Restrictions ................................................... 1-6
1.6 Public Participation and Project Timeline ........................................................... 1-6
1.7 Data Sources .......................................................................................................... 1-9
2. EVALUATION OF PRIOR HOUSING ELEMENT ............................................... 2-1
2.1 Purpose ................................................................................................................... 2-1
2.2 2014-2021 RHNA and Actual Housing Production ........................................... 2-1
2.3 Review of Prior Housing Element Goals and Policies ....................................... 2-2
2.4 Implementation Status of Prior Housing Element Programs ........................... 2-5
3. HOUSING NEEDS ASSESSMENT ................................................................... 3-1
3.1 Introduction ............................................................................................................. 3-1
3.2 Population Characteristics .................................................................................... 3-2
3.3 Household Characteristics ................................................................................... 3-9
3.4 Populations with Special Needs......................................................................... 3-17
3.5 Housing Stock Characteristics ........................................................................... 3-26
3.6 Future Housing Needs ........................................................................................ 3-33
269
iii
Section Page
4. HOUSING OPPORTUNITIES AND RESOURCES ............................................. 4-1
4.1 Introduction ............................................................................................................. 4-1
4.2 Approved or Pending Development .................................................................... 4-1
4.3 Vacant Sites ............................................................................................................ 4-2
4.4 Lot Splits ................................................................................................................. 4-6
4.5 Non-Vacant Sites ................................................................................................... 4-6
4.6 Accessory Dwellings ........................................................................................... 4-12
4.7 Summary of Ability to Meet RHNA .................................................................... 4-15
4.8 Opportunities for Energy Conservation ............................................................ 4-16
4.9 Financial Resources ............................................................................................ 4-18
5 CONSTRAINTS TO HOUSING PRODUCTION ................................................ 5-1
5.1 Introduction ............................................................................................................. 5-1
5.2 Governmental Constraints .................................................................................... 5-1
5.3 Non-Governmental Constraints ......................................................................... 5-23
6 HOUSING GOALS, POLICIES, OBJECTIVES, AND PROGRAMS ................... 6-1
6.1 Goals and Policies ................................................................................................ 6-1
6.2 Housing Implementation Plan, 2021-2029 ......................................................... 6-4
6.3 Summary of 2021-2029 Quantified Objectives ............................................... 6-22
APPENDIX A:
Affirmatively Furthering Fair Housing (AFFH) Analysis ........................................................ A-1
Overview ........................................................................................................................ A-1
Duty of All Agencies to Affirmatively Further Fair Housing .................................... A-3
Integration and Segregation ....................................................................................... A-5
Access to Opportunity ............................................................................................... A-22
Disproportionate Housing Needs ............................................................................. A-29
Other Relevant Factors .............................................................................................. A-41
Local Data and Knowledge ....................................................................................... A-42
Distribution of Proposed Housing Sites .................................................................. A-43
Identification and Prioritization of Contributing Factors ........................................ A-44
Summary of Fair Housing Issues and Additional Fair Housing Concerns .......... A-48
APPENDIX B:
Analysis of Palos Verdes Unified School District (PVUSD) Site ......................................... B-1
APPENDIX C:
Accessory Dwelling Unit Survey Findings ............................................................................. C-1
270
iv
Figures Page
1.1 Vicinity Map ................................................................................................................... 1-2
4.1 Vacant Residentially Zoned Sites ............................................................................... 4-5
4.2 Non-Vacant Sites Evaluated ....................................................................................... 4-8
5.1 Slope Setbacks on PVUSD Site ................................................................................. 5-9
5.2 Landslide Hazard Areas in Rolling Hills ................................................................... 5-31
5.3 Earthquake Faults in the Rolling Hills Vicinity ......................................................... 5-32
5.4 CalFIRE Very High Fire Hazard Severity Zone ....................................................... 5-33
A-1 AFFH Percentage of Residents who are Non-White ............................................... A-8
A-2 AFFH Diversity Index ................................................................................................... A-9
A-3 AFFH Percentage of Residents with a Disability .................................................... A-10
A-4 Familial Status ............................................................................................................. A-15
A-5 Low Moderate Income (LMI) Areas ......................................................................... A-16
A-6 Median Income by Census Tract Block Group ...................................................... A-17
A-7 Regional Income by Census Tract in Greater Los Angeles ................................. A-18
A-8 Racially and Ethnically Concentrated Areas of Poverty (R/ECAP) ...................... A-19
A-9 Environmental Outcomes .......................................................................................... A-25
A-10 Economic Outcomes .................................................................................................. A-26
A-11 Education Outcomes .................................................................................................. A-27
A-12 Composite Opportunity Map..................................................................................... A-28
A-13 Cost-Burdened Homeowners ................................................................................... A-34
A-14 Cost-Burdened Renters ............................................................................................. A-35
A-15 Incidence of Overcrowding ....................................................................................... A-36
A-16 Percent of Households with One or More Severe Housing Problems ............... A-37
A-17 Sensitive Communities .............................................................................................. A-38
A-18 Density of Homeless Population in 2020 in Los Angeles County ........................ A-40
Charts
3.1 Age Distribution of Rolling Hills Residents, 2000 and 2020....................................... 3-4
3.2 Racial Distribution of Rolling Hills Residents, 2000 and 2020 ................................... 3-4
3.3 Household Type in Rolling Hills and Los Angeles County, 2021 ............................ 3-10
3.4 Household Size in Rolling Hills and Other Jurisdictions, 2010 and 2021 .............. 3-11
3.5 Total Number of Housing Units in Rolling Hills, 1990-2020 ..................................... 3-26
3.6 Year of Construction for Rolling Hills Homes ............................................................ 3-27
3.7 Percent of Housing Units by Number of Bedrooms, Rolling Hills and LA County 3-29
3.8 Home Prices in Rolling Hills, Peninsula Cities, and LA County ............................... 3-31
A-1 Summary of AB 686 Requirements .............................................................................. A-2
271
v
Tables Page
2.1 Implementation Status of 2014-2021 Housing Element Programs .......................... 2-5
3.1 Rolling Hills Population, 1970-2021 .............................................................................. 3-2
3.2 Comparison of Rolling Hills Growth with Nearby Cities and Region ........................ 3-3
3.3 Race and Ethnicity in Rolling Hills, Peninsula Cities, LA County, and State .......... 3-5
3.4 Rolling Hills Employed Residents by Occupation ....................................................... 3-8
3.5 Rolling Hills Employed Residents by Industry.............................................................. 3-8
3.6 Income Limits for Los Angeles County, 2021 ............................................................ 3-13
3.7 Affordable Monthly Housing Costs Based on 2021 Income Limits ........................ 3-13
3.8 Rolling Hills Households by HUD Income Category ................................................. 3-14
3.9 Household Income in Rolling Hills, Peninsula Cities, and LA County .................... 3-15
3.10 Percent of Income Spent on Housing in Rolling Hills and LA County .................... 3-16
3.11 Overpayment among Lower Income Households in Rolling Hills ........................... 3-17
3.12 Older Adults in Rolling Hills and Nearby Jurisdictions ............................................. 3-18
3.13 Percent of Rolling Hills Residents with a Disability ................................................... 3-20
3.14 Number of Persons in Family and Non-Family Household ...................................... 3-23
3.15 Homes for Sale in Rolling Hills, July 2021 .................................................................. 3-32
3.16 RHNA by City and Comparison to Fifth Cycle ........................................................... 3-33
3.17 Comparison of 6th Cycle RHNA by Income Category ............................................... 3-34
4.1 Committed Development for the 2021-2029 RHNA Period ....................................... 4-1
4.2 Vacant Residentially Zoned Sites .................................................................................. 4-3
4.3 Summary of Housing Opportunities, 2021-2029 ...................................................... 4-15
5.1 Summary of Rolling Hills Zoning Standards ................................................................ 5-4
5.2 City of Rolling Hills Major Development Fees ............................................................ 5-19
6.1 Quantified Objectives by Income Group for Rolling Hills, 2021-2029 .................... 6-22
6.2 Housing Element Action Plan Summary..................................................................... 6-23
A-1 Population Share by Race and Ethnicity, Rolling Hills and LA County .................... A-5
A-2 Percentage of Residents with a Disability, Rolling Hills and LA County .................. A-7
A-3 Population by Familial Status, Rolling Hills and LA County ..................................... A-11
A-4 Household Share by Income, Rolling Hills and LA County ...................................... A-13
A-5 Housing Units by Type, Rolling Hills and LA County ................................................ A-20
A-6 Housing Tenure in Rolling Hills and LA County ........................................................ A-29
A-7 Percentage of Cost-Burdened Households, Rolling Hills and LA County ............. A-31
A-8 Overcrowded Households, Rolling Hills and LA County .......................................... A-32
A-9 Rolling Hills Home Ownership Rates by Race and Ethnicity ................................... A-41
A-10 Fair Housing Priorities, Issues, Contributing Factors and Strategies ..................... A-47
272
vi
273
A D O P T I O N D R A F T
Introduction Page 1-1
1.0 Introduction
1.1 Purpose
The purpose of the Housing Element is to ensure that a safe, decent supply of housing is
provided for current and future Rolling Hills residents. The Element strives to conserve existing
housing while providing opportunities for new housing serving a variety of income levels.
State law mandates that all municipal governments prepare and maintain a Housing Element as
a component of their General Plans. The following five sections are required:
1. Evaluation of the previous Housing Element
2. Assessment of local housing needs based on demographics, economic, and housing
conditions
3. Inventory of potential sites for housing development
4. Analysis of City regulatory framework related to housing development
5. Goals and policies for housing, coupled with specific action programs to be implemented
in the coming years.
In addition, the Element must demonstrate the steps the City is taking to promote fair housing
practices, and to proactively develop housing for all income groups. The Housing Element
describes how the City will provide for its fair share of the region’s housing needs over the eight-
year planning period (2021 to 2029). It identifies new programs to be implemented, along with
on-going programs that create housing opportunities in Rolling Hills.
The Housing Element is the only part of the General Plan that is subject to review and
certification by a State agency. Adopted Elements must be submitted to the California
Department of Housing and Community Development (HCD). HCD determines if the Element
meets the requirements of the California Government Code, which apply equally to all cities and
counties of the state regardless of the community’s size, physical constraints, or resources. A
compliance determination is important to maintain eligibility for State grants, avoid costly
lawsuits, and maintain local control over local land use and building decisions.
274
A D O P T I O N D R A F T
Introduction Page 1-2
Figure 1.1: Vicinity Map
1.2 Community Overview
The city of Rolling Hills is a rural, equestrian residential community, consisting entirely of large
lot residential parcels of one acre or more. The community encompasses 2.99 square miles of
land (approximately 1,910 acres) on the Palos Verdes Peninsula in the County of Los Angeles
(Refer to Figure 1.1, Vicinity Map). The 2020 Census indicates a citywide population of 1,739
residents, making Rolling Hills the fifth smallest of the 88 cities in Los Angeles County.
The land use pattern in Rolling Hills was established in 1936 with the original subdivision and
sale of parcels. American landscape architect A.E. Hanson designed the community in the
1930s, establishing an historic Southern California design aesthetic that remains today, 85 years
later. Well-known architects like Cliff May and Wallace Neff designed some of the early homes,
contributing to the community’s historic context.
The entire city is characterized by single-story California ranch-style homes on large lots with
three-rail fences and equestrian facilities. There are three points of ingress and egress to the
city, each of which has a controlled entry gate. Rolling Hills was planned and conceived to
balance development with nature and respect the area’s rugged topography. The community
was laid out on hilly terrain, with narrow, winding roads traversing steep, wooded canyons.
Minimum lot size requirements were established to recognize the area’s many natural
constraints, including geologic hazards, wildfire, and sensitive biological resources.
Source: Google Maps, 2021
275
A D O P T I O N D R A F T
Introduction Page 1-3
The natural landscape is characterized by steep slopes of 25 to 50 percent. Underlying this
terrain are ancient landslides, occasionally causing damage or even destroying property, roads,
and infrastructure. The City carefully regulates grading and earth movement to protect public
safety and minimize the potential for property damage. Geologic studies and grading
requirements also add to housing costs.
The entire city lies within a Very High Fire Hazard Severity Zone. This is the most constrained
designation used by the California Department of Forestry and Fire Protection (Cal Fire) and
requires restrictive construction standards such as the boxing in of eave projections and use of
construction materials approved by the California Fire Marshal. Professionally designed
landscaping meeting Fire Department fuel reduction standards (i.e., fire-resistant plants around
structures) also is required. Fire hazards are complicated by an aging water distribution system,
and the high cost of water system improvements on steep terrain.
Rolling Hills is also home to a number of sensitive plant and animal species, several of which are
listed or being considered for listing by the U.S. Department of Fish and Wildlife and/or the
California Department of Fish and Wildlife. These species include the Palos Verdes Blue
butterfly, the California Gnatcatcher, the Pacific Pocket Mouse, the San Diego Horned Lizard,
and Brackishwater Snail. The community is also underlain with blue-line streams that are under
the jurisdiction of the Army Corps of Engineers.
The City’s infrastructure is scaled to meet the needs of a mature, rural community with severe
natural hazards. Its water distribution system is designed for very low-density residential land
uses. Wastewater treatment generally occurs through private septic tanks. Only a few parcels
on the western periphery of the city have access to sanitary sewer. All roads in the community
are private and many were built 60 to 80 years ago before modern emergency vehicle
standards were in place.
Housing policies and programs in Rolling Hills reflect the city’s natural hazards, lack of
developable land, and infrastructure limitations. In the past, the City has complied with
Government Code housing requirements in ways that respond to these inherent physical
constraints. For example, Rolling Hills has adopted provisions for accessory dwelling units in all
of its zoning districts, permitted manufactured housing units, and created an affordable housing
overlay zone on its most developable land. Its policies also emphasize conservation and
maintenance of the existing housing stock, much of which is over 60 years old.
1.3 Legislative Requirements
The provision of adequate housing for families and individuals of all economic levels is an
important public goal and has been a focus for state and local governments for more than five
decades. Local governments have been required to prepare Housing Elements since 1969. The
required contents of the Element have expanded significantly over this time, in response to rising
housing costs, increasing competition for resources, and a growing population of individuals with
special needs that cannot be met by the private sector alone.
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1.3.1 Government Code Requirements
State law requires each municipality to perform the
following tasks:
• Identify and analyze the current and projected
housing needs of all economic segments of the
community.
• Evaluate current and potential constraints to
meeting those needs, including constraints due
to the marketplace and those imposed by the
government.
• Promote and affirmatively further fair
housing opportunities and promote housing
throughout the community for all persons
regardless of race, religion, sex, marital
status, ancestry, national origin, color,
familial status, or disability.
• Inventory and assess the availability of land
suitable for residential use.
• Establish goals, objectives, policies and programs aimed at responding to identified housing
needs, market and governmental constraints, and housing opportunities.
1.3.2 Regional Housing Needs Allocation
As part of the Housing Element process, the State of California determines the total need for
housing in each region of California. For the 2021-2029 period, the State determined that the
need for the six county Southern California region was 1,341,827 housing units. The Southern
California Association of Governments (SCAG) is responsible for allocating this total to each of
the six counties and 191 cities in the SCAG area. This process is known as the Regional
Housing Needs Allocation (RHNA) and occurs every eight years.
SCAG calculates each city and county’s “fair share” of the regional need using a computer
model that weighs factors such as existing population and employment, growth potential,
proximity to transit, and social equity. For each jurisdiction, SCAG distributes the RHNA among
four different income groups. This ensures that each city or county is planning for housing that
meet the needs of all economic segments of the community, including lower income
households.
Each city in California is required to plan for its RHNA. This does not mean the cities must
acquire land or construct housing. Rather, it means that they must identify sites where the
RHNA can be accommodated and adopt policies and regulations which facilitate housing
construction on those sites. Ultimately, the responsibility for constructing housing falls to the
private market and non-profit housing developers. Cities are expected to assist by adopting
“The availability of housing is of
vital statewide importance, and
the early attainment of decent
housing and a suitable living
environment for every
Californian, including
farmworkers, is a priority of the
highest order. The early
attainment of this goal requires
the cooperative participation of
government and the private
sector in an effort to expand
housing opportunities and
accommodate the housing needs
of Californians of all economic
levels.”
California Government Code,
Section 65580
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development standards that support housing at a variety of densities, providing technical
assistance and infrastructure, and adopting policies that encourage housing production,
conservation, and assistance to persons with special needs.
In Rolling Hills, the RHNA for 2021-2029 is 45 units. This includes 20 very low income units, 9
low income units, 11 moderate income units, and 5 above moderate income units.1 The 2021-
2029 Housing Element demonstrates that the City has the capacity to accommodate this
assignment.
1.3.3 HCD Review Authority and Compliance Requirements
Once the Housing Element is adopted, it is submitted to HCD to determine whether, in HCD’s
view, the Housing Element “substantially complies” with state Housing Element Law. HCD’s
compliance determination is based in part on a detailed checklist corresponding to specific
requirements set forth by the Government Code. Once certified, HCD still has the authority to
find a city out of compliance if it finds that city is taking actions that are inconsistent with its
Housing Element or failing to implement the programs listed in its Element.
Localities without an HCD-certified Housing Element are subject to a growing number of
penalties and potential risks. This includes litigation from housing organizations, developers,
and HCD itself. In addition to legal costs, potential consequences include suspension of local
control of building matters and court approval of housing development. Courts can also levy
costly fines on local governments and mandate streamlined and less rigorous approvals. Cities
also become ineligible for numerous state local funding programs, including those supporting
infrastructure and roads, as well as housing and planning.
1.4 Relationship to Other General Plan Elements
The Government Code requires internal consistency among the various elements of a General
Plan. Section 65300.5 of the Government Code states that “the General Plan and the parts and
elements thereof shall comprise an integrated and an internally consistent and compatible
statement of policies.”
The Rolling Hills General Plan contains the following six elements: 1) Land Use; 2) Housing; 3)
Circulation; 4) Open Space and Conservation; 5) Safety; and 6) Noise. The General Plan is
internally consistent, meaning that the policies in different elements complement and support
one another. The Housing Element reflects the policy direction provided by the other General Plan
elements. For example, it references the residential densities established in the Land Use
Element and the natural constraints identified in the Safety Element. The City amended its Land
Use Element in early 2021 to maintain consistency with its new Housing Plan. It adopted a
revised Safety Element in March 2022 to comply with new provisions of the Government Code.
Pursuant to Government Code Section 65400, the City will annually review its progress in
implementing this Housing Element. This review will help ensure consistency between this
Element and the other General Plan Elements.
1 See Section 3.2.5 of this document for a definition of these income categories
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1.5 Relationship to Private Land Use Restrictions
Most of the developable property in Rolling Hills is subject to covenants, conditions, and
restrictions (CC&Rs) adopted by the Rolling Hills Community Association (RHCA), a non-profit
California Corporation and homeowners association. RHCA is governed by elected Rolling Hills
residents and oversees and enforces implementation of the CC&Rs. The CC&Rs run with each
property in perpetuity and cover all properties in the City except those listed below:
1. City Hall Complex
2. Tennis Court Facility
3. Palos Verdes Peninsula Unified School District property
4. Daughters of Mary and Joseph Retreat Center
CC&Rs represent private contractual obligations between homeowners and are usually
established at the time a subdivision or community is built. Development in Rolling Hills has
been governed by CC&Rs since the community was planned in the 1930s. The RHCA and the
CC&Rs were in force prior to the City’s incorporation, which occurred in 1957. The City of
Rolling Hills has no jurisdiction over the RHCA or the content or implementation of the CC&Rs.
The CC&Rs limit the density on most parcels in Rolling Hills to one residence per one-acre or
two-acre lot. In addition, any construction, remodel, or grading for a building, fence or structure
is required under the CC&Rs to adhere to traditional or California ranch and equestrian
architectural styles and aesthetics. The uses and purposes of all perimeter easements around
each property are required to be dedicated to the RHCA and maintained for the purposes of
ingress, egress, construction, and maintenance of all infrastructure constructed as roadways,
bridle trials, storm drains, utility access and drainage.
In some instances, State law may supersede the authority of CC&Rs. For example, AB 670 (Cal
Civil Code 4751—effective January 1, 2020) limits CC&Rs from placing unreasonable limitations
on accessory dwelling units (ADUs). To the greatest extent feasible, the programs in this
Housing Element reflect the requirements of State law while maintaining the integrity of the
CC&Rs. CC&Rs that directly conflict with State or Federal law are not enforceable.
1.6 Public Participation and Project Timeline
The City of Rolling Hills has made a diligent effort to engage the community in the Housing
Element update. The process was structured as a continuation of the previous (2014-2021)
Housing Element update, which included an initial phase in 2013-14 when the Element was
adopted and a second phase in 2020-2021 when the adopted Element was amended and
resubmitted to the State for a compliance determination. The 2020-2021 amendments
coincided with the Sixth Cycle engagement processes that were underway throughout Southern
California cities at that time. Although the focus of the 2020-2021 effort was on Fifth Cycle
compliance, the process provided an opportunity to engage the community in a broader
conversation about housing, the RHNA process, and new State requirements.
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SCAG began the RHNA process for the Sixth Cycle in Fall 2019, exploring different
methodologies for allocating the regional need to individual cities and counties. As other cities
began work on their Sixth Cycle Elements, Rolling Hills was required to first amend its Fifth
Cycle Element to accommodate both the current (Fifth) cycle and the prior (Fourth) cycle
RHNA allocations due to its non-compliant status. The combined RHNA for the two cycles was
28 units. Accommodating this need meant that Rolling Hills was also required to amend its
General Plan and zoning to create additional housing capacity.
The City held a public hearing on the Housing Element on November 25, 2019. The meeting
focused on potential sites for rezoning and related development impacts. The meeting was
widely noticed through advertisements in the Palos Verdes Peninsula News, an announcement
in the City newsletter, posting at City Hall, and an email to the City’s interested parties list.
The Draft RHNA numbers were published in March 2020. Rolling Hills did not appeal its
allocation, instead focusing its efforts on continued outreach and engagement to certify the
Fifth Cycle Element and lay the groundwork for the Sixth Cycle. This outreach included nine
public hearings related to the Housing Element on the following dates:
• October 20, 2020 (Planning Commission)
• November 9, 2020 (City Council)
• December 22, 2020 (Planning Commission)
• January 25, 2021 (City Council)
• February 5, 2021 (Planning Commission)
• February 8, 2021 (City Council)
• February 22, 2021 (City Council)
• March 8, 2021 (City Council)
• March 16, 2021 (Planning Commission)
The outcome of these meetings included adoption of the Rancho Del Mar Overlay Zone, new
provisions for by-right affordable multi-family housing and emergency shelter, amendments to
the Land Use Element of the General Plan, and various changes to the Municipal Code to
facilitate housing production. On June 1, 2021, the Planning Commission recommended that
the City Council adopt the amended Fifth Cycle Housing Element. The Council took action on
June 14, 2021. The Element was submitted to HCD and found to be in compliance on July 7,
2021. As a result of the compliance determination, the City does not have to carry over its prior
allocation and may plan only for the 45 units identified in the Sixth Cycle RHNA.
In addition to the public hearings described above, staff conducted direct outreach to Rolling Hills
residents in 2020 and 2021 through newsletters, including a survey on Accessory Dwelling Units
(ADUs) administered to every household in the city. More than 30 percent of the city’s households
completed the survey, and a report on the findings was prepared (it is included as Appendix C to
this Element).
The City continued its public outreach efforts after adoption of the revised Element in July 2021.
A special session of the Planning Commission was convened on October 19, 2021 to provide an
overview of the Sixth Cycle Element and solicit input from the entire community. In addition,
public hearings on the HCD Draft Element were convened by the Planning Commission on
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December 16, 2021 and by the City Council on January 10, 2022. In March 2022, the City
convened a public meeting on its Annual Progress Report, providing another opportunity for
public input on housing issues as well as an opportunity to evaluate progress in Housing
Element implementation. Additional public hearings were held on May 17 (Planning
Commission) and May 23 (City Council) after the document was revised and presented for
adoption.
The City has endeavored to solicit input from all economic segments of the community,
including local renters as well as homeowners. It has also incorporated this input in the Housing
Element. In surveys and public hearings, the community generally supported the Rancho Del
Mar site as the preferred location for accommodating denser housing, and also supported
meeting the RHNA primarily through accessory dwelling units (ADU). Both of these concepts
are reflected in this document. Housing advocacy groups also provided letters to the City
encouraging ADU development, which helped shape Housing Element programs. In addition,
the community was especially concerned about the housing needs of older adults. Thus,
policies relating to special needs populations and lower income households focus on the needs
of seniors, particularly those who may need assistance with the maintenance of their homes and
properties, or adaptive changes to facilitate aging in place.
City staff has also engaged service providers, the development community, and partner
agencies such as the School District in the process. As a small community, most residents rely
on the City newsletter for information on local government affairs. The City has featured the
Housing Element in newsletter articles and encouraged residents to share their views on
proposed housing policies. Publication of the “HCD Review Draft” was announced in the City’s
newsletter during the first week of December 2021. More than 30 stakeholder organizations on
the Palos Verdes Peninsula, and in the South Bay, Los Angeles, and Long Beach regions were
notified of the document’s availability for 30-day review and comment. These agencies were
also notified when the document was brought back to the Planning Commission and City
Council for adoption.
In addition, as required by SB 1087, the City sent an electronic copy of its Housing Element to
the appropriate water and sewer providers immediately after adoption. The document was
accompanied by a letter reminding these agencies they must have adopted written policies and
procedures that grant a priority for service hook-ups to developments that help meet the
community’s share of the regional need for lower-income housing.
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1.7 Data Sources
The Housing Element is a data-driven document, with policies and programs that are based on
analyses of demographics, housing conditions, resource constraints, and forecasts. The primary
data sources consulted were:
• Rolling Hills General Plan, as amended
• Rolling Hills Municipal Code
• Southern California Association of Governments (SCAG) Final Regional Housing Needs
Allocation Plan, adopted March 4, 2021
• SCAG “pre-approved” Housing Element data set for Rolling Hills, 2020
• City of Rolling Hills Planning Department records (building permits, etc.)
• American Community Survey, 2015-2019
• US Census (1990, 2000, 2010)
• US Census August 12, 2021 data release from the 2020 Census
• Department of Finance Table E-5, population and housing estimates, 2010-2021
• California Economic Development Department (EDD) Labor Force Data
• Rolling Hills Local Hazard Mitigation Plan
• County of Los Angeles (data on homelessness)
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2.0 Evaluation of Prior Housing Element
2.1 Purpose
Government Code Section 65588 requires each local government to periodically review its
housing element to:
(1) Evaluate the appropriateness of the housing goals, objectives, and policies in contributing to
the attainment of the state housing goal, which is to provide decent housing and a suitable living
environment for every Californian.
(2) Evaluate the effectiveness of the housing element in attainment of the community's housing
goals and objectives.
(3) Discuss the progress of the city or county in implementation of the housing element.
2.2 2014-2021 RHNA and Actual Housing Production
The City’s Regional Housing Needs Allocation (RHNA) for the prior (2014-2021) period was six
units. This included two very low income units, one low income unit, one moderate income unit,
and two above moderate income units. Rolling Hills also had a “carry-over” requirement of 22
units from the prior (2006-2013) planning period, including six very low, four low, four moderate,
and eight above moderate income units. The 2014-2021 Housing Element identified the
capacity to meet the combined two-cycle (2006-2021) need.
Actual housing construction during 2014-2021 was five units. There were four new market rate
(e.g., “above-moderate income”) single-family homes completed on previously vacant lots over
the 2014-2021 period.1 Another three single family homes were approved on vacant lots but have
not yet been constructed. There was one accessory dwelling unit (ADU) completed. It is
estimated to be a moderate-income unit based on its size (720 square feet). Another six ADUs
were approved between September 2020 and September 2021.2 Three more were pending as of
October 15, 2021. All of these units will become available for occupancy during the Sixth Cycle.
There were no new low or very low-income units recorded during the Fifth Cycle, although lower
income households may have secured housing in the city through room rentals, on-site
employment (caregivers, etc,), or housing provided at nominal or no charge (family members,
domestic staff, etc.). Production of deed-restricted lower-income housing units during the 2014-
2021 planning period was constrained by the high cost of land and construction, limited
opportunities for multi-family housing, and limits to Accessory Dwelling Unit (ADU) development
during the first half of the planning period. The latter two constraints were removed over the
course of the planning period, placing the City in a better position to meet its targets during the
upcoming 2021-2029 period.
1 There were also 12 new homes built on sites that previously included single family homes, with no net gain in units (e.g., “tear
downs”)
2 The six ADUs approved in 2020-2021 were in various states of completion in October 2021 and are all counted toward the Sixth
Cycle RHNA rather than the Fifth Cycle.
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2.3 Review of Prior Housing Element Goals and Policies
The next section of this chapter systematically evaluates the policies and actions of the previous
Housing Element and reports on implementation progress. The 2014-2021 Element included
four goals, each of which included related policies. The goals and policies are evaluated below.
2.3.1 Progress on Goal 1: Housing that Meets the Needs of Rolling Hills Residents
This goal expresses one of the main purposes of the Housing Element. It remains relevant and
should be carried forward. The City worked to accomplish this goal throughout the 2014-2021
planning period through its planning, zoning, building, code enforcement, and fire safety
programs.
Policy 1.1 called for evaluating ways to assist special needs populations. The largest population
with special needs in Rolling Hills consists of seniors, including those with disabilities. The City
continues to implement programs to assist seniors with housing, transportation, emergency
preparedness, and access to social services. The policy should be carried forward. Policy 1.2
called for working with other governmental entities to explore providing affordable housing in
the South Bay region. This occurs on an ongoing basis through the city’s participation in SCAG,
communication and liaison with developers, and meetings with planners and housing
organizations on the Palos Verdes Peninsula and throughout Los Angeles County. Policy 1.3
called for encouraging energy conservation and weatherization. The City implements this policy
through its planning and building regulations, including Title 24. It also works with residents
interested in solar installation and weatherization.
Policy 1.4 expresses the City’s commitment to facilitating a variety of housing types. The City
made significant progress through its creation of the Rancho Del Mar Overlay zone, permitting
of accessory dwelling units by right, and allowance of emergency shelter and single room
occupancy dwellings. Given community context, constraints, and development costs, ADUs and
home sharing provide the best solution for meeting the needs of all income groups. Policy 1.5
recommends effective community participation. The City produces a twice-monthly newsletter
which is delivered to all households and uses its website to keep the community informed. It
has used a variety of methods, such as surveys and workshops, to involve the public. Given the
community’s small size and engaged population, there is a very high level of awareness of
housing issues and requirements. Policy 1.6 calls for the City to participate in countywide
programs to meet the needs of unsheltered residents. This continues on an ongoing basis.
2.3.2 Progress on Goal 2: Maintain and Enhance the Quality of Residential
Neighborhoods
Maintaining the city’s neighborhoods as great places to live is the fundamental purpose of the
City’s General Plan. As a built out community with extreme natural hazards and constraints, this
goal is primarily covered by the Land Use and Safety Elements. Nonetheless, it is appropriate to
include policies in the Housing Element addressing conservation of the existing housing stock,
as well as management of home alterations and additions. There are five policies in the 2013-
2021 Element, and they all remain relevant.
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Policy 2.1 is to encourage and assist in the maintenance and improvement of existing homes.
The City does this through its planning and building processes, and works closely with
homeowners to support home improvements. Policy 2.2 requires housing that complies with
building code requirements. This could be restated in the updated Element, since compliance
with the building code is required under State law. Policy 2.3 requires “compatible design” that
minimizes impacts on adjacent neighborhoods. This remains valid, but should reference the
zoning ordinance as the source of objective design standards that clarify the meaning of
“compatible design.”
Policy 2.4 calls for code enforcement to maintain housing, which is still relevant. Policy 2.5
allows for ADUs and Junior ADUs (JADUs) in all residential zones. Consistent with State law, the
City implemented regulations allowing ADUs in all zones in 2018 and amended those regulations
in 2020. The policy should be retained, as it provides the foundation for related regulations in
the Municipal Code.
2.3.3 Progress on Goal 3: Provide Housing Services to Address the Needs of the
City’s Seniors
Seniors/older adults are the predominant special needs group in Rolling Hills. The Housing
Element Needs Assessment confirms that a significant number of the city’s seniors have
disabilities, are living alone, and may have difficulty covering their housing expenses.
Policy 3.1 calls for housing reference and referral services for seniors, which is still relevant and
implemented on an ongoing basis. The Rolling Hills Community Association formed a
committee in 2014 to specifically focus on the needs of seniors. Policy 3.2 calls for more
information on shared housing, which remains valid. Policy 3.3 recommends reverse mortgage
loans for seniors with limited incomes. Given the mixed success of reverse mortgage programs,
the City should consider replacing this policy with others relating to the needs of seniors. For
instance, it could indicate that affordable senior housing be considered on the Rancho Del Mar
site. Policy 3.4 promotes opportunities for live-in care or family members who can assist
mobility-impaired or elderly residents. This remains relevant and should be carried forward.
Other policies addressing the housing needs of seniors could be considered.
2.3.4 Progress on Goal 4: Fair Housing
Goal 4 directs the city to “Promote housing opportunities for all persons regardless of race,
religion, sex, marital status, ancestry, disability status, or national origin.” The importance of this
goal has been elevated by AB 686, and it should be retained. There are four policies listed in
the Fifth Cycle Element to implement this goal.
Policy 4.1 indicates the City should “affirm a positive action posture” and enforce all applicable
laws and policies. This policy could potentially be simplified to focus on enforcement. Policy 4.2
specifically covers the needs of persons with disabilities. It should be carried forward. Policy 4.3
relates to making information on housing laws available to the community at City Hall. It is
implemented on an ongoing basis but should be clarified to include information on the City’s
website as well as City Hall. Policy 4.4 expresses a commitment to investigate alleged violations
of fair housing laws. This should be carried forward, with reference to the partner entities the
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City works with on such investigations. Additional policies on fair housing related to economic
inclusion and opportunities for lower income households should be considered.
2.3.5 Cumulative Evaluation of Effectiveness of Prior Element in Addressing Special
Housing Needs
The State Department of Housing and Community Development has requested that the City
include an “a cumulative evaluation of the effectiveness of past goals, policies, and related
actions in meeting the housing needs of special needs populations (e.g., elderly, persons with
disabilities, large households, female-headed households, farmworkers, and persons
experiencing homelessness).”
As a small city with only 640 households and a staff of six full-time employees, the City’s
capacity for providing services to special needs populations is limited. The greatest emphasis
has been on seniors, who are present in 56 percent of the city’s households and represent one-
third of the population. The City’s 5th Cycle Housing Element included a goal addressing the
needs of seniors but it did not include a more generalized goal addressing special needs
populations. This has been addressed in the 6th Cycle Element by broadening the goal to
address other special needs categories.
As noted on P. 2-3, Rolling Hills has worked effectively to meet the needs of seniors through its
partnerships with the Rolling Hills Community Association (and their Senior Committee), its
support for shared housing and ADU programs, and its code provisions allowing live-in care
providers throughout the city. Many older Rolling Hills residents have been able to age in place,
retrofit their homes, and continue living in the city as a result of these policies and programs.
The 2014-2021 Element also included a policy related to unhoused residents (Policy 1.6) and a
policy related to persons with disabilities (Policy 6.2). As noted in Chapter 3, there are no
unhoused residents in the city according to the annual “point in time” count, but Rolling Hills
continues to participate in intergovernmental meetings, forums, and councils of government
activities that recognize the regional nature of homelessness and the importance of regional
solutions. The City has also amended its codes to allow emergency shelter by right in at least
one zoning district. The City also has adopted a Reasonable Accommodation ordinance for
persons with disabilities and supports home improvements to facilitate aging in place and
access for residents with disabilities. On a cumulative basis, these measures have contributed
to the health, safety, and welfare of all Rolling Hills residents and to the quality of life and
condition of housing in the city.
Both the 2014-2021 Needs Assessment and the 2021-2029 Needs Assessment determined that
there were not significant housing needs associated with large households, female-headed
households, or farmworkers in the city.
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2.4 Implementation Status of Prior Housing Element Programs
The 2014-2021 Housing Element included 24 implementation programs. Table 2-1 below
indicates the status of each program as of October 2021. The table indicates whether the
program has been accomplished or should be carried forward, revised, or deleted.
Table 2-1: Implementation Status of 2014-2021 Housing Element Programs
Prog. Description Status
1 Prepare an annual housing progress
report
CARRY FORWARD. The City filed its annual Housing
Progress Report for 2021 on March 29, 2022 and
should continue to do so in future years.
2 Amend the Land Use Element to
permit a variety of housing types
ACCOMPLISHED. This program may be removed from
the Housing Element, as it was accomplished in March
2021. The City amended its General Plan to permit by
right multi-family development, emergency shelter, and
single room occupancy housing in the Rancho Del Mar
Overlay Zone.
3 Create an Affordable Housing
Overlay Zone (AHOZ)
ACCOMPLISHED. This program may be removed from
the Housing Element or merged with the program to
periodically evaluate the Overlay Zone and determine if
changes are needed (See Program 13). The City
adopted a 31-acre Overlay in February 2021 (known as
the Rancho Del Mar Overlay zone), allowing for by-right
development of up to 16 units of affordable multi-family
housing (20 units per acre) on the Rancho Del Mar site
on Crest Road West.
4 Determine next steps for PVUSD
housing opportunity
CARRY FORWARD. The City Manager meets with the
PVUSD Superintendent regularly to discuss issues of
concern, including the future of the PVUSD property.
Other aspects of Program 4, including meeting with
developers and providing input to parties interested in
this site, should be retained and implemented on an
ongoing basis.
5 Adopt zoning for emergency
shelter.
ACCOMPLISHED. This action was completed in
February 2021. The City permits emergency shelter up
to 12 beds by right in the Rancho Del Mar Overlay
Zoning district. A replacement program should be
included, identifying ongoing measures the City will
take to address the needs of unhoused residents.
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Prog. Description Status
6 Adopt zoning for single room
occupancy (SRO) units.
ACCOMPLISHED. This action was completed in
February 2021. The City permits SROs of 6-8 units as a
conditional use in the Rancho Del Mar Overlay Zoning
district, subject to objective operational and
performance standards.
7 Adopt a Reasonable
Accommodation Policy
ACCOMPLISHED. The City of Rolling Hills adopted a
Reasonable Accommodation policy in October 2020.
The policy establishes a formal procedure through a
which a person with disabilities may request reasonable
accommodation in order to have equal access to
housing. This program may be replaced with other
actions to assist residents with disabilities .
8 Add definitions of Transitional/
Supportive Housing and Employee
Housing to Municipal Code
CARRY FORWARD. This program has not yet been
implemented. The 2014-2021 Housing Element
clarifies that supportive and transitional housing may
not be subject to requirements or standards other than
those that apply to similar dwelling unit types in the
same zones. However, the program must still be
codified through a Municipal Code amendment.
9 Adopt density bonus requirements CARRY FORWARD. This program has not yet been
implemented. Any project including units eligible for a
density bonus would be subject to State density bonus
rules. The City should amend its Municipal Code for
consistency with these rules, and expressly identify
opportunities and rules for density bonuses.
10 Adopt and periodically update
accessory dwelling unit (ADU)
regulations
REVISE. The City adopted ADU regulations in 2018
and amended these regulations in January 2020 to
incorporate new State laws. This action should be
replaced with one or more new actions related to ADUs,
including incentives to promote their use as affordable
housing.
11 Implement ADU education,
outreach, and community
engagement measures
REVISE. The City has provided information on ADUs to
the community since 2018 and should continue to do so
in the future. Newsletter articles and web-based
information have been provided and a citywide survey
on ADUs was administered in 2020. Potential outreach
measures are listed in the 2014-2021 Element and
should be carried forward. Staff time should be
allocated to these activities to ensure they are
implemented. This includes coordination with Rolling
Hills Community Association to ensure that design
review practices do not constrain ADU production or
add to their cost. Future activities could include proto-
type floor plans and designs, FAQs, community
workshops, and tenant matching services.
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Prog. Description Status
12 Develop incentives to encourage
ADU production
REVISE. This program suggested reaching out to at
least five cities and two non-profits to develop a suite of
best practices for incentivizing ADUs. Based on the
findings, the program recommended incentives such as
fee reductions, streamlined permitting, and funding for
septic system expansion to make it easier and more
affordable to add ADUs. The City has begun
implementing this program by participating in a South
Bay Cities Council of Governments collaborative that
helps residents calculate cost and revenue for adding
an ADU (see https://southbaycities.aducalculator.org/).
Additional measures will be considered in the future.
13 Monitor the effectiveness of the
Affordable Housing Overlay Zone
(AHOZ) and consider future multi-
family housing opportunities
REVISE. There are two parts to this program. The first
is monitoring the effectiveness of the Rancho Del Mar
Overlay Zone to determine if it is achieving its intended
purpose. This should be retained. The second part of
the program is to evaluate other multi-family housing
opportunities. This is occurring through preparation of
the Sixth Cycle Element and should continue through
2029.
14 Assist Extremely Low Income (ELI)
households
CARRY FORWARD. This program is implemented by
facilitating housing for family members, caregivers and
domestic employees, and by assisting elder Rolling Hills
homeowners on fixed incomes with home maintenance,
home sharing, ADU construction, and other actions that
reduce housing cost burdens. The program should be
carried forward.
15 Facilitate communication with
affordable housing service
providers, developers, and
advocates
CARRY FORWARD. The program recommends
coordinating with affordable housing organizations to
facilitate housing assistance and production for lower
income households. The City implements this program
on an on-going basis and should continue to do so in
the future.
16 Provide public information on home
sharing programs
CARRY FORWARD. This program references a number
of home sharing programs in Los Angeles County and
suggests that Rolling Hills provide information about
these programs on its website and at City Hall. This is a
relatively low-cost measure that can help seniors, young
adults, and local employees find housing options in the
city. It should be retained.
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17 Provide information about reverse
mortgages
DELETE. While reverse mortgages may be helpful for
some households, there may also be downsides
associated with high closing costs, fees, and
unfavorable repayment terms. There is also a risk of
fraud. The City may not wish to take an advocacy
position promoting reverse mortgages due to the risks
involved. Local homeowners may still consider this
option should they choose to do so. The program could
also be revised to focus on consumer protection issues
related to reverse mortgages.
18 Undertake sewer feasibility and
design studies
REVISE. This program should be updated to reflect the
current status of sewer feasibility and design studies. A
feasibility study was initiated in 2020 and design plans
are nearing completion. The updated Housing Element
program should reflect the findings of these studies, as
well as Council direction.
19 Implement Best Management
Practices to improve stormwater
REVISE. The City has continued to implement
municipal storm water management measures to
reduce urban runoff pollution. It will continue to do so
in the future as conditions and requirements change.
This program could potentially be deleted or combined
with Program 18.
20 Maintain code enforcement
procedures
REVISE. This program called for hiring a full-time Code
Enforcement Officer, which was accomplished in 2019.
There is an ongoing need for enforcement of planning
and building codes in order to conserve housing quality
and correct structural deficiencies. Violations have
been consistently abated in order to maintain public
safety and community standards. The program should
be updated and retained.
21 Encourage energy conservation CARRY FORWARD. This program continues to be
relevant and informs City actions relating to
weatherization, solar installations, and other steps to
reduce home energy costs and promote clean energy.
The program references various links on the City’s
website to energy conservation programs, and financial
assistance for home energy costs. It should be carried
forward.
22 Facilitate new construction and
remodels
CARRY FORWARD. This is a general program that
encourages the City to work with applicants, builders,
property owners, and others to produce new market
rate housing and to facilitate permits for home
improvements. It supports permit streamlining and
efficiency, and transparency in the planning and
building processes. It should be carried forward.
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23 Explore solutions to ground stability
and landslide problems
CARRY FORWARD. The City implements this program
on an ongoing basis through requirements for soils and
geology reports, as well as grading standards and
grading permit requirements. It continues to allow and
support repair work on landslide damaged homes and
unstable hillsides. Given past damage caused by
landslides and the vulnerability of parts of the city to
future damage, this program should be retained.
Reference could also be made to programs that reduce
wildfire risk and promote defensible space.
24 Make Fair Housing information
available to the public
REVISE. This program reflects the City’s ongoing
commitment to making fair housing information
available to the public. Given HCD’s guidelines for
implementing AB 686 (Affirmatively Furthering Fair
Housing), additional fair housing programs should be
developed.
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3.0 Housing Needs Assessment
3.1 Introduction
Each community’s housing plan must be based on an analysis of local housing needs. This
analysis is expressly required by the State Government Code (Section 65583(a)), and includes a
comprehensive evaluation of local demographics, housing conditions, and market conditions.
The analysis includes an assessment of household characteristics in the city, including
household type, tenure (rent vs own), overcrowding, and percent of income spent on housing. It
also evaluates the special housing needs of older adults, persons with disabilities, large families,
and persons in need of emergency shelter.
The needs assessment helps ensure that the city is not only planning for its “fair share” of the
region’s housing needs, but also responding to its own local needs. Where appropriate, local
conditions are compared to regional conditions or conditions in nearby cities to provide
appropriate context. Rolling Hills is a very unique community and it is important to recognize
that when planning for housing conservation and production.
Most of the data presented in this chapter is from the American Community Survey (ACS), an
ongoing survey performed by the US Census to gauge population and housing conditions in
between the decennial censuses. Because most 2020 Census data was not available at the time
this report was prepared, the ACS data provides the most accurate information on local
demographics. ACS data for Rolling Hills in 2021 is based a five-year average covering 2015-
2019. However, the ACS is based on a sample of the population, so there is a margin of error in
some of the tables. Other data sources include the California Department of Finance, the
County of Los Angeles, and the City of Rolling Hills. In addition, SCAG provided a “pre-HCD
certified” data profile for each city in the Los Angeles region in 2019. This is referenced as
appropriate throughout this chapter.
The Needs Assessment is broken into five sections as follows:
• Section 3.2 covers population characteristics, such as age, race, and total rate of growth
• Section 3.3 covers household characteristics, such as presence of children and home
ownership
• Section 3.4 addresses special housing needs
• Section 3.5 covers housing stock characteristics
• Section 3.6 covers growth forecasts and the RHNA for the 2021-2029 period
The Needs Assessment is supplemented by Appendix “A”, which looks specifically at the recent
State mandate to “affirmatively further fair housing” through the Housing Element. Appendix A
focuses on regional patterns of segregation and inequity in order to inform local fair housing
policies.
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3.2 Population Characteristics
3.2.1 Total Population
Table 3.1 shows population data for Rolling Hills over a 50-year period. The City’s population
was 2,050 in 1970 and has declined by more than 300 residents since then. Between 1980 and
1990, Rolling Hills lost nearly 9 percent of its population. The decline was the result of several
factors, including smaller households, fewer children, and the loss of homes due to wildfire and
landslides. Change between 1990 and 2010 was minimal. There were 1,871 residents in 1990
and 1,860 residents in 2010. The August 12, 2021 US Census data release reported a
population of 1,739 residents, a 6.5 percent drop relative to 2010. The Census figure is
substantially lower than the Department of Finance estimate of 1,866, which was made on
January 1, 2021.
Table 3.1: Rolling Hills Population, 1970-20211
Population Percent Change
1970 2,050 --
1980 2,049 0
1990 1,871 -8.7%
2000 1,871 0
2010 1,860 -0.6%
2021 (DOF) 1,866 0.3%
2020 (Census) 1,739 -6.5%
Sources: US Decennial Census, 1970-2010. California Dept. of Finance, 1/1/21 estimate, 2020 Census (8/12/21 release)
Table 3.2 compares population change in Rolling Hills with the region, the County, and the other
cities on the Palos Verdes Peninsula using data from the California Department of Finance. The
six-county Los Angeles region grew 14.4 percent between 2000 and 2021, from 16.5 million
residents to nearly 19 million residents. Los Angeles County grew by 5.2 percent, reflecting its
more urbanized character and larger population base. By contrast, the rate of growth on the
Palos Verdes Peninsula during this 21-year period was just 1.1 percent. While Rolling Hills
Estates grew by 5.5 percent, the other three cities have roughly the same number of residents
today as they did 20 years ago. The Peninsula communities are mature, with limited vacant and
re-developable land, high land costs, and environmental constraints that limit population growth.
1 The ACS data sets for Rolling Hills for 2015-2019 show a citywide population of 1,513 residents. This is 15 percent below the
actual population, which was reported to be 1,739 residents in the 2020 Census data released on August 12, 2021. In addition,
SCAG reported the population at 1,939 residents (in 2018), while the State Department of Finance reported 1,866 residents. These
discrepancies are due to sampling errors resulting from the small size of Rolling Hills’ population. As a result, charts are used (rather
than tables) for some of the variables discussed below. This allows the analysis to focus on change over time rather than total
values.
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Table 3.2: Comparison of Rolling Hills Growth with Nearby Cities and Region, 2000-2021
Population Percent Change 2000 2021
Rolling Hills 1,871 1,866(*) -0.3
Rolling Hills Estates 7,676 8,098 5.5
Rancho Palos Verdes 41,145 41,541 0.9
Palos Verdes Estates 13,340 13,286 -0.4
Los Angeles County 9,542,000 10,044,458 5.3
SCAG Region 16,547,000 18,954,083 14.4
Sources: US Decennial Census, 2000. California Dept. of Finance, 1/1/21 estimate
(*) August 12, 2021 Census data release shows 1,739 residents, which is a 7.1 decrease since 2000
3.2.2 Age
The age structure of the population has a strong influence on housing needs. For example, if a
city is experiencing an outmigration of young adults (ages 25-34), it often indicates a shortage of
rental housing or entry-level housing opportunities. If a city has a high percentage of residents
over 75, it often indicates a need for special housing types, such as assisted living or single-
story homes---or programs to assist with home rehabilitation.
Chart 3.1 shows the age distribution of Rolling Hills residents in 2000 and 2020. The chart
illustrates significant shifts, including a decrease in the number of children (from 28% of the
population in 2000 to 20% in 2020) and an increase in the number of persons over 65 (from
22% of the population in 2000 to 33% in 2020). The percentage of residents aged 20-34 nearly
doubled over the 20-year period, likely as a result of adult children moving back home or
delaying entry into the housing market due to high housing costs. The percent of residents 35-
44 dropped significantly, likely because of limited local housing options for young families and
mid-career adults.
The median age in Rolling Hills has steadily increased over the last 40 years. In 1980, it was
38.2. It increased to 45.5 in 1990, 48 in 2000, and in 52 in 2010. By 2020, the median age was
55.3, meaning that half of all residents are older than 55 and half are 55 or younger. By
contrast, the median age in Los Angeles County is 36.5. Rolling Hills also has a higher median
age than the other cities on the Palos Verdes Peninsula (Rolling Hills Estates: 50.1; Palos Verdes
Estates: 52.2; Rancho Palos Verdes: 50.0).
Census data indicates that one-third of Rolling Hills’ residents over 65 are 80 or older. This
cohort represents more than 10 percent of the City’s population, a substantially higher share
than in most communities in California.
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Chart 3.1: Age Distribution of Rolling Hills Residents, 2000 and 2020
Source: US Census, 2000. ACS, 2021 (for 2015-2019 sample period)
Chart 3.2: Racial Distribution of Rolling Hills Residents, 2000 and 2020
Source: US Census, 2000 and ACS, 2021 (for 2015-2019 sample period)
0-19
20%
20-34
9%
35-44
4%45-54
16%
55-64
18%
65+
33%
0-19
28%
20-34
5%35-44
12%
45-54
18%
55-64
15%
65+
22%
Hispanic
(any race)
6%
White
Non-
Hispanic
70%
Multi-
racial
6%
Black
2%
Asian
15%
Other
1%
2020
2000 2020
Hispanic
(any race)
3%
White
Non-
Hispanic
80%
Multi-
racial
2%
Black
2%
Asian
13%
2000
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3.2.3 Race and Ethnicity
Racial and ethnic composition may affect housing needs due to the cultural preferences of
certain groups (including extended families, multi-generational families, etc). In addition, certain
groups have historically faced discrimination due to the lending policies of financial institutions,
former covenants and ownership restrictions, and past racial bias.
Chart 3.2 shows the racial distribution of Rolling Hills residents in 2000 and 2020. The city has
become more diverse over time, with the Non-Hispanic White population declining from 80
percent to 70 percent of the total. The Hispanic population (any race) roughly doubled over the
20-year period, although relative to the total population, the numbers are still small.
Approximately 6 percent of the City’s residents are Hispanic.
The percentage of African-American residents remained at about 2 percent of the population
between 2000 and 2020. During this same period, the number of residents of Asian or Pacific
Island descent increased from 13 percent to 16 percent of the city’s total. According to the
Census, the largest Asian ethnic groups in the city are Chinese (6.5 percent) and Korean (5.1
percent). The number of residents indicating they were more than one race more than doubled
between 2000 and 2020, with multi-racial residents representing about 6 percent of the 2020
population.
Relative to the County of Los Angeles and the State of California, Rolling Hills and the four cities
on the Palos Verdes Peninsula have a substantially higher White Non-Hispanic population.
Table 3.3 compares race and ethnicity in Rolling Hills, the Peninsula cities, Los Angeles County,
and the State as a whole. Nearly half of the County’s residents, and more than one-third of the
State’s residents, are Hispanic. By contrast, less than 10 percent of the residents in the
Peninsula cities are Hispanic. The Peninsula cities tend to have higher percentages of Asian
and Pacific Islander residents, and more multi-racial residents.
Table 3.3: Race and Ethnicity in Rolling Hills, Peninsula Cities, Los Angeles County, and
State, 2020
Percent of Total
Rolling Hills Palos Verdes
Peninsula*
Los Angeles
County
State of
California
Non-Hispanic White 71.3% 54.4% 26.2% 37.2%
Hispanic (all races) 5.8% 9.7% 48.5% 39.0%
Black/ African American 1.5% 1.6% 7.8% 5.5%
Native American/Alaskan N/A 0.1% 0.2% 0.4%
Asian 15.6% 28.8% 14.4% 14.3%
Pacific Islander/Hawaiian N/A 0.6% 0.2% 0.4%
Other N/A 0.1% 0.3% 0.3%
Multi-Racial 5.8% 4.7% 2.3% 3.0%
TOTAL 100.0% 100.0% 100.0% 100.0%
Sources: US Decennial Census, 2020.
(*) Rolling Hills, Rolling Hills Estates, Rancho Palos Verdes, Palos Verdes Estates
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The August 2021 release of 2020 Census data shows that the ACS may have underestimated
the diversity of Rolling Hills’ population. The 2020 Census indicated that 66 percent of the city’s
residents are White, 20.5 percent are Asian, 10.4 percent are more than one race, 1.3 percent
are Black, and 1.9 percent are Other. The Census further indicated that 7.0 percent of the city’s
residents were Hispanic (includes all races).
3.2.4 Language
Based on ACS data for 2015-2019, 79 percent of the City’s residents speak only English at
home.2 Of the roughly 300 Rolling Hills residents speaking a language other than English at
home, 18 percent speak Spanish, 56 percent speak an Asian language, and 26 percent speak
another Indo-European language. Most of these residents are bilingual and are fluent in English.
About 66 percent of those speaking a foreign language at home indicated they also spoke
English “very well.” Of the remaining 34 percent, about half spoke an Asian language. Korean
and Chinese were the most commonly spoken languages in those households.
Relative to other cities in Los Angeles County and the region, the percentage of “linguistically
isolated” persons (i.e., those with limited English) is very low in Rolling Hills. Whereas about 6
percent of Rolling Hills’ population is linguistically isolated, the percentage in Los Angeles
County is about 24 percent.
3.2.5 Educational Attainment
Rolling Hills residents are highly educated. Among residents 25 or older, 97.6 percent have a
high school degree. More than 70 percent have a bachelor’s degree or higher, and 39 percent
have a graduate or professional degree. These percentages are substantially higher than in the
County as a whole.
3.2.6 Health Indicators
Health can impact housing needs both by limiting the income earning potential of residents and
by creating the need for supportive services or special housing design. Based on data provided
to the City by the Southern California Association of Governments, Rolling Hills health indicators
are consistently better than the County as a whole. The City’s obesity rate is 16.5 percent,
compared to a countywide average of 28.2 percent. Its asthma rate is 10.1 percent, compared
to the countywide average of 15.1 percent and its diabetes rate is 8.3 percent, compared to 12.1
percent countywide. On the other hand, Rolling Hills has a higher rate of heart disease than the
County as a whole, with 9.7 percent of the population diagnosed with a heart ailment compared
to 6.6 percent countywide. This is likely due to the higher percentage of older residents in the
city.
2 American Community Survey 2015-2019, based on residents 5 years of age or older.
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3.2.7 Employment
Employment affects the demand for housing and the dynamics of the housing market. In most
cities, the types of jobs that are present affect the wages paid and the ability of the local
workforce to pay for housing in the city. Rolling Hills is unique in this regard, as it has no major
employers or land zoned for employment uses. In 2018, the Southern California Association of
Governments estimated that there were only 110 jobs in the city.3 Employers include the City,
the School District, Rolling Hills Community Association, the County Fire Department, and the
Palos Verdes Transit Authority. The figure excludes construction workers, landscapers,
housekeepers, child care providers, care givers, delivery workers, and others who travel to the
city intermittently for work.
Data from SCAG collected prior to the COVID-19 pandemic indicates that a majority of
employed residents in Rolling Hills commuted to jobs elsewhere in Los Angeles County. The
largest percentages of residents commuted to Los Angeles (28.2%), Torrance (8.3%), and Long
Beach (5.0%). Beyond Los Angeles County, the next largest commute destination was Orange
County, including Anaheim (1.5%) and Huntington Beach (1.5%).
A relatively large percentage of Rolling Hills residents work from home. Prior to the COVID-19
pandemic, census data reported that about 18 percent of the city’s employed residents worked
from their homes. While data after March 2020 is not available, the percentage likely increased
dramatically during the second quarter of 2020 and remained high for the rest of the year. The
long-term effects of the pandemic on commute patterns are still unknown. However, the
relatively large home sizes in Rolling Hills and the high percentage of the workforce in
professional-sector jobs suggests that a substantial number of workers will continue to work
remotely in the future.
Recent data from the California Employment Development Department (EDD) indicates there
are 600 Rolling Hills residents in the labor force. EDD indicates an unemployment rate of 9.3
percent in June 2021, compared to a countywide average of 10.5 percent. The average annual
unemployment rate in Rolling Hills was reported as 4.0 percent in 2019, when the countywide
average was 4.4 percent. 4
Tables 3.4 and 3.5 provides an overview of the Rolling Hills labor force, based on census data.
The first table identifies the occupation of residents in the city by category, and the second
classifies employed residents by industry.
A majority of the city’s residents are in higher-wage professional and management occupations.
Approximately 18 percent work in health care. About 13 percent work in education, legal
services, arts, and media. Only a small percentage work in the service sector, and even smaller
percentages work in the construction, maintenance, and transportation sectors. The largest
economic sectors associated with the Rolling Hills workforce are finance, insurance, real estate,
health care, and professional, scientific, and management services. The percentage of residents
employed in retail sales, wholesaling, and manufacturing is much smaller than in the county as a
whole.
3 Based on data from the California Employment Development Department
4 California EDD “Labor Force and Unemployment Rate for Cities and Census Designated Places” accessed July 2021
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Table 3.4: Rolling Hills Employed Residents by Occupation
Number of
Residents
Employed
Percent of
Total
Management, business, and financial services occupations 185 32.9%
Computer, engineering, and science occupations 39 6.9%
Education, legal, community service, arts, and media occupations 72 12.8%
Healthcare practitioners and technical occupations 104 18.5%
Service occupations 24 4.3%
Sales and office occupations 115 20.4%
Natural resources, construction, and maintenance occupations 22 3.9%
Production, transportation, and material moving occupations 2 0.4%
TOTAL 563 100.0%
Sources: American Community Survey, 2021 (2015-2019 characteristics)
Table 3.5: Rolling Hills Employed Residents by Industry
Number of
Residents
Employed
Percent of
Total
Construction 24 4.3%
Manufacturing 29 5.2%
Wholesale trade 43 7.6%
Retail trade 30 5.3%
Transport/ warehousing/ utilities 4 0.7%
Information 12 2.1%
Finance/ insurance/ real estate 132 23.4%
Professional, scientific, and management, and administrative and
waste management services 85 15.1%
Educational services, and health care and social assistance 146 25.9%
Arts, entertainment, and recreation, and accommodation and food
services 39 6.9%
Other services, except public administration 12 2.1%
Public Administration 7 1.2%
TOTAL 563 100.0%
Sources: American Community Survey, 2021 (2015-2019 characteristics)
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There are approximately six times more employed residents in Rolling Hills than jobs in Rolling
Hills. The City is not expected to become an employment center in the future. Rolling Hills is
currently a housing “reservoir” in that it provides far more housing than employment relative to
other cities in Los Angeles County. Nearby communities with large employment bases rely on
Rolling Hills to some extent to meet their housing needs, particularly at the upper range of the
housing market.
3.3 Household Characteristics
The Bureau of the Census defines a "household" as “all persons who occupy a housing unit.
This may include persons living alone, families related through marriage or blood, and unrelated
individuals living together. Persons living in retirement or convalescent homes, dormitories, or
other group living situations are classified as living in “group quarters” and are not considered
households. On the other hand, a property with an occupied accessory dwelling unit may be
considered to consist of two households.
Household characteristics provide important indicators of housing needs. These characteristics
include household structure (families with and without children, single persons, persons sharing
homes, etc.), household size (number of persons per household), tenure (renter vs owner), and
household income and poverty status. Again, the US Census 2021 American Community
Survey (providing sample data for 2015-2019) is regarded as the definitive source for household
data and is referenced in the tables and narrative below. At the time this report was prepared,
2020 Census data for households (other than total number of households) was not yet available.
3.3.1 Household Type
Census data for Rolling Hills indicates that there is no group quarters population in the city and
that all residents reside in households. Data from the California Department of Finance for
January 1, 2021 indicates that there were 667 households in Rolling Hills, an increase of four
households from the 2010 Census. The August 2021 release of US 2020 Census data indicates
that there are 639 households in the city, which is a decrease of 24 households from 2010. The
US Census data is considered more accurate, as it is based on an actual count and not an
estimate.
Just over 81 percent of all households in Rolling Hills are classified as families. This percentage
remained constant between 2010 and 2020. Non-family households include persons living
alone and unrelated persons living in shared homes.
Chart 3.3 shows the distribution of households by category for Rolling Hills and the County of
Los Angeles. Relative to the County, Rolling Hills has a much higher percentage of married
couple families (74% of all households compared to 45% countywide). The City has smaller
percentages of single parent households and non-married couple households than the County
and the other cities on the Palos Verdes Peninsula. A much smaller share of Rolling Hills’
residents live alone than in the County as a whole.
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Chart 3.3: Household Type in Rolling Hills and Los Angeles County, 2021
Source: American Community Survey, 2021 (2015-2019 data)
The data for Rolling Hills reflects the community’s single family housing stock. For decades, the
city has attracted families with children. Couples tend to keep their homes when their children
are grown, resulting in a significant number of homes (more than half) occupied by older
couples with adult children and empty nesters. In fact, the Census indicates that 60 percent of
the married couple households in Rolling Hills include at one person over 60 years old,
compared to 38 percent in the county as a whole.
Household type in Rolling Hills has changed over the last 20 years. The percentage of people
living alone has been increasing, growing from 12 percent of the population in 2000 to 16
percent in 2020. The percentage of households with children living at home has been
decreasing. It was 33 percent in 2000 and 23 percent in 2020.
3.3.2 Household Size
In 2020, the State Department of Finance reported the average household size in Rolling Hills as
2.80 persons. This is almost the same as it was in 2010, when average household size was
reported at 2.81 persons. In general, average household size has been falling over time. It was
2.90 in 2000 and was reported as being 3.2 in the Rolling Hills General Plan (1989). Preliminary
releases from the US Census (August 2021) show actual household size has fallen even further,
and is now 2.72.
ACS data indicates that 16 percent of all households in the City are comprised of one person, 52
percent have two people, 10 percent have three people, and 21 percent have four or more
people. By contrast, in Los Angeles County as a whole, 26 percent are comprised of one
person, 28 percent of two persons, 17 percent of three persons, and 29 percent of four or more
Married w/
children
under 18 at
home
22%
Married, no children
<18 at home
52%
Single
parent, w/
children < 18
at home
1%
Non-
married
couples
2%
Living
alone
16%
Other
7%
Married w/
children
under 18 at
home
19%
Married, no children
<18 at home
26%
Single parent, w/
children < 18 at home
6%
Non-
married
couples
7%
Living
alone
26%
Other
16%
City of Rolling Hills County of Los Angeles
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persons. Rolling Hills has a much higher share of two-person households and smaller shares of
one-person households and large households.
Chart 3.4 compares average household size in Rolling Hills, the County, the State and the other
three cities on the Palos Verdes Peninsula. Data is shown for 2010 and 2021 for each city,
based on California Department of Finance statistics.
Chart 3.4: Household Size in Rolling Hills and Other Jurisdictions, 2010 and 2021
Source: California Department of Finance, Table E-5, 2021
3.3.3 Overcrowding
Overcrowding may result when high housing costs prevent households from buying or renting
homes that provide sufficient space for their needs. The Census defines overcrowded
households as those with more than 1.01 persons per room, excluding bathrooms, hallways, and
porches. Households are considered to be “severely” overcrowded if they have more than 1.51
persons per room.
Although Rolling Hills has a higher number of persons per household than the other cities on the
Palos Verdes Peninsula, it does not experience overcrowding. ACS data for 2015-2019 indicate
that 98.9 percent of the homes in the city have 1.0 persons per room of less. There are no
households with more than 1.51 persons per room. By contrast, in the county at large, 11.3
percent of the households have more than 1.01 persons per room and 4.7 percent have more
than 1.51 persons per room. Homes in Rolling Hills are generally large and owner-occupied,
reducing the likelihood of future overcrowding.
2.4
2.5
2.6
2.7
2.8
2.9
3
3.1
Rolling Hills LA County California Rolling Hills
Estates
Rancho Palos
Verdes
Palos Verdes
Estates
2010 2021
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3.3.4 Tenure
Tenure refers to a household’s status as an owner or renter. ACS data for 2015-2019 indicate
that 95.3 percent of Rolling Hills’ households are homeowners and 4.7 percent are renters. This
percentage has remained relatively constant over the last two decades. The 2010 Census
indicated that 95.7 percent of the city’s households were homeowners and that 4.3 percent
were renters. This equated to 28 renter households in the entire city. Because there are no
multi-family units at this time, these households are presumed to be renting single family homes.
Renter households in the city are slightly larger than owner-occupied households. The ACS
data for 2015-2019 indicates an average household size of 3.07 for renters and 2.60 for owners.
3.3.5 Household Income
Income is the single most important factor in determining housing affordability. While upper
income households have more discretionary income to spend on housing, lower income
households are more constrained in what they can afford. The State and federal government
have developed metrics for classifying households into income categories. These metrics are
used to quantify what is considered an “affordable” housing unit and to determine eligibility for
housing subsidies and assistance programs. All metrics are benchmarked against the areawide
median income, or AMI.
State-Defined Income Categories
The commonly used income categories are as follows:
• Extremely low income 0-30% of AMI
• Very low income 30% to 50% of AMI
• Low income 50% to 80% of AMI
• Moderate income 80% to 120% of AMI
• Above Moderate income More than 120% of AMI
“Affordable housing cost” is defined by State law as being not more than 30 percent of gross
household income. “Housing cost” in this context includes rent or mortgage payments, utilities,
property taxes, and homeowners (or renters) insurance. The income limits are updated annually
by the California Department of Housing and Community Development.
For each income category, a sliding scale is used based on the number of persons per
household. This recognizes that larger households must dedicate greater shares of their
income for food, health care, transportation, and other expenses. The income categories are
calculated by county, resulting in different median incomes from place to place within California.
Table 3.6 shows income categories for Los Angeles County that became effective in April 2021.
A two-person household earning less than $75,700 a year would be considered low income.
The same household would be considered very low income if it earned less than $47,300 a year.
For a household of four people, the threshold is $94,600 for low income and $59,100 for very
low income.
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Table 3.6: Income Limits for Los Angeles County, 20215
Income Category
Household Size
1 2 3 4 5 6 7 8
Extremely Low Income $24,850 $28,400 $31,950 $35,450 $38,300 $41,150 $44,000 $46800
Very Low Income $41,400 $47,300 $53,200 $59,100 $63,850 $68,600 $73,300 $78,050
Low Income $66,250 $75,700 $85,150 $94,600 $102,200 $109,750 $117,350 $124,900
Moderate Income $67,200 $76,800 $86,400 $96,000 $103,700 $111,350 $119,050 $126,700
Source: California Department of Housing and Community Development, 2021
Table 3.7 indicates the monthly housing cost that would be considered “affordable” for
households of different sizes in each income category. Using the state’s definition of
affordability, a low income household of four would be able to afford a monthly housing cost of
$2,365. A very low income household of four could afford a monthly housing cost of $1,478. If
these households are pay in excess of this amount, they are considered to be “cost-burdened.”
In a high-priced market like the Palos Verdes Peninsula, many low income households pay
significantly more than 30 percent of their incomes on rent or mortgages. Those employed in
low-wage professions in the area may commute long distances from areas with more affordable
housing.
Table 3.7: Affordable Monthly Housing Costs Based on 2021 Income Limits
Income Category
Household Size
1 2 3 4 5 6 7 8
Extremely Low Income $621 $710 $799 $886 $958 $1,029 $1,100 $1,170
Very Low Income $1,035 $1,183 $1,330 $1,478 $1,596 $1,715 $1,833 $1,951
Low Income $1,656 $1,893 $2,129 $2,365 $2,555 $2,744 $2,934 $3,123
Moderate Income $1,680 $1,920 $2,160 $2,400 $2,593 $2,784 $2,976 $3,168
Source: Barry Miller Consulting, 2021. Based on 30% of monthly income for each household
Market-rate ownership housing in the Los Angeles area is generally not affordable to
households who are moderate income or below. With an income of $100,000, a household of
four could potentially spend $2,500 a month on their housing cost without experiencing a cost-
burden. Assuming a 10 percent down-payment and 3 percent interest rate, an “affordable”
home would be about $360,000. While there are a few condominiums at this price point in the
region’s larger cities (Long Beach, Los Angeles, etc.), there is no housing on the Palos Verdes
Peninsula in this range. Consequently, “below market” housing programs typically focus on
rental housing for low and very low income households, and a mix of subsidized ownership
housing and rental housing for moderate income households.
5 Income limits for low, very low, and extremely low income are set by the federal Department of Housing and Urban Development.
However, income limits for moderate income households are set by HCD based on mathematical averages of County income.
Consequently, the moderate income numbers are only marginally different from the low income numbers in Los Angeles County.
This is not the case in all counties.
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Some market-rate rental units are “affordable by design”—meaning they are not subsidized but
have rental prices that fall within the affordability ranges of low and moderate income
households. For example, a one-bedroom apartment renting for $1,700 a month would be
considered affordable to a two-person low-income household. While the supply of such units is
limited on the Palos Verdes Peninsula, there are opportunities for market-rate accessory
dwellings and small apartments to fill some of this need.
Household Income in Rolling Hills
The federal Department of Housing and Urban Development (HUD) receives custom tabulations
of Census data each year to evaluate housing needs for lower income households. The data is
referred to as “CHAS” (Comprehensive Housing Affordability Strategy) data and includes
documentation of the current number of owner and renter households in each HUD income
category for each jurisdiction. At the time the 2021-2029 Housing Element was prepared the
CHAS data set was based on 2013-2017 conditions. Table 3.8 provides CHAS data for the City
of Rolling Hills.
Table 3.8: Rolling Hills Households by HUD Income Category
Income Category Owners Renters Total (*)
Extremely Low 25 0 25
Very Low 35 10 45
Low 45 0 45
Moderate 25 0 25
Above Moderate 465 15 480
Total 595 25 620
Source: HUD User Portal CHAS data, based on 2013-2017 ACS. Accessed July 2021
(*) Total number of households does not match Census and DOF totals due to sampling methods. CHAS data is also rounded to the
nearest “five” by HUD.
Table 3.8 indicates that 77 percent of the households in Rolling Hills are “above moderate”
income (more than 120% of Areawide Median Income). There are 25 “extremely low” income
households and 45 “very low” income households in the city, representing four percent and
seven percent of total households respectively. Another seven percent meet “low” income
criteria.
Table 3.9 provides additional data on income in Rolling Hills, using 2015-2019 American
Community Survey data rather than CHAS data. Rolling Hills is among the most affluent cities in
California, with a median income exceeding $250,000 a year, and a mean household income of
$434,685. The Census indicates that 57.5 percent of the city’s households have annual incomes
exceeding $200,000, compared to 37.8 percent for all of the Palos Verdes Peninsula cities and
10.2 percent for Los Angeles County.
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Table 3.9: Household Income in Rolling Hills, Peninsula Cities, and Los Angeles County
Income Category
Percent of Households in Income Category
Rolling Hills
Palos Verdes
Peninsula Cities Los Angeles County
Less than $10,000 1.2% 3.0% 5.6%
$10,000-$14,999 2.6% 1.6% 4.8%
$15,000-$24,999 2.6% 3.4% 8.4%
$25,000-$34,999 1.2% 3.4% 8.1%
$35,000-$49,999 6.1% 4.7% 11.2%
$50,000-$74,999 3.8% 9.2% 15.9%
$75,000-$99,999 4.2% 9.0% 12.3%
$100,000-$149,999 12.7% 15.5% 15.8%
$150,000-$199,999 8.1% 12.6% 7.8%
$200,000 or more 57.5% 37.8% 10.2%
Median Income $250,000+ $154,165 $68,044
Mean Income $434,685 $210,231 $99,133
Source: American Community Survey, 2021 (for 2015-2019)
Data for Palos Verdes Peninsula cities represents weighted average of Rolling Hills, Rolling Hills Estates, Rancho Palos Verdes, and
Palos Verdes Estates
While a majority of households are “above moderate” income, the ACS data indicates that 6.4
percent of Rolling Hills’ households (or approximately 42 households) have annual incomes of
less than $25,000 a year. This compares to 8.0 percent for the Palos Verdes Peninsula and 18.8
percent for Los Angeles County. Approximately 7.3 percent of Rolling Hills’ households have
incomes between $25,000 and $50,000 a year, compared to 8.1 percent on the Peninsula and
19.3 percent countywide.
The Census also disaggregates household income data by family households, married couples,
and non-family households. Non-family households include persons living alone and unrelated
individuals in shared homes. Family and married couple household incomes in Rolling Hills are
higher than non-family households. Census data indicate that 27 percent of the non-family
households in the city (or about 30 households) have annual incomes below $35,000 compared
to just 3.1 percent for families and married couples.
An important qualifier about the Census income data is that it does not account for accumulated
wealth or savings and is based only on annual income. Given the high cost of housing in Rolling
Hills, the very high rate of owner-occupancy (95 percent), and the large number of retired adults
in the city, it is likely that most of the lower income households in the city are seniors on fixed
incomes. In fact, 68 of the 108 non-family households in the city are comprised of persons over
65 living alone. Many of these households have no mortgage and their housing costs are
primarily associated with property taxes, insurance, maintenance, and utilities. Despite
accumulated wealth and home equity, a subset of the population on fixed incomes may lack the
resources to meet these expenses without financial hardship.
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3.3.6 Overpayment
Overpayment refers to the incidence of households spending more than 30 percent of their
incomes on housing costs. As noted earlier, this includes monthly utility bills, taxes, HOA dues,
and insurance as well as mortgage or rent payments. Overpayment occurs in all income
categories but is more challenging for lower income households given the limited resources to
pay for other household expenses. As previously indicated, such households are defined by the
US Department of Housing and Urban Development as being “cost-burdened.”
ACS data indicates that 30.6 percent of all homeowners in Rolling Hills and 32 percent of all
renters are paying more than 30 percent of their incomes on housing. About 18 percent of
Rolling Hills homeowners are paying more than 50 percent of their incomes on housing. This
compares to 16 percent in the county as a whole. Table 3.10 compares rates of overpayment in
Rolling Hills with those of Los Angeles County as a whole. At the countywide level, the rate of
overpayment is somewhat higher for homeowners and substantially higher for renters. In Los
Angeles County, approximately 35.7 percent of all homeowners and 57.6 percent of all renters
pay more than 30 percent of their incomes on housing.
Table 3.10: Percent of Income Spent on Housing in Rolling Hills and Los Angeles County
Percent of
Income Spent
on Housing
Homeowners with no
Mortgage
Homeowners with a
Mortgage Renters
Rolling
Hills
LA
County
Rolling
Hills
LA
County
Rolling
Hills
LA
County
Less than 20 % 64.3% 73.4% 37.1% 30.0% 54.5% 19.7%
20-24.9 % 10.5% 6.4% 10.1% 14.5% 0 11.5%
25-29.9% 5.0% 4.2% 14.0% 12.1% 13.6% 11.2%
30-34.9% 0.8% 3.0% 7.8% 9.1% 0 9.5%
More than 35% 19.3% 12.9% 30.9% 34.4% 31.8% 48.1%
Source: American Community Survey, 2021 (for 2015-2019)
Not surprisingly, the incidence of overpayment is much greater for homeowners with a
mortgage than for those without a mortgage. In Rolling Hills, approximately 44 percent of all
homeowners have paid off their mortgages, while 56 percent have a mortgage. For those
without mortgages, 20.1 percent pay more than 30 percent of their incomes on housing. For
those with mortgages, the figure is 38.6 percent.
Even homeowners without mortgages may still face a cost burden associated with taxes,
maintenance, and other home expenses. The ACS reports that 93 percent of Rolling Hills’
homeowners with no mortgage payments still have monthly housing costs exceeding $1,000 a
month. The median monthly cost for homeowners without mortgages in the city is over $1,500 a
month. The comparable figures for Los Angeles County are just 20.3 percent and $608 a
month. The data suggests that Rolling Hills seniors on fixed incomes may be particularly cost-
burdened due to limited income, monthly HOA fees, and the high cost of maintaining a home in
the city.
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For homeowners with mortgages, monthly costs are substantially higher. ACS data shows that
89.9 percent of the city’s homeowners with mortgages spend over $3,000 a month on housing,
with a median well above $4,000 a month (the maximum reported by the Census). This
compares to 34.2 percent in Los Angeles County, with monthly median of $2,498.
Data on the City’s renter households indicates that a majority are above moderate income
households spending more than $3,000 a month on housing. However, the ACS indicates
seven renter households paying $1,000 to $1,499 a month, which indicates that at least a few
renters in the city occupy guest houses or unregistered accessory dwelling units.
Table 3.11 shows the incidence of overpayment among owners and renters in Rolling Hills who
are lower income. Among lower income homeowners, 78 out of 90 are considered cost-
burdened, while among the city’s 10 lower income renters, eight are considered cost-burdened.
About two-thirds of the city’s lower income owners are severely cost-burdened, paying more
than half of their incomes on housing. While the income data does not fully account for savings
and accrued wealth, it does suggest that some of these households might benefit from
assistance with home maintenance and monthly housing expenses (for example, through home
sharing and ADUs).
Table 3.11: Overpayment among Lower Income Households in Rolling Hills
Total
Households
Number Paying More than
30% of Income on Housing
Number Paying More than
50% of Income on Housing
Homeowners
Income Under 80%
of Areawide Median 90 78 60
Income Under 30%
of Areawide Median 25 19 15
Renters
Income Under 80%
of Areawide Median 10 8 4
Income Under 30%
of Areawide Median 0 0 0
Source: HUD User CHAS data, 2014-2018
3.4 Populations with Special Needs
The California Government Code recognizes that some segments of the population have more
difficulty finding decent, affordable housing than others due to their circumstances. Populations
with special needs include older adults, persons with disabilities, large families, farmworkers,
families with female heads of households, and persons experiencing (or at risk of)
homelessness. These groups are more likely than the population at large to spend a
disproportionate amount of their incomes on housing. They are also more likely to face
discrimination based on their specific needs or circumstances.
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3.4.1 Older Adults
The special needs of older households result from limited income, higher rates of physical
disability and health care costs, and changing life circumstances which may require assistance
from others. This is the single largest special needs group in Rolling Hills, and it is growing
rapidly as the population ages. Table 3.12 compares the number of older adults in Rolling Hills
with the other cities on the Palos Verdes Peninsula, along with Los Angeles County.
Table 3.12: Older Adults in Rolling Hills and Nearby Jurisdictions
Jurisdiction
Percent of all
Residents over 65
Percent of all
Residents over 75
Percent of households
with at least one
member over 65
Rolling Hills 32.9% 18.4% 56.0%
Rolling Hills Estates 25.2% 13.9% 46.5%
Palos Verdes Estates 27.0% 13.3% 46.8%
Rancho Palos Verdes 15.5% 13.6% 44.7%
Los Angeles County 13.3% 5.7% 29.7%
California 14.0% 5.9% 30.8%
Source: American Community Survey, 2021 (for 2015-2019)
The percentage of residents over 65 in Rolling Hills was 22 percent in 2000, 28 percent in 2010,
and 33 percent in 2020. Moreover, 56 percent of the households in Rolling Hills include at least
one person who is 65 years or older. This is almost double the rate for Los Angeles County as a
whole. The percentage of Rolling Hills residents over 85 has doubled in the last 20 years, with
this cohort representing 4.7 percent of the population in 2020.
The percentage of older residents is likely to continue increasing in the next decade. Nearly one
in five Rolling Hills residents is in the 55-64 age cohort (compared to one in nine countywide),
and most of this cohort will reach retirement age during the timeframe of this Housing Element.
Some of these residents, as well as those already over 65, may seek to “downsize” or adapt
their homes to meet changing mobility needs and financial resources.
Older adults in Rolling Hills are more likely to live alone, have one or more disabilities, and be
cost-burned by housing than the population at large. Census data indicates that there are 68
households, representing roughly 10 percent of all households in Rolling Hills, comprised of a
person over 65 living alone. About 70 percent are female-headed households and 30 percent
are male-headed. There may be opportunities among these households for home sharing and
accessory dwelling unit (ADU) development. This can provide financial benefits, social benefits,
and an added sense of security, as well as housing opportunities for low- and moderate-income
workers or other retirees in the community.
At the same time, the City should anticipate an increase in homeowners seeking to adapt their
homes to facilitate aging in place. This would include addition of ramps, handrails, kitchen and
bath retrofits, and interior changes that improve access for wheelchairs and walkers. The
Rolling Hills housing stock is well suited for these improvements, as it is limited to single story
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construction. Demand for on-site caregiver quarters, and living space for other domestic
employees, will likely increase. At the same time, the substantial cost and demand associated
with maintaining a large home and property may compel some residents to seek living
arrangements that are not currently available in Rolling Hills, such as condominiums and
townhomes. Some of these residents will relocate out of Rolling Hills due to diminished mobility
(capacity to drive) or the need for higher levels of care.
Because of resource limitations and the city’s small size, the City of Rolling Hills does not
provide direct services to seniors. It works with other agencies, non-profits, and the private
sector to address the housing needs of local seniors, and to connect residents with service
providers. This includes maintaining a comprehensive list of facilities and service providers at
City Hall, and a dedicated page on the City’s website listing available services for seniors.
Rolling Hills has partnered with other Peninsula cities and local non-profits to produce a Senior
Resources Guide for the Palos Verdes Peninsula.
Nearby local services include:
• Palos Verdes Peninsula Village, located in Rolling Hills Estates, provides social and
educational activities, transportation, and advocacy for seniors in the vicinity. They
provide trained volunteers to assist with routine home maintenance activities, computer
troubleshooting and set-up, and other day to day activities.
• PV Peninsula Transit Authority Dial-A-Ride, which provides services for persons 62 or
older on the Peninsula, and free taxis for medical appointments in the South Bay area.
• Peninsula Seniors, a non-profit 501(c)(3) that has served the four cities on the Palos
Verdes Peninsula (including Rolling Hills) since 1982. They primarily provide social
activities, health and wellness programs, special events, and educational programs.
• Volunteer block captains within Rolling Hills, providing wellness checks for seniors as
well as emergency preparedness and response.
• Homeshare South Bay matches seniors and others in the community with local housing
opportunities. Homeshare South Bay is a project of the South Bay Cities Council of
Governments, which includes Rolling Hills.
• HELP (Health Care and Elder Law Programs) is a Torrance-based organization that
provides counseling to area seniors on elder care, finance, law, and consumer
protection. The organization is dedicated to empowering older adults and their families.
• Palos Verdes Peninsula Library District and the Peninsula Center Library (in Rolling Hills
Estates) provides programs and resources for seniors.
• There are senior centers in the nearby communities of Torrance, Carson, Wilmington,
Harbor City, San Pedro, Manhattan Beach, Redondo Beach, Hawthorne, and El
Segundo.
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In addition, the Rolling Hills Community Association (RHCA) created a “Needs of Seniors”
Committee in 2014 to address the needs of aging Rolling Hills residents. The Committee
collects information and makes recommendations to the RHCA Board. Their recent efforts have
focused on transportation, health and wellness, home improvement and maintenance, and social
events.
3.4.2 Persons with Disabilities
The number of disabled residents is increasing nationwide due to increased longevity and the
aging of the population. Physical and mental disabilities can hinder access to housing as well as
the income needed to pay for housing. Those with disabilities often have special housing needs
related to their limited earning capacity, higher health care costs, mobility or self-care limitations,
or need for supportive services.
The Census recognizes six disability types in its data tabulation: hearing, vision, cognitive,
ambulatory, self-care, and independent living. These categories are not mutually exclusive and
disabled residents may have more than one of these conditions. Current ACS data (2015-2019)
for Rolling Hills indicates that 10.6 percent of the City’s population has one or more disabilities.
This compares to 8.1 percent in the 2000 Census, with the increase attributable to the greater
number of older adults. Rolling Hills has a slightly higher percentage of disabled residents than
the county as a whole, with the ACS reporting that 9.9 percent of Los Angeles County’s
residents were disabled in 2020.
The city’s older residents are more likely to be disabled than its younger residents. ACS data
shows 23 percent of all residents over 65 have one or more disabilities, whereas only 5.5
percent of those aged 18-64 have one or more disabilities and only 1.4 percent of those under
18 have disabilities. The “over 75” population has the greatest incidence of disability, with 33.8
percent affected.
Table 3.13 shows the incidence of disabilities among persons in different age groups in Rolling
Hills. The most common disabilities are ambulatory (movement), with older adults most
impacted. There were 103 residents reporting an ambulatory difficulty, 66 of whom were over
75. There were 56 residents reporting a hearing difficulty, 46 of whom were over 75. Cognitive
difficulties were more likely to affect the younger population (particularly 18-34). This was the
only category where rates among older adults were lower than among younger age cohorts.
Table 3.13: Percent of Rolling Hills’ Residents with a Disability
Disability Type Under 18 18-64 Over 65 Total
Hearing Difficulty 0 1.0% 10.0% 3.7%
Vision Difficulty 0 1.0% 2.6% 1.3%
Cognitive Difficulty 1.5% 2.3% 2.0% 2.1%
Ambulatory Difficulty 0 2.9% 16.5% 6.9%
Self-care Difficulty 0 0.5% 6.0% 2.3%
Independent Living Difficulty N/A 2.3% 8.8% 5.0%
Source: American Community Survey, 2021 (for 2015-2019)
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There were 61 residents, including 34 residents over 75 and another 11 aged 65-74, who
indicated an independent living difficulty. This represents roughly 5 percent of the City’s
population and is comparable to the countywide average of 5.4 percent. These residents may
require daily assistance from caregivers or family members.
There is an ongoing need to adapt housing to meet the needs of those with disabilities, and to
design new homes so they are accessible for all people. This may require widened doorways
and hallways, access ramps, larger bathrooms, lowered countertops, grab bars, walk-in baths
and showers, and other design changes. It is important that planning and building codes
support such changes, and accommodate the needs of those who are disabled or become
disabled while living in the homes they currently occupy. Barrier free design is particularly
important in any multi-family housing that may be constructed in the future.
In 2020, the City of Rolling Hills amended its municipal code to provide “reasonable
accommodation” for persons with disabilities. This complies with state and federal laws and
enables those with disabilities to request modifications from standard practices or codes to meet
their housing needs.
3.4.3 Persons with Developmental Disabilities
SB 812 requires that each jurisdiction’s housing element include an analysis of housing needs
for persons with developmental disabilities. This is defined by federal law as a “severe, chronic
disability” that:
• Is attributable to a mental of physical impairment or combination of mental and physical
impairments
• Is manifested before the individual attains age 18
• Is likely to continue indefinitely
• Results in substantial functional limitations in three or more of the following areas of major
life activity:
o Self-care
o Receptive and expressive language
o Learning
o Mobility
o Self-direction
o Capacity of independent living
o Economic self-sufficiency
• Reflects the need for a combination and sequence of special, interdisciplinary, of generic
services, individualized support, or other forms of assistance that are of lifelong or extended
duration and are individually planned and coordinated.
Examples of developmental disabilities include cerebral palsy, epilepsy, and autism. Many
developmentally disabled persons can live and work independently. More severely disabled
individuals may require a group living environment with training and supportive services. The
most severely disabled individuals may require an institutional environment where medical
services and physical therapy are provided. Because developmental disabilities exist in
childhood, the transition from living with one’s family to living independently is an important
consideration in meeting local housing needs.
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Data on the number of persons with developmental disabilities is maintained by the California
Department of Developmental Services (DDS). DDS coordinates the efforts of a network of 21
non-profit regional centers around the state and provides funding for a variety of programs and
services. Rolling Hills is served by the Harbor Regional Center, which is located in Torrance.
The Harbor Center serves over 15,000 people with developmental disabilities, with a service
area that includes Long Beach, the South Bay, the Palos Verdes Peninsula, and other parts of
southern Los Angeles County. About half are children and half are adults.
Data from the DDS is provided by ZIP code. Rolling Hills city represents 7.4 percent of the
25,061 residents in ZIP code 90274. The last available report posted by DDS on their website
(June 2017) indicates 154 clients served in 90274, including 65 under age 18 and 89 over age
18. If Rolling Hills’ share of the total is pro-rated, this would be equivalent to 12 clients, including
five children and seven adults. ZIP code data is also disaggregated by the type of housing
occupied by clients. The data indicates that 149 clients in ZIP Code 90274 live with their
families or guardians and “fewer than 11” clients live in supported living, care facility, or foster
home environments. Overall, about 87 percent of the Harbor Center’s clients live with their
families.
The Harbor Regional Center is an important resource for those with developmental disabilities,
and their families. It provides health assessments, advocacy, family support and training,
individual case management and support, early intervention and prevention services, and
assistance in finding stable and secure independent living arrangements. Additional resources
in the area include the Disability Community Resource Center in Torrance and Southern
California Resources Services for Independent Living.
3.4.4 Female-Headed Households with Children
Single-parent households require special consideration and assistance because of their greater
needs for day care, health care, and other facilities. In particular, female-headed households
with children tend to have lower incomes, thus limiting housing affordability for this group. In
most communities, female-headed households are considered to be at greater risk of
displacement, poverty, and housing overpayment.
The 2019 ACS indicates that there were five single parent female households with children in
Rolling Hills, representing less than one percent of the City’s households. The comparable
figure for Los Angeles County was 5.1 percent, as the composition of households is substantially
more diverse at the countywide level.
ACS data for the small number of female-headed households with children in Rolling Hills may
not be entirely reliable due to the small sample size. Nonetheless, the data indicate that these
households were above the poverty level, and did not receive supplemental security income,
SNAP/food stamps, or other public assistance income in the past 12 months.
Because the very small number of female-headed households in Rolling Hills, as well as their
income characteristics, they are not expected to have special housing needs that require City
programs.
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3.4.5 Large Households
Large households are defined as those with five or more members. Such households are
identified in State housing law as a group with special housing needs based on the limited
availability of adequately sized, affordable housing units. In instances where large households
have lower incomes, they may be more likely to live in overcrowded dwelling units or in units
that are substandard. The problem is more acute for large households who are renters, who
may face the added risk of eviction or displacement.
Table 3.14 shows data on household size in Rolling Hills. The data is broken down for family and
non-family households. About 12.3 percent of all households in Rolling Hills have five or more
members, including 2.6 percent with seven or more members. All of these households are
families. Countywide, 14.3 precent of all households have five or more members and 2.8
percent have seven or more members.
The average number of rooms per unit in a Rolling Hills home is 8.3, compared to 4.6 for Los
Angeles County. ACS data indicates the median annual income for large households in Rolling
Hills exceeds $250,000. Given the large home sizes in Rolling Hills, the low incidence of
overcrowding, and the relatively small percentage of large households, this is not a priority
special needs group within the city. Larger households will continue to be housed in the city’s
larger single family homes.
Table 3.14: Number of Persons in Family and Non-Family Households
Household
Size Family Percentage
Non-
Family Percentage Total Percentage
1 N/A N/A 94 87.0% 94 16.3%
2 287 61.2% 14 13.0% 301 52.2%
3 59 12.6% 0 0 59 10.2%
4 52 11.1% 0 0 52 9.0%
5 51 10.9% 0 0 51 8.8%
6 8 1.7% 0 0 8 1.4%
7 or more 12 2.6% 0 0 12 2.1%
Total 469 100.0% 108 100.0% 577 100.0%
Source: American Community Survey, 2021 (for 2015-2019)
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3.4.6 Residents Living in Poverty or With Extremely Low Incomes
Census data indicates that 1.7 percent of Rolling Hills’ population—or about 25 residents—are
below the federal poverty line. This compares to 14.9 percent for the county as a whole.
According to the 2015-2019 ACS, Rolling Hills residents living below the poverty include 14
people aged 18-59 and 11 people over 60. There are no children under 18 below the poverty
line in the city. The data further indicates that the 25 residents include 12 white non-Hispanic
persons, four Asian persons, and nine Latino persons.6
Census data indicates that only five of the residents below the poverty line are in the labor force,
suggesting that some of those tallied by the Census have other sources of income not reported
here. Census data indicates that a majority of the adults below the poverty level in Rolling Hills
are 18-34 year olds—this likely represents adult children not in the labor force who are living at
home. This is further supported by the even lower poverty rate for family households in Rolling
Hills—reported at 0.4 percent by the ACS, which is equivalent to three households.
Although Rolling Hills has a very small number of households in poverty, and some of its
extremely low income residents have supplemental sources of income, the city is located in a
region with significant very low income housing needs. In February 2021, the City amended its
zoning regulations to create the Rancho Del Mar Overlay District. Affordable housing and
emergency shelter are both permitted by right in this district, subject to specific development
standards. Single room occupancy hotels are conditionally permitted. The City also permits
home sharing, room rentals, and accessory dwelling units, all of which are beneficial to meeting
extremely low income housing needs.
3.4.7 Farmworkers
The special housing needs of farmworkers are a result of low wages and the seasonal nature of
agricultural employment. Migrant farmworkers face particular challenges, including severe
overcrowding. Farmworker needs are difficult to quantify due to fear of job loss, language
barriers, and the documentation status of the farmworker labor force.
The 2015-2019 ACS data indicates that there are no Rolling Hills residents employed in
“Farming, Fishing, and Forestry” occupations. This data further indicates that there are no
residents in the city employed in the “Agriculture, Forestry, Fishing, Hunting, and Mining” sector.
There are also no farmworker jobs in the city, as there is no agricultural land. As a result, the
City does not have active programs or policies to address farmworker housing needs.
6 As noted earlier, the ACS is based on a sample of the population (roughly 15% for the five-year period). In a small city such as
Rolling Hills, the margin of error is high, particularly for the breakdown of poverty status by age, race and ethnicity.
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3.4.8 Homelessness
Homelessness has become an increasing problem throughout California and the entire United
States. In Southern California, factors contributing to the rise in homelessness include the lack
of housing affordable to low- and very low-income persons, loss of employment and benefits—
particularly for low wage workers, health care costs and related personal disabilities, reductions
in public subsidies, increasing rates of addiction and substance abuse, and a lack of mental
health services.
State law requires that cities address the special needs of unhoused residents within their
jurisdictional boundaries. For this purpose, homelessness is defined as including individuals
who lack a fixed, regular and adequate nighttime residence, as well as individuals living in
shelters and in places not designed for sleeping. The definition does not include those living in
substandard or overcrowded housing or persons who are temporarily staying with family and
friends. Such individuals are considered to be “at risk” of homelessness.
A “point in time” count of homeless residents in Greater Los Angeles is conducted annually by
the Los Angeles Homeless Services Authority (LAHSA). In January 2020, the count identified
54,291 persons experiencing homelessness in Los Angeles County. This is an increase of about
10 percent from 2019, when the count was 49,521. It is an increase of 37 percent from 2016,
when the count was 39,587. The 2020 figures precede the onset of the COVID-19 pandemic
and its impacts on homelessness.
Data provided by the LAHSA indicates the 2020 count for the city of Rolling Hills was zero. The
count for all prior years in the survey (2016-2019) also counted no unsheltered residents in the
city. The nature of homelessness and the method of data reporting make it difficult to evaluate
the full extent of the challenge of adequately housing the entire population. While there are no
unsheltered residents in Rolling Hills, there may be residents who are temporarily staying with
friends or relatives because they lack the resources or have underlying conditions which make it
difficult to find permanent housing.
There are no emergency shelters in Rolling Hills. The closest facilities are in San Pedro and
Wilmington and are less than five miles away. Harbor Rose Lodge (San Pedro) provides
homeless support services for individuals and families in Los Angeles County, with no
geographic restrictions. It assists with temporary housing and provides support services and
referrals. Harbor Interfaith (San Pedro) provides a 90-day emergency shelter and an 18-month
transitional housing program. Also in San Pedro, Shawl House and House of Hope provide
shelter, transitional housing, counseling specifically for women. The Doors of Hope Shelter in
Wilmington also serves single women. The Beacon Light Mission in Wilmington provides a 10-
bed men’s shelter, as well as food, clothing, and supportive services to men, women, and
children.
In February 2021, the City of Rolling Hills amended its zoning regulations to allow emergency
shelter “by right” in the Rancho Del Mar Overlay Zone. The 31-acre site overlay zone includes
multiple areas of underutilized land that provide opportunities for emergency shelter or
supportive service facilities.
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The City is committed to coordinating with supportive service providers and meeting the needs
of local unhoused residents. A list of nearby social service agencies and shelters is maintained
by the City Clerk.
3.5 Housing Stock Characteristics
Government Code Section 65583(a) requires the Housing Element to describe the
characteristics of the local housing stock, including structural condition. This section of the
Element provides an overview of Rolling Hills’ housing stock, including the age of structures, the
types of structures, the number of bedrooms, and vacancy characteristics. It also includes
information on home values and rents.
3.5.1 Housing Unit Count
The US Census reported 674 housing units in the city in 1990, 675 units in 2000, and 693 units
in 2010 (see Chart 3.5). The California Department of Finance estimated 719 units in the city as
of 2021. However, the August 12, 2021 data release from the 2020 Census indicates the total
unit count is 702, which is more consistent with City records. The net number of housing units
in the city has increased at a rate of about one unit a year for the last 30 years.
While the increase in units has been nominal, additional residential development has been
occurring through the replacement and expansion of existing single family homes. Much of
Rolling Hills was developed in the 1950s and was typified by 2,000 to 4,000 square-foot ranch
style homes. As in many desirable older communities, the original housing stock is gradually
being replaced with much larger units. These units average 6,000 to 9,000 square feet in size,
according to City building permit records. This trend of residential recycling can be expected to
continue and potentially increase as less vacant land is available for development.
Chart 3.5: Total Number of Housing Units in Rolling Hills, 1990-2020
0
100
200
300
400
500
600
700
800
674 675 693 702
1990 2000 2010 2020
Source: Census 1990,
2000, 2010, 2020
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Chart 3.6: Year of Construction for Rolling Hills Homes
3.5.2 Age and Condition of Housing Stock
Chart 3.6 shows the age of the housing stock in Rolling Hills. About half of the housing stock in
the community is more than 60 years old. About 35 percent was built in the 1960s and 70s and
the remainder has been built in the last 40 years. About 8 percent of the city’s housing stock is
less than 20 years old—however, most of these homes are “replacements” and were built on
previously developed lots.
The older housing stock in the city is in excellent condition. Census data indicates there are no
units in the city without plumbing or kitchen facilities. The City strongly encourages
reinvestment in the existing housing stock, and homeowners take pride in their homes and
properties. Common repairs include new roofs, new siding, plaster and stucco repair, upgraded
electrical systems, and plumbing improvements. Home additions, kitchen and bathroom
upgrades, and solar energy installations are also common.
No significant code enforcement or housing problems have been observed in the city. The city
has a Code Enforcement Officer who makes complaint-based site visits. In the event a violation
is identified, the City works with the property owner to resolve the issue.
The City estimates that five units, or 0.8 percent of its housing stock, is in need of rehabilitation
or replacement. These properties include:7
• A home that has been red tagged and in need of foundation repair
• A home in a landslide area with a stop work order due to work being done without
permits
7 Addresses can be provided to HCD upon request but are not disclosed here.
Before 1950
11%
1950s
36%
1960s
21%
1970s
14%
1980s
7%
1990s
3%Post 2000
8%
Source: American Community Survey 2021
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• An older home where the owner is seeking approval to demolish and rebuild
• A home with an approved application to demolish and rebuild
• A home with an approval for a major remodel and addition
In any given year, the City also receives “tear down and rebuild” applications for one to two
older homes as well as dozens of applications to modernize, expand and update older homes.
In almost all cases, these homes are habitable, but they are outdated and do not provide the
amenities expected in high-end construction.
3.5.3 Housing Type
Rolling Hills is comprised entirely of single family homes. The 2021 ACS indicates there are no
multi-family units in the city. ACS data further indicates seven units that are “single family
attached” which presumably are accessory dwelling units (ADUs) or other separate living
quarters that are ancillary to a primary residence.
Census data does not typically classify “guest houses” as dwelling units unless they have been
legally permitted as separate residences. Rolling Hills classifies guest houses differently than
ADUs; the latter are permitted by right to be independent dwellings provided they meet certain
adopted zoning standards. By contrast, occupancy of guest houses is limited to persons
employed on the premises, the family of the occupants of the main residence, or the temporary
guests of the occupants of the main residence. Guest houses may not be used as rental
housing, but an owner may apply for a permit to convert a guest house to an ADU, which can
then be rented.
3.5.4 House Size
Homes in Rolling Hills are large. Chart 3.7 below shows the distribution by number of
bedrooms. About 74 percent of the homes in the city have four or more bedrooms. Another 21
percent have three bedrooms and only five percent have two bedrooms or fewer. By contrast,
among homes in Los Angeles County as a whole, 16 percent of all housing units have four or
more bedrooms and 56 percent have two bedrooms or fewer.
Data for total house size shows a similar difference between Rolling Hills and the County as a
whole. Countywide, the median number of rooms per home is 4.5. It Rolling Hills, it is 8.3. Only
4.7 percent of the homes in Los Angeles County have nine or more rooms. In Rolling Hills, 46
percent of the homes have nine or more rooms.
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Chart 3.7: Percent of Housing Units by Number of Bedrooms, Rolling Hills and Los Angeles
County
Source: American Community Survey 2021 (for 2015-2019)
0.0%0.8%
4.4%
20.7%
39.8%
34.3%
7.1%
19.7%
29.4%28.3%
12.3%
3.3%
0.0%
5.0%
10.0%
15.0%
20.0%
25.0%
30.0%
35.0%
40.0%
45.0%
No bedrooms 1 bedroom 2 bedrooms 3 bedrooms 4 bedrooms 5 or more
bedrooms
Rolling Hills Los Angeles County
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3.5.5 Vacancy Characteristics
The August 12, 2021 data release from the US Census indicates that 63 of the city’s 702 homes
were vacant at the time of the 2020 Census. This is a nine percent vacancy rate. By contrast,
2020 Census data indicates that the vacancy rate for the Palos Verdes Peninsula as a whole was
about five percent. Countywide, ACS data indicates that six percent of the housing stock in Los
Angeles County is vacant.
ACS data provides an indication of the characteristics of vacant units in Rolling Hills. The ACS
reports that 30 percent of the vacant units in the city were for sale, 26 percent were used
seasonally (and were not occupied at the time of the census), and five percent were for rent.
The remainder were classified as “other.” ACS data further indicates that the vacancy rate
among for-rent units was three times higher than the vacancy rate among for-sale units,
although the sample size is very small.
In 2010, the Census reported that 5 percent of the homes in the city were vacant, indicating a
significant increase between 2010 and 2020. The higher vacancy may be a result of changes in
the housing market, including significantly higher home prices, and an increase in the number of
homes that are used seasonally. The city’s housing market serves a unique market niche.
3.5.6 Home Values and Prices
A variety of sources were used to analyze housing market prices and trends in Rolling Hills,
including on-line real estate data vendors, current real estate listings, and the US Census.
According to on-line real estate service Zillow.com, the median value of a home in Rolling Hills is
$3,733,468. Rolling Hills home values have gone up 19.7% over the past year. Chart 3.8
compares the local median home value with values in the three other Palos Verdes Peninsula
cities and with Los Angeles County as a whole. Homes in Rolling Hills are valued at 50 percent
higher than those in Palos Verdes Estates ($2.45 M), 126 percent higher than those in Rancho
Palos Verdes ($1.65M), and over four times higher than the countywide median ($790,000).
The ACS 2021 data indicates that 95 percent of all homes in Rolling Hills have a value of over
$1,000,000. The Census-reported median is over $2 million, which is the highest interval on the
Census scale. The ACS shows the median in Los Angeles County at $583,200. This is
substantially lower than the Zillow data, which is only based on homes recently sold.
The website realtor.com indicates that the average time on the market for a home in Rolling Hills
in July 2021 was 120 days. However, the sample size is small, and similar data for earlier in the
year indicates a median sale time of 45 days (December 2020 and January 2021). Realtor.com
indicates that homes in the city sold for 4.98 percent below asking price in July 2021. This figure
is highly variable depending on market listings at any given time.
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In July 2021, there were 14 homes for sale in Rolling Hills (including properties with pending
offers). These ranged in size from a 1,467 square foot home to a 13,000 square foot home.
Prices ranged from $2,499,000 to $15,975,000. The median price was $5.02 million and the
mean was $6.15 million. This is substantially higher than the average for surrounding cities on
the Palos Verdes Peninsula and in Los Angeles County. The higher priced homes were typically
new construction, while the two lowest priced homes were built in 1954 and 1957.
Data on rentals in the city is more difficult to characterize because the number of available
properties is so small. In July 2021, there was only one home being advertised for rent in the
city. The asking monthly rent was $16,000. The property has five bedrooms, seven bathrooms,
and is 5,035 square feet. Zillow also reported a 2-bedroom, 1-bath detached 1,000 square foot
accessory dwelling unit for rent for $3,950. In addition, two ADUs were being advertised on
Craigslist (listed as Rolling Hills but likely in Rolling Hills Estates or Rancho Palos Verdes). One
was a 500 square foot studio for $1,250 and the other was a 400 square foot guest house for
$1,800. The Census indicates that seven of the renter households in the City pay less than
$1,500 a month in rent, and the remainder pay more than $3,000 a month.
Chart 3.8: Home Prices in Rolling Hills, Peninsula Cities, and Los Angeles County, 2012-2021
Source: Zillow.com, 2021
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Table 3.15: Homes for Sale in Rolling Hills, July 2021
Asking Price Square Footage
Cost per
Square Foot
Year
Constructed
$15,975,000 7,136 $ 2,239 2016
$11,100,000 13,000 $ 854 2007
$8,765,000 5,100 $ 1,719 1951
$7,750,000 4,000 $ 1,938 1968
$7,499,000 8,000 $ 937 2002
$5,800,000 4,453 $ 1,302 1986
$5,795,000 5,884 $ 985 1956
$4,250,000 4,101 $ 1,036 1941
$4,200,000 3,527 $ 1,191 1940
$3,950,000 5,560 $ 710 1989
$3,495,000 3,414 $ 1,024 1947
$2,630,000 3,444 $ 764 1974
$2,500,000 1,467 $ 1,704 1957
$2,499,000 1,752 $ 1,426 1954
MEAN: $6,150,000 $1,273
MEDIAN: $5,020,000 $1,030
Source: Realtor.com, Trulia, Zillow, 2021
Table 3.15 indicates the cost per square foot of those homes currently for sale in Rolling Hills,
along with the asking price, square footage and year of construction. The median cost per
square foot is $1,030, which is substantially higher than the statewide median of $438 per
square foot. Cost per square foot ranged from $710 to $2,239.
3.5.7 Units at Risk of Conversion from Affordable to Market Rate
State law requires the City to identify, analyze and propose programs to preserve any deed-
restricted lower-income housing that could be lost as these deed restrictions expire. However,
there are presently no low-income or income-restricted units in Rolling Hills. As a result, there is
no housing at risk of losing its subsidized status.
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3.6 Future Housing Needs
3.6.1 2021-2029 Regional Housing Needs Allocation (RHNA)
The eight-year housing need for the six-county Southern California region is calculated by the
California Department of Housing and Community Development (HCD). This need was
determined to be 1,341,827 units for the 2021-2029 Sixth Cycle planning period. The total
regional need represents a 225 percent increase over the need calculated for the 2013-2021
Fifth Cycle.
The total regional need is disaggregated to the six counties and 191 cities in the region by the
Southern California Association of Governments (SCAG) through a process known as the
Regional Housing Needs Allocation (RHNA). About 60 percent of the regional need was
assigned to Los Angeles County, which had 53 percent of the region’s population in 2020.
Concentrating the RHNA in Los Angeles County is a response to the greater availability of
transit, urban services, and housing need within the core of the region. If the 1.3 million unit
need was fully constructed, it would represent a 20 percent increase in the region’s housing unit
count in eight years.
The City of Rolling Hills was allocated 45 units of the countywide total, or about .006 percent.
Allocations for nearby cities on the Palos Verdes Peninsula were 191 for Rolling Hills Estates,
199 for Palos Verdes Estates, and 639 for Rancho Palos Verdes. As shown in Table 3.16, these
allocations are significantly higher than they were in the Fifth Cycle, particularly when compared
to the county and region. This represents a shift in the methodology used to allocate units, with
less consideration given to growth potential as defined by local governments and more
consideration given to population, proximity to job centers, and equity factors. Despite the
large increases compared to the last cycle, the RHNA targets for the four Peninsula cities
combined represent one-tenth of one percent of the countywide allocation. The RHNA for each
of the four cities is equal to between four and six percent of each city’s existing housing stock,
compared to 20 percent for the region.
Table 3.16: RHNA by City and Comparison to Fifth Cycle
Jurisdiction
5th Cycle
RHNA
6th Cycle
RHNA
Percent
Increase,
5th to 6th
Cycle
Existing
(2021)
Housing
Units
6th cycle RHNA
as percentage
of existing
inventory
Rolling Hills 6(*) 45 650% 702 6%
Rolling Hills Estates 5 191 3720% 3,157 6%
Palos Verdes Estates 16 199 1144% 5,303 4%
Rancho Palos Verdes 31 639 1961% 16,340 4%
Los Angeles County 179,881 812,060 351% 3,614,809 22%
SCAG Region 412,137 1,341,827 226% 6,679,283 20%
Source: SCAG 2012 and 2021, plus DOF Table E-5 and US Census 2020
(*) In addition to planning for its 5th Cycle allocation, the 2015-2023 Rolling Hills Housing Element includes the 4th Cycle allocation of
22 units, which was carried over. The 45- unit assignment is a 60 percent increase over the prior 28 unit two-cycle total.
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The 6th Cycle allocation by income group is shown in Table 3.17. In Rolling Hills, about 64
percent of the RHNA is for low and very low income households. The figure is comparable to
the other cities on the Palos Verdes Peninsula (ranging from 62 to 65 percent). In Los Angeles
County, only 42 percent of the assigned need is for low and very low income households, and
regionally, it is 41 percent. The greater allocation of lower income housing to the Peninsula cities
reflects the statewide and regional focus on encouraging fair housing and discouraging
economic segregation.
Table 3.17: Comparison of 6th Cycle RHNA by Income Category
Jurisdiction
Very Low %
of total
Low % of
total
Moderate %
of total
Above
Moderate %
of total
Rolling Hills 44% 20% 24% 11%
Rolling Hills Estates 43% 22% 20% 15%
Palos Verdes Estates 41% 22% 24% 13%
Rancho Palos Verdes 40% 22% 20% 19%
Los Angeles County 27% 15% 16% 42%
SCAG Region 26% 15% 17% 42%
Source: SCAG, 2020
The City’s “very low” income housing allocation for 2021-2029 is 20 units. The State
Government Code requires that this total be further allocated between “extremely low” income
households (earning less than 30% of areawide median income) and other “very low” income
households (earning 30-50% of areawide median income). This distribution may be based on
Census income data showing the current percentages of households in these two categories.
According to the most recent HUD Comprehensive Housing Affordability Strategy data, there
are 65 very low income households in Rolling Hills. CHAS indicates 25 are extremely low
income and 40 are very low income. Applied to the 20 unit RHNA, these proportions equal
roughly 7 extremely low income units and 13 other very low income units.
3.6.2 Growth Forecasts
As the regional planning agency for the Los Angeles region, SCAG is responsible for preparing
jurisdiction-level forecasts for each city and county in the region. The latest forecasts were
adopted in September 2020 and describe conditions in a base year (2016) and forecast year
(2045). The six-county region as a whole is expected to grow from 6.012 million households
(2016) to 7.633 million households (2045), an increase of over 1.3 million households in the 29-
year period. Average household size is projected to decline from 3.1 to 2.9 during this period.
SCAG forecasts indicate that Rolling Hills growth will be flat during through 2045. The latest
published forecasts (Connect SoCal Demographics and Growth Forecast, September 2020)
show 700 households in 2016 and 700 households in 2045. However, the numbers are rounded
to the nearest hundred and it is likely that some marginal change will occur. Population over the
equivalent period is shown as increasing from 1,900 to 2,000, a growth rate of about 5 percent
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over 29 years. As noted on page 3.1, the 2020 Census indicates the City lost over 100 residents
between 2010 and 2020, so the SCAG forecasts will need to be adjusted in the future. An
increase of 100 residents would bring the City closer to its 2010 total of 1,860 residents.
3.6.3 Locally Identified Needs
While Rolling Hills is obligated by the Government Code to identify capacity for 29 low and very
low income units and to develop programs to meet this need, the City also has an opportunity to
tailor its housing programs to meet local needs. Based on the Assessment in this chapter, some
of the key findings regarding local needs are:
• The City has a large and growing population of seniors. Some of these residents are on
fixed or limited incomes and face relative high housing costs, including home
maintenance, property taxes, HOA dues, utilities, etc. These residents could benefit
from more senior housing options, ranging from fully independent to assisted living.
• Although there are very few people who list Rolling Hills as their permanent place of
employment, the City supports a relatively large population of service workers, including
caregivers, domestic employees, child care workers and au pairs, landscapers and
gardeners, and others in construction and home maintenance. In addition, there are
public sector workers, firefighters, and teachers/counselors (at Rancho Del Mar)
employed within the city, with incomes that are far below what would be required to buy
a home in Rolling Hills. A limited number of affordable rental units serving these workers
could reduce commute lengths and vehicle miles traveled.
• Adult children of Rolling Hills residents (particularly those in the 18-30 age range) have
limited housing options in the city, other than remaining at home. ADUs could provide
additional options.
• The City’s housing stock is well suited to ADUs and home sharing. More than two-thirds
of the non-vacant housing units in the city have only one or two occupants, despite
homes that are substantially larger than the regional average. There are also 300 fewer
residents in Rolling Hills today than there were 50 years ago, despite larger homes and
more square feet of living space. Additional residents would have a lower impact on
infrastructure, services, and the environment if accommodated in the footprint of existing
homes as opposed to new construction.
• Creating an ADU or deciding to share one’s home is a personal choice and is entirely at
the discretion of the homeowner. However, the City can create incentives that make it
easier and more affordable for homeowners to consider this option.
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4.0 Housing Opportunities and Resources
4.1 Introduction
This section of the Housing Element evaluates potential opportunities to meet the City’s
Regional Housing Needs Allocation (RHNA). It includes an inventory of potential housing sites in
the city and an evaluation of Accessory Dwelling Unit (ADU) and Junior ADU potential. The
analysis in this section demonstrates that Rolling Hills has the capacity to accommodate its
RHNA assignment of 45 additional housing units, including 29 units that are affordable to low
and very income households.
Two other topic areas are covered in this chapter. As required by State law, this chapter
discusses opportunities for energy conservation in the city. Reducing energy costs can reduce
overall housing costs, contributing to affordability. This chapter also identifies potential financial
resources to support the provision of affordable housing and the maintenance of existing
housing in the city.
4.2 Approved or Pending Development
There are 12 housing units in the city that are approved or pending and not yet constructed. All
of these units are expected to become available for occupancy during the 2021-2029 period and
therefore count toward meeting the RHNA. These units include three market-rate single family
homes and nine ADUs. These units are listed in Table 4.1 below, including an assignment of
each unit by income category.
Table 4.1: Committed Development for the 2021-2029 RHNA period
ID Assessor’s Parcel
Number (APN)
Address Description Income Category
A 7567-011-020 23 Crest Road E New SF home on vacant lot Above Moderate
B 7567-001-018 1 Poppy Trail New SF home on vacant lot Above Moderate
C 7569-020-004 8 Middleridge Ln S. New SF home on vacant lot Above Moderate
D 7567-011-020 23 Crest Road E ADU (1000 SF) Above Moderate
E 7569-001-031 2950 Palos Verdes N ADU (1000 SF) Above Moderate
F 7569-026-008 13 Buggy Whip Dr. ADU (997 SF) Above Moderate
G 7569-023-006 33 Crest Road W ADU (946 SF) Above Moderate
H 7569-026-012 27 Buggy Whip Dr. ADU (800 SF) Moderate
I 7567-006-036 23 Chuckwagon ADU (800 SF) Moderate
J 7567-005-028 79 Eastfield Dr. ADU (799 SF) Moderate
K 7567-014-022 23 Georgeff Road ADU (620 SF) Low
L 7567-008-009 63 Crest Rd E ADU (580 SF) Low
Sources: US Decennial Census, 1970-2010. California Dept. of Finance, 1/1/21 estimate, 2020 Census (8/12/21 release)
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The assignment of the ADUs by income category is based on the size of the unit. Units larger
than 800 SF are presumed to be “above moderate”; units 650-800 SF are presumed to be
“moderate”; units 500-650 SF are presumed to be “low”; and units smaller than 500 SF are
presumed to be “very low.” This is based on local rental data for comparably sized ADUs (see
Section 4.6 and the footnote below).1
4.3 Vacant Sites
Table 4.2 identifies vacant residentially zoned sites in Rolling Hills. These sites are shown
graphically on Figure 4.1. For each site, the table indicates the theoretical number of units
permitted by zoning (based on acreage and minimum lot size requirements) and the “realistic”
number of units based on lot configuration, access, and terrain.2 Some of the vacant parcels are
characterized by physical constraints that preclude their development, including steep or
unstable slopes or landslide hazards. A few are landlocked and have no access. The acreage
data for each site is based on assessor parcel maps and subtracts out unbuildable easements
such as flood hazard areas and roads.
There are 34 parcels identified totaling, 124.8 acres. All of these parcels are in private
ownership. Twenty are estimated to be developable and 14 are severely constrained and
presumed undevelopable for the 2021-2029 planning period. The constrained parcels include
five lots that are landlocked with no street frontage and nine that are in the Flying Triangle
Landslide Hazard Overlay area. Several of the lots in the landslide area had homes that were
destroyed by earth movement in the 1980s and early 1990s.
For the 20 remaining vacant lots, Table 4.2 indicates the “realistic” potential for 20 single family
homes. This excludes accessory dwelling units, which are addressed later in this chapter.
1 The City is presuming that the two smallest ADUs listed in Table 4-1 will be affordable “by design” to lower income
households. ADU permits were issued for these two units on October 27, 2020 and May 20, 2021 respectively. Both
of these projects involve converting existing two-story stables (located on two separate parcels about a mile apart)
into ADUs of approximately 600 square feet each. Neither of these units has a finaled building permit yet. Given the
eight year timeframe of the Housing Element, both units are expected to be completed before 2029.
These are market rate units. The assumption that they will be affordable to low-income households is based on the
size of the units and the fact that they are being created by repurposing existing space rather than building new
space, which presumably would cost more. Current HCD income limits for Los Angeles County indicate that the
upper end of the low-income range for a two-person household is $75,700. At 30 percent of household income,
monthly housing costs would need to be $1,892 to be considered affordable. The City’s survey of comparable
properties in 2021 found that ADUs of 400 to 600 square feet in the Palos Verdes Peninsula sub -market were renting
for $1,800 per month or less. The two new ADUs are presumed to rent at comparable rates. Moreover, SCAG’s ADU
survey for Los Angeles County found that 60% of all ADUs in the region could be presumed affordable to lower
income households. As these two ADUs are the smallest of the nine that are listed in the Housing Element (see Table
4-1), it is reasonable to presume they would fall in this range.
2 Excludes additional units that could be permitted under SB 9.
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Table 4.2: Vacant Residentially Zoned Sites (sorted by APN) (see note at end of table)
Site APN Address or Location Zoning General
Plan
Acres
(*)
Theoretical
Unit Yield
Realistic
Yield, excl.
ADUs
Comments
1 7567-006-001 15 Chuckwagon Road RAS-1 LDR 2.27 2 1
2 7567-006-014 Behind 6 Chesterfield RAS-1 LDR 1.22 1 0 Landlocked (no road access)
3 7567-009-007 5 Southfield Drive RAS-1 LDR 1.61 1 1
4 7567-010-013 East of 3 Packsaddle Rd W RAS-1 LDR 1.24 1 1
5 7567-010-015 North of 3 Packsaddle Rd W RAS-1 LDR 1.49 1 0 Landlocked (no road access)
6 7567-011-017 54 Portuguese Bend Road RAS-2 VLDR 2.67 1 0 Severely constrained - slide hazards
7 7567-012-019 SW of 56 Portuguese Bend RAS-2 VLDR 0.96 1 0 In landslide hazard area
8 7567-012-020 53 Portuguese Bend Road RAS-2 VLDR 1.46 1 0 In landslide hazard area
9 7567-012-026 4 Wrangler Road RAS-2 VLDR 1.82 1 0 Severely constrained - slide hazards
10 7567-012-035 66 Portuguese Bend Road RAS-2 VLDR 1.64 1 0 Severely constrained - slide hazards
11 7567-012-036 64 Portuguese Bend Road RAS-2 VLDR 1.71 1 0 Severely constrained - slide hazards
12 7567-012-038 62 Portuguese Bend Road RAS-2 VLDR 1.84 1 0 Severely constrained - slide hazards
13 7567-013-005 End of Portuguese Bend Rd RAS-2 VLDR 19.81 1 0 Flying Triangle Landslide
14 7567-013-007 2 Running Brand RAS-2 VLDR 7.09 1 0 Severely constrained - slide hazards
15 7567-014-005 West of 5 El Concho Ln RAS-1 LDR 2.12 2 0 Landlocked (no road access)/ canyon
16 7567-014-011 West of 24 Georgeff Rd RAS-1 LDR 1.66 1 0 Landlocked (no road access)/ canyon
17 7567-014-013 North of 27 Georgeff Rd RAS-2 VLDR 3.79 1 0 Landlocked (no road access)/ canyon
18 7567-014-031 Access b/w 1 and 3 Poppy Tr. RAS-2 VLDR 6.85 3 1 Rear of 8 Reata Lane
19 7567-015-036 North of 1 Georgeff RAS-2 VLDR 4.56 2 1
20 7567-017-017 Between 4 and 5 Ranchero RAS-2 VLDR 3.52 2 1 Access at end of Ranchero cul-de-sac
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Table 4.2, continued
Site APN Address or Location Zoning General
Plan
Acres
(*)
Theoretical
Unit Yield
Realistic
Yield, excl.
ADUs
Comments
21 7567-017-045 17 Cinchring Rd RAS-1 VLDR 1.52 1 1 Driveway access b/w 15 and 20 Cinchring
22 7569-001-020 B/w 2954 and 2958 PV Dr N RAS-1 LDR 1.03 1 1
23 7569-001-036 B/w 6 and 14 Roadrunner RAS-1 LDR 1.00 1 1
24 7569-004-026 B/w 35 and 45 Saddleback RAS-1 LDR 3.39 3 1
25 7569-005-008 80 Saddleback RAS-1 LDR 6.52 6 1 This parcel is currently for sale
26 7569-012-022 W of 25 Portuguese Bend RAS-2 VLDR 2.30 1 1
27 7569-012-025 N of 25 Portuguese Bend RAS-2 VLDR 3.51 1 1
28 7569-013-017 North of 10 Pine Tree Lane RAS-2 VLDR 2.41 1 1 One of three adj. vacant lots
29 7569-013-018 South of 18 Pine Tree Lane RAS-2 VLDR 2.20 1 1 One of three adj. vacant lots
30 7569-013-020 18 Pine Tree Lane RAS-2 VLDR 2.13 1 1 One of three adj. vacant lots
31 7570-024-019 Storm Hill Lane, Parcel 1 RAS-2 VLDR 6.04 3 1 7.6 ac parcel with 1.6 acres of easements
32 7570-024-020 Storm Hill Lane, Parcel 2 RAS-2 VLDR 11.64 5 1 34.7 ac parcel with 23 acres of easements
33 7570-024-021 Storm Hill Lane, Parcel 3 RAS-2 VLDR 10.10 5 1 17.3 ac parcel with 7.2 acres of easements
34 7570-025-022 N/ end of Johns Canyon Road RAS-2 VLDR 1.68 1 1
TOTAL 124.8 57 20
Sources: Barry Miller Consulting, 2021; LA County GIS Portal, 2021
(*) Acreages generally exclude unbuildable easements
Note: This is a roster of existing vacant residentially zoned land in Rolling Hills. No changes to the zoning of these parcels is proposed, and no specific projects are proposed on these
sites. Future development applications on these properties would be subject to environmental review or applicable exemptions, consistent with the requirements of California
Environmental Quality Act.
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Figure 4.1: Vacant Residentially Zoned Sites
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Several of the sites, such as those on Storm Hill Lane, are quite large and could potentially be
subdivided. However, the “realistic” estimates are intended to be conservative and do not
presume subdivision of any of the sites. These estimates also reflect the absence of sewer
services on these sites, their very steep topography, and the severe risk of wildfire.
The vacant lots have the potential to completely meet the regional need for above moderate
income units assigned to Rolling Hills. As noted, this need is five units for the 6th Cycle. Since
three new single family homes are already in the pipeline (see Sec 4.2), the remaining need is
two units. Several of the vacant sites are currently for sale, making it likely that the City will
exceed its above moderate income allocation for 2021-2029.
Table 4.2 indicates the General Plan and zoning designations for each vacant site. Of the
developable parcels, eight are in the RAS-1 zone (one acre minimum) and 12 are in the RAS-2
zone (two-acre minimum). No zoning changes are proposed or required to meet the above
moderate income or moderate income allocations.
4.4 Lot Splits
There are a number of parcels in Rolling Hills with lot sizes that are more than double the
minimum acreage required by zoning. Some of these parcels could theoretically be subdivided
into two or more lots. Moreover, SB 9 (effective January 1, 2022) includes provisions to allow
single family lots to be divided to allow new homes.
The potential for lot splits in Rolling Hills is very limited due to the configuration of the lots as
well as environmental hazards, evacuation constraints, and the lack of a sewer system. Many of
the city’s larger lots have limited street frontage and irregular dimensions that would make it
difficult to divide them. Moreover, the platting pattern responds to topography, and the larger
lots are often steep and geologically constrained, making them difficult to subdivide. Their
division could result in lots with no buildable area, street frontage, or access.
Although a limited number of new homes could conceivably occur as a result of future lot splits,
a capacity estimate has not been made due to the constraints inherent in the community’s
topography and hazards. In addition, the reliance on septic tanks makes subdivision infeasible
from a public health perspective, even on many larger lots. The supply of vacant lots is
sufficient to meet the above moderate income RHNA without relying on lot splits.
4.5 Non-Vacant Sites
While Rolling Hills’ above moderate income (or “market rate”) RHNA can be met on vacant
residentially-zoned land, the City’s moderate, low, and very low income RHNA will need to be
accommodated through a combination of development on non-vacant sites and accessory
dwelling units (ADUs). The text below addresses non-vacant sites. ADUs and Junior ADUs
(JADUs) are discussed in Section 4.6.
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The sites described below provide the potential for 16 units of low- and very low-income
housing. This potential is associated with the 31-acre Palos Verdes Peninsula Unified School
District (PVPUSD) site, where an overlay zone was created in 2021 to facilitate affordable
housing. Other non-vacant properties addressed here are the City Hall complex, the Tennis
Court Facilities, the Los Angeles County Fire Station, and the Daughters of Mary and Joseph
Retreat Center parking lot. These properties have been determined to not be viable as potential
housing sites. Non-vacant housing sites are shown in Figure 4.2.
4.5.1 PVPUSD Site/ Rancho Del Mar Overlay Zone (APN 7569-022-900)
In March 2021, the City of Rolling Hills adopted the Rancho Del Mar Overlay Zone on the 31-
acre Palos Verdes Peninsula Unified School District (PVPUSD) property located at 38 Crest
Road. Although the site is technically non-vacant, roughly three-quarters of the property (23
acres) is open space. The remaining areas are underutilized and could be repurposed.
Appendix B of this Housing Element provides a detailed evaluation of the site, demonstrating
that it is the most suitable location for multi-family housing in Rolling Hills. The site also provides
the City’s best opportunity to meet its requirements for low- and very low-income units. It is
located outside the jurisdiction of the Rolling Hills Community Association, outside the Rolling
Hills security gates, and is one of the largest properties in the city. It includes multiple areas that
are vacant and underutilized, relatively flat, and well buffered from adjacent uses. The site is
also one of the only properties in Rolling Hills that is served by a public sewer system. This
substantially reduces multi-family development costs and addresses an infrastructure constraint
that makes affordable housing cost-prohibitive in almost all of the city. The site is also ½ mile
from the corner of Crenshaw and Crest Roads in Palos Verdes Estates, which is served by four
bus lines.
Existing uses on the PVPUSD site include Rancho Del Mar Continuation High School and a
maintenance facility leased to the Palos Verdes Peninsula Transit Authority (PVPTA). Each of
these activities is discussed below.
Rancho Del Mar School was initially developed as an elementary school in 1960. The school
closed in 1980 and was repurposed as a continuation school in 1986. The continuation school
was initially intended as a temporary use but has been in place for 35 years. The possibility of
residential development on the site has been considered in the past. Enrollment at Rancho Del
Mar has been steadily declining and was just 32 students in the 2020-2021 school year
(California Department of Education, DataQuest). Enrollment has declined every year since
2014 and is now less than half of what it was just five years ago.3
The Beach Cities Learning (BCL) Center uses four classrooms in the school building. BCL
serves students aged 11-22 with emotional, behavioral, and learning disabilities that cannot be
addressed in public school settings. Students participate in individual and group counseling run
by licensed therapists on-site. Total enrollment in 2019-20 was 17 students, with two teachers
on-site (School Accountability Report Card, 2021).
3 California Department of Education indicates the following enrollment figures: 2020-21 (32 students); 2019-20 (46
students); 2018-19 (47 students); 2017-18 (58 students); 2016-17 (69 students); 2015-16 (72 students); 2014-15 (79
students)
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Figure 4.2: Non-Vacant Sites Evaluated
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The school building is adjoined by a lawn, playing fields, and school parking lot. The complex
serves only a fraction of the number of students for which it was designed. Moreover it
occupies just 1.9 percent of the 31-acre site. Sale of the school property could generate
significant revenue for the School District.
The only other active use on the property is the PVPTA maintenance facility, which occupies 4.5
acres. The PVPTA facilities include maintenance buildings and administrative offices and are
self-contained in the west central part of the site. While PVPTA has no immediate plans to
relocate, the site could be sold in the future or repurposed by the School District. In any event,
the facilities occupy only 15 percent of the 31-acre site and have co-existed with the nearby
school and adjacent residential uses for many years.
Roughly 75 percent of the PVUSD site is vacant, and at least five developable areas have been
identified on the campus. These include the school itself (in the event it is closed), the ballfield
east of the school, the large lawn adjacent to the school, a vacant area between the school and
the PVPTA facility, and the undeveloped area west of the PVPTA facility. Each of these areas is
at least one acre in size. The area west of the PVTPA facility is the largest of the five areas and
the one deemed most viable as a multi-family housing site. It is the closest location to Crest
Road and could easily be developed without affecting activities at either the school or the transit
facility. Accordingly, the Rancho Del Mar Overlay Zone identifies this area as the location for
future affordable housing.
The entire Rancho Del Mar site has a General Plan designation of Very Low Density Residential
and an underlying zoning designation of RAS-2. The designation permits 16 units on the site,
based on the site area of 31 acres and the density of one unit per two acres (31/2 = 15.5,
rounded up to 16). However, the General Plan (as amended in 2021) requires that the allowable
density for this site be transferred to a single location on the property where a density standard
of 20-24 units per acre applies. This is reinforced and codified by the Rancho Del Mar Overlay
Zone (RDMO). The RDMO effectively takes the 16 units of housing and transfers it to a single
location on the west side of the parcel. The RDMO further mandates that any housing built on
the site be 100% affordable to very low and/or low income households. Such development is
permitted by right, provided that the development complies with the objective development and
design standards contained in the RDMO.
The RDMO also provides opportunities for emergency shelter and single room occupancy
(SRO) hotels. Emergency shelter is permitted by right, subject to objective development
standards that have been adopted by the City. SROs require a conditional use permit and are
also subject to objective design standards. These provisions create opportunities for extremely
low income households as well as low and very low income households.
Creation of the RDMO occurred collaboratively with the School District. District staff confirmed
that there are no prohibitions on the application of this zoning overlay or the use of the property
for affordable housing. Moreover, the District has expressed interest in developing housing for
teachers in the past; such units would likely meet income criteria for lower income housing.
Programs in this Housing Element support active communication with the School District
regarding the disposition of the area west of the PVPTA for affordable housing.
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The PVUSD site also meets the “carry-over” criteria established by the State for sites that were
counted in the prior cycle Element. It is zoned with a minimum density of 20 units per acre and
permits “by right” development of affordable housing, subject to objective design and
development standards. The current zoning was put in place just six months before the end of
the Fifth Cycle planning period and was principally intended to provide a housing opportunity for
the Sixth Cycle.
For the 2021-2029 Housing Element, the capacity figure of 16 lower income units is being used
for the site. Under State Density Bonus law, a 100% affordable project would be eligible for an
80 percent density bonus. This could potentially result in 29 units of lower income housing,
which is equal to the total number of units assigned to the City under the Sixth Cycle RHNA.
However, State law precludes the City from counting potential density bonus units when
determining its RHNA capacity. As explained in Section 4.6, the remaining 13 units will be met
through Accessory Dwelling Units.
As indicated in Appendix B, the PVUSD site is large enough to accommodate multi-family
housing, emergency shelter, and an SRO on the same property, either in the same sub-area or
independently in different parts of the site. Neither the shelter beds nor the SRO rooms would
be counted as independent “dwelling units” so they could be accommodated under existing
General Plan densities. Moreover, all three of these uses are permitted by right, provided they
meet the Municipal Code objective standards (which were previously reviewed by HCD in 2020).
As noted above, the preferred location for the multi-family housing is in the western part of the
property, near the access drive and closest to public transit and other urban services (see
Figure 4 on Page B-8 in the Housing Element Appendix—this is labeled Area 5). This area is
four acres. Only about one acre would be required for multi-family housing, leaving three
vacant acres for the SRO and/or emergency shelter if all three uses are located in this area.
An SRO or emergency shelter could also locate in areas 1, 2, 3, or 4, as shown in Figure 4 in
Appendix B, page B-8. As the map and text indicate, Area 1 is a 1.6-acre site that is flat and
vacant. Area 2 is a 1.0-acre site that is flat and vacant. Area 3 is a 1.75-acre former school
building that is mostly vacant and underutilized. Portions of this building could be easily be
converted to group residential uses. Area 4 includes a ballfield and parking lot which
collectively occupy 2.5 acres. There are no limitations in the housing overlay ordinance that
limit where shelters or SROs can locate within the 31 acres. Areas 1, 2, 3, 4, or 5 all have
adequate space for these uses.
4.5.2 Rolling Hills City Hall (APN 7569-003-904)
This site is located at the southeast corner of Palos Verdes Drive North and Portuguese Bend
Road. Palos Verdes Drive North is a major thoroughfare and provides access from Rolling Hills
to surrounding communities and the regional roadway network. Portuguese Bend Drive is a
local street but the primary north-south route through the city, connecting to Crest Drive. This is
one of the only sites in Rolling Hills that is located outside the security gates, and adjacent to a
transit line. An elementary school and park are nearby in the City of Rolling Hills Estates.
The property is 1.22 acres and is roughly rectangular in shape. It has a General Plan
designation of Civic Center and a zoning designation of Public Facilities (PF). Neither of these
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designations permits housing, so a General Plan amendment would be required to enable its
development. The site is owned by the City of Rolling Hills.
The parcel currently contains three structures: City Hall, the Rolling Hills Community Association
Administration Building, and an accessory structure that houses an emergency generator. The
site is relatively flat, although it is adjoined by a steep canyon to the east. There is a single
family residence located to the south. To the west, there is a guardhouse in the median of
Portuguese Bend Road, and a public tennis court on the west side of the road. Site ingress and
egress is from Portuguese Bend Road. Direct access to Palos Verdes Drive North is not feasible
due to high speeds and volumes and the existing traffic signal at the corner of Portuguese Bend.
Given the existing uses on the site and its function as the only civic building in Rolling Hills, the
site is not a practical location for multi-family housing. Its rezoning is not recommended at this
time.
4.5.3 Rolling Hills Tennis Court Facility (APN 7569-015-900)
This site is located immediately west of City Hall on the southwest corner of Palos Verdes Drive
North and Portuguese Bend Road. It is adjoined by a residence and horse stables on the west
and south and by street frontage on the north and east. The site is 0.86 acres and is one of the
few properties located outside the City security gates. It is currently in use as a community
tennis facility, with three tennis courts in total.
Like City Hall, the property has a General Plan designation of Civic Center and a zoning
designation of Public Facilities (PF). Neither of these designations permits housing, so a
General Plan amendment would be required to facilitate residential development. The site is
owned by the City of Rolling Hills. Parking for the tennis courts is provided on the City Hall
property to the east.
The site could potentially be converted to housing. At a density of 20 units per acre, it would
yield 17 units. However, the community would lose parkland, which is already in short supply,
as well as a well-used recreational amenity and gathering place. As a result, no rezoning is
recommended.
4.5.4 Los Angeles County Fire Station (APN 7567-017-900)
This is a 2.2-acre site owned by the County of Los Angeles located at 12 Crest Road East. It is
currently developed with Battalion 14 Fire Station 56, which provides fire and rescue services
for Rolling Hills and nearby communities on the Palos Verdes Peninsula. While much of the
parcel is open space, it occupies a steep downslope and would require costly grading and
construction. Moreover, the Fire Station is an essential community asset and long-term use.
This site is also located in an area that is far from services and amenities, not served by transit,
and under the oversight of the Rolling Hills Community Association. Rezoning to allow housing
is not recommended.
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4.5.5 Daughters of Mary and Joseph Retreat Center (APN 7569-022-006)
The parcel is located on the western edge of the City, immediately west of the Rancho Del Mar
(PVPUSD) site. It is outside the western City gatehouse at 5300 Crest Road and forms part of
the 8-acre Daughters of Mary and Joseph Retreat Center, which straddles the border between
Rolling Hills and Rancho Palos Verdes. The Retreat Center consists of two parcels—a 5.95-acre
parcel located entirely in Rancho Palos Verdes that contains the buildings, gardens, and a
portion of the parking lot, and a 1.96-acre parcel located entirely in Rolling Hills that contains
parking, landscaping, and unimproved property.
The parcel has a General Plan designation of Very Low Density Residential and is zoned RAS-2.
These designations would allow a single dwelling unit on the site. A General Plan Amendment
and rezoning could be considered to allow multi-family housing on the property, or on a portion
of the property. The unimproved portion of the site is about 0.67 acres, which could hypo-
thetically support 13 units if developed at a density of 20 units per acre. This area has a 15-30
percent slope and would require grading to support multi-family construction. The flatter portion
of the site (i.e., the parking lot) is larger and would be easier to develop but is currently in active
use.
The City has had prior conversations with the Retreat owners regarding the possibility of
housing on this site. While there are no plans to redevelop the property, it remains a potential
long-term opportunity.
4.5.6 Conclusions
Based on the analysis above, only the Rancho Del Mar site is considered a viable housing site at
this time. Consistent with the General Plan and Zoning amendments completed in 2021, the site
is viable for 16 units of low/very income housing.
4.6 Accessory Dwellings
The City of Rolling Hills has estimated the potential for 40 ADUs and JADUs over the eight-year
planning period, or approximately five (5) ADUs per year. This projection is based on the
permitting of nine ADUs in 2021 alone, and the implementation of Housing Element program
that encourage ADUs in the coming years. It is further based on a citywide survey conducted in
October 2020 (with a 30 percent response rate) indicating that:
• 25 percent of the survey respondents indicated they had a secondary building on their
property with a kitchen, bath, and sleeping area. Another 25 percent indicated their
home had two kitchens or an area that could be “easily converted” into an ADU.
• 24 percent of the survey respondents indicated they would consider developing an ADU
on their property now, with another 15 percent indicating they would consider this at
some point in the future.
• 8 percent of the survey respondents indicated they would rent their ADU to a tenant
while 24 percent said they would use it for a caregiver or employee and 31 percent said
they would use it for a family member.
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Extrapolating these results to the citywide total of 639 households, the results suggest that:4
• An estimated 153 households might be interested in developing an ADU on their
properties, with another 95 potentially interested at some future date.
• An estimated 51 households would rent their ADU to a tenant, 153 would be interested in
using their ADUs for a caregiver or domestic employee, and 198 would consider using
an ADU for a family member.
The survey, combined with physical characteristics of the City’s large lots and building stock,
indicate significant potential for ADU development. ADUs could be created through new
construction, conversion of existing guest houses and barns, and reconfiguration of interior
spaces in primary residences. The latter category includes Junior ADUs (JADUs), which are
often affordable to very low income tenants “by design” given their small size.
A majority of the 2020 survey respondents indicated they would use their ADU for a family
member, caregiver, or other domestic employee. A substantial number of these households
would likely pay reduced rent, or no rent at all. Some would likely meet HCD criteria for
extremely low income households.
In order to demonstrate the suitability of ADUs and JADUs to satisfy the RHNA, the City must
estimate the affordability of ADUs by income category. This requires data on occupancy and
rents. The 2020 ADU survey conducted by the City identified 12 ADU tenants, including two
extremely low income, two very low income, one low income, and seven who were moderate or
above moderate income (see Appendix C). This is based on data provided by survey
respondents and the HUD income categories by household size for Los Angeles County. The
City’s 2020 ADU survey produced only two data points for rents—one unit renting for $950 and
another for $1,500. Both of these were market-rate units with no deed restrictions.
In addition, weekly scans of Craigslist ads in 2021 identified two ADUs in Rolling Hills and two in
Rolling Hills Estates, with rents of $895 for a “basement apartment”, $1,200 (for a JADU at an
unidentified address), $1,800 (for a one-bedroom one bath “guest house”), and $3,950 for a
two-bedroom one bath, 1,000 square foot guest house. Assuming a household size of two, the
rents for these six units correspond to two very low-income units, three low income units, and
one above moderate income unit. This is a limited sample size, however, and it excludes units
that may be occupied “rent free” or without advertising.
In 2020, the Southern California Association of Governments conducted a survey of ADU rents
in multiple jurisdictions across the region. The stated purpose of the survey was to “provide
local governments with assumptions for ADU affordability that can be used to assign ADUs to
income categories for the purpose of Sixth Cycle Housing Elements.”5 The SCAG study was
organized by geographic sub-area, including one sub-area corresponding to Coastal Los
Angeles County. The survey included an estimate of the percentage of ADUs that would be
affordable to “Extremely Low Income” households, which included units that were available for
4 The numbers in the three bullets below this sentence have been developed by applying the percentages from the
survey to the total citywide housing stock. This assumes that th e 192 households who responded are representative
of the 639 households that live in Rolling Hills.
5 SCAG Regional Accessory Dwelling Unit Affordability Analysis, published by SCAG in 2020
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little or no rent and were not advertised (for instance, a detached in-law unit occupied by the
elder parents of the homeowner).
The distribution identified in the SCAG survey (for Coastal LA County) was as follows:
Extremely Low: 15%
Very Low: 2%
Low: 43%
Moderate: 6%
Above Moderate: 34%
This distribution is roughly consistent with the sample taken by the City of Rolling Hills and the
survey data collected in 2020. Applied to the City’s projection of 40 units, the allocation using
SCAG’s methodology would be:
Extremely Low: 6 units
Very Low: 1 unit
Low: 17 units
Moderate: 2 units
Above Moderate: 14 units
This is equivalent to 24 lower income units and 16 moderate and above moderate units.
All of the ADUs permitted to date have been “full” ADUs, meaning they are at least 500 square
feet in size. Among the City’s Housing Element programs is an initiative to create at least five
JADUs. Given the small size of these units and the fact that they are created by repurposing
existing space, they are more likely to be affordable to very low income households, thus shifting
the distribution shown above so that more “very low” income units are produced.
In addition, based on actual production of ADUs in 2021, the City anticipates a smaller share of
“Low” income units and a larger share of “Moderate” income units. Moderate income units
represented one-third of the production in 2021, which suggests something closer to the
following distribution for 2022-2029:
Extremely Low: 7 units (occupied rent-free or at minimal charge)
Very Low: 5 units
Low: 6 units
Moderate: 8 units
Above Moderate: 14 units
Housing Element programs have been developed to ensure that the City reaches its very low/
extremely low income ADU targets.
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4.7 Summary of Ability to Meet RHNA
As shown in Table 4.3 below, the combination of recently approved housing units (expected to
be occupied in 2022), future affordable units on the Rancho Del Mar site, and new ADUs can
accommodate the RHNA allocation in all income categories. The table illustrates a surplus
capacity of seven lower income units based on projected ADU production over the planning
period.
Table 4.3: Summary of Housing Opportunities, 2021-2029
Income Category TOTAL
Extremely Low/
Very Low Low Moderate
Above
Moderate
Approved Development -- 2 3 7(*) 12
Vacant Residential Lots -- -- -- 20 20
Rancho Del Mar site (**) 8 8 -- -- 16
Accessory Dwelling Units 12 6 8 14 40
TOTALS 20 16 11 41 88
RHNA 20 9 11 5 45
Surplus/ Deficit 0 +7 0 +36 +43
Adequate Sites? YES YES YES YES YES
Source: Barry Miller Consulting, 2021
(*) includes 3 new homes and 4 large ADUs, see Table 4.1.
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4.8 Opportunities for Energy Conservation
Home energy costs, including electric and natural gas utility bills, are considered part of monthly
housing expenses. The large floor area of many Rolling Hills homes suggests that this may be
an important consideration in the city. Home energy bills can be substantial, particularly for
senior households on fixed incomes. Government Code Section 65583(a)(7) requires the
Housing Element to include an analysis of opportunities for residential energy conservation and
reduced energy costs.
The US Department of Health and Human Services provides funding for a program known as
the Low-Income Home Energy Assistance Program (LIHEAP). In California, the program is
administered by the Department of Community Services and Development. LIHEAP is aimed at
assisting low-income households that pay a high portion of their incomes to meet their energy
needs. This is achieved through one-time financial assistance grants covering the utility bills of
eligible households, an energy crisis intervention program to help low-income households in
danger of having their utilities turned off, free weatherization and energy efficiency upgrades to
qualifying households, and energy education and budget counseling. Low income customers
are also eligible for reduced rates through the California Alternative Rates for Energy (CARE)
and Family Electric Rate Assistance (FERA) programs.
Southern California Edison (SCE) and the Southern California Gas Company offer energy
conservation and assistance programs. These include home energy audits, rebates on energy-
efficient appliances, and weatherization assistance to qualified low-income companies. SCE has
an energy management assistance program for qualifying households.
While the measures above are aimed at meeting day to day utility bills, there are also more
systemic long-term ways to reduce home energy costs. Nearly half of the homes in Rolling Hills
were built before 1960, many without consideration given to the cost and availability of energy.
Weatherization and insulation can provide significant reductions in home energy use and reduce
monthly utility bills. Replacement of older appliances can likewise provide significant long-term
savings. A variety of rebates and other financial incentives are available for homeowners.
In addition, all new construction in California is subject to State building code and energy
standards, including Title 24. These requirements apply to most remodeling projects, creating
opportunities to retrofit older homes. The standards are periodically updated to reflect new
technology and targets for reducing greenhouse gas emissions. The latest standards
incorporate the California Green Building Code, including energy-saving design standards for
walls, ceilings, and floor installations, as well as heating and cooling equipment and systems, gas
cooling devices, window glazing, and the use of renewable energy sources such as solar
energy. These standards are incorporated in Title 15 of the Rolling Hills Municipal Code (the
Building Code).
The City also encourages the use of solar panels to maximize energy efficiency, as well as the
application of passive solar design principles that reduce heating and cooling costs. These
measures include home orientation and siting, landscaping to reduce direct sunlight, placement of
windows to support home heating and cooling, the use of skylights, and incorporation of overhangs
and shade structures. In addition, home energy costs can be reduced by incorporating some or all of
the measures listed below:
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• Solar heating for swimming pools
• Flow restrictors on hot water faucets and showerheads (to reduce natural gas use)
• Tankless water heaters
• Attic ventilation systems that reduce attic temperatures during summer months.
• Insulation, caulking, and weatherstripping to guard against heat gain in the summer and
prevent heat loss in the winter. These measures can reduce energy use for air-conditioning
up to 55 percent and for heating as much as 40 percent.
• Proper maintenance and use of stoves, ovens, clothes dryers, washing machines,
dishwashers, and refrigerators.
• Purchase of air-conditioning units and refrigerators on the basis of efficiency ratings (the
State prepares a list of air-conditioning and refrigerator models that detail the energy
efficiency ratings of the product)
Indoor and outdoor lighting also impacts home energy costs. The City has adopted standards
for outdoor lighting through its Municipal Code (Section 17.16.190(E)). Energy efficient lighting
is required in most cases, and outdoor lighting is prohibited in many instances to retain dark
skies and the community’s rural character. For interior spaces, the costs of lighting can be
reduced through purchase of light bulbs which produce the most lumens per watt, avoidance of
multi-bulb mixtures, and use of long-life bulbs and clock timers.
As a member of SCAG, the City also participates in the Regional Comprehensive Plan to
achieve a sustainable future. The City also has joined ICLEI, which is a membership association
of local governments committed to advancing climate protection and sustainable development.
Rolling Hills also is a participant in the South Bay Cities Council of Governments Environmental
Services Center. The Center serves as a clearinghouse for information on energy efficiency,
renewable energy, and sustainability. It assists residents, businesses, and public agencies with
incorporating energy-saving practices in their daily lives and operations.
Water conservation provides another opportunity to reduce home utility costs. The City has
adopted a Water Efficient Landscape Ordinance (Chapter 13.18 of the Municipal Code), and
encourages the use of low-flow plumbing fixtures and products to reduce water use.
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4.9 Financial Resources
This section of the Housing Element summarizes financial resources for affordable housing in
Rolling Hills. An overview of federal and State programs, as well as tax credit programs, is
provided below.
4.9.1 Federal Programs
A major source of housing assistance in many communities is the Community Development
Block Grant (CBDG) program (including the Los Angeles County Urban County CDBG program,
which provides federal funds to about 50 participating small cities). Rolling Hills no longer
participates in this program, as the cost of its administration made it infeasible. When the City
did participate, it received approximately $6,000 per year. The City transferred these funds to
Rancho Palos Verdes, an adjacent city which has a population roughly 25 times larger than
Rolling Hills.
Opportunities for funding through other federal programs is limited. For example, the federal
Home Investment Partnership (HOME) program is designed to increase home ownership and
affordable housing opportunities for low and very low-income Americans. The funds are
distributed to jurisdictions based on need. They support programs such as loans to assist low-
income families with down payments to purchase homes, tenant-based rental assistance,
rehabilitation of affordable housing, and relocation assistance for low-income tenants. The high
cost of land and construction, limited opportunities for home ownership, absence of a sewer
system, and very high incomes in Rolling Hills, make the City non-competitive for these
applications.
Likewise, HUD’s Section 202 program provides funding for construction, rehabilitation, and
acquisition of structures for supportive housing for very low-income seniors. It offers interest-
free capital advances, as well as rental assistance funds. The funds are provided to private and
non-profit organizations and consumer cooperatives and are highly competitive. Use of these
funds in Rolling Hills is constrained by the community’s natural hazards, lack of infrastructure,
and high land costs. The use of project-based federal Section 8 funding for new affordable
housing and substantial rehabilitation of existing housing is infeasible in Rolling Hills for these
same reasons.
The federal government also operates the Section 8 Housing Choice Voucher Program. This
program assists very low-income families, the elderly, and the disabled in securing housing in
the private market. Participants may choose any housing that meet the requirements of the
program. A housing subsidy is paid directly to the property owner, and the tenant pays the
difference between the actual rent charged and the amount subsidized by the program.
Housing choice vouchers could potentially be used on ADUs, but this is rarely done in practice.
HUD also operates the Section 203(k) program, which facilitates the rehabilitation and repair of
single-family residential properties by insuring homeowner loans for purchase or refinancing. It
can enable homebuyers to purchase homes that need significant repairs and can also be used
for a variety of other improvements. These funds can also be used to enhance accessibility for
people with disabilities, and to eliminate health and safety hazards. Eligibility for this program in
Rolling Hills is limited due to the factors cited earlier.
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Other HUD programs include Section 811 Supportive Housing for Persons with Disabilities
(interest-free capital advances, operating subsidies, and/or project rental assistance for eligible
projects developing affordable housing for persons with disabilities) and the Federal Housing
Finance Agency’s Affordable Housing Program (AHP). These programs are most viable in areas
with lower land and development costs, as well as available infrastructure and services.
4.9.2 State Programs
The State of California provides resources for affordable housing construction, rehabilitation, and
assistance. Many of these programs are oriented toward populations in need of assistance or
housing stock requiring repair or rehabilitation. The absence of these populations, coupled with
the cost of land and construction in Rolling Hills and the excellent quality of the Cit y’s housing
stock, render the City ineligible for many types of assistance. The only site where State financial
resources could likely be feasible is the PVUSD site, given that it is publicly owned and has
infrastructure and public street access.
In 2017, the State approved SB 2, which established a $75 recording fee on real estate
documents to increase the supply of affordable homes in California. The State subsequently
established the Local Early Action Planning (LEAP) grant program which provides funding for
local planning activities aimed at supporting housing production. In 2020, the City of Rolling
Hills received a $65,000 LEAP grant, which was used to fund preparation of the Housing
Element. The City may be eligible for future planning grants and other SB 2 funds that facilitate
housing affordability and promote projects and programs to implement the Housing Element.
The California Housing Finance Agency (CHFA) provides loans for construction of affordable
housing projects and could be a source of revenue for future affordable housing development in
the Rancho Del Mar Overlay Zone. The State provides a pre-development loan program for low-
income housing projects, and low-interest long-term deferred payment loans through the Multi-
Family Housing Program. These sources could potentially be used on the PVPUSD site. CHFA
also provides financing for rehabilitation of housing by low- and moderate-income households,
which would generally not be viable in Rolling Hills due to housing conditions, costs, and local
income levels.
The State Department of Housing and Community Development provides funding for a variety of
programs to prevent homelessness and assist those who are unhoused. These programs can
fund construction of shelters and provide direct subsidies to individuals. HCD programs also
help support supportive and transitional housing.
4.9.3 Resources for the Private and Non -Profit Sectors
The primary affordable housing financing resources for the private and non -profit sectors are
tax credits and mortgage revenue bonds. Developers can also take advantage of various state
regulatory tools, such as density bonuses and reduced parking requirements for projects
incorporating affordable units.
The federal Low Income Housing Tax Credit (LIH TC) Program was created by the Tax Reform
Act of 1986 to provide an alternate method of funding affordable housing. Each state receives
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a tax credit based on its population—that credit is then used to leverage private capital into
new construction or acqu isition and rehabilitation projects. The California Tax Credit Allocation
Committee (TCAC) competitively administers credits to projects based on priorities they set
each year. Once constructed, a specific percentage of the units must remain rent -restricted,
and occupancy of those units is limited to people meeting specific income criteria.
The California Public Finance Agency administers an Affordable Housing Bond program,
which provides developers with access to tax -exempt bonds to finance lower-income multi-
family and senior projects. A qualified developer can finance a project at a lower interest rate
because the interest paid to bond holders is exempt from federal income tax. This program is
often done in tandem with tax credits.
Individual home buyers may also be eligible for Mortgage Credit Certificates (MCC), working
through a lender and the Los Angeles County Development Authority. This program provides
a federal tax credit for income -qualified homebuyers equivalent to 15 percent of annual
mortgage interest. Generally , the tax savings are calculated as income to help buyers qualify
to purchase a home. Buyers in Rolling Hills would generally be ineligible due to the very high
income required to purchase a home in the city.
4.9.4 Summary of Prospective Financing Sources
Due to the City’s small population, low density, very high fire hazards, and lack of infrastructure,
government resources for housing are extremely limited. The City’s residents are generally
ineligible for State and federal housing assistance based on income and home ownership status.
The City does not have a housing department, and has no regular local, state, or federal
revenue source for housing. The use of traditional approaches to financing affordable housing
are also limited by the relatively small number of units that would be contained in an individual
development project in the city.
Despite these constraints, the City is amenable to exploring future funding sources and
supporting applications that would facilitate housing rehabilitation and development. Given the
absence of a sewer system in the city, one of the most important financial resources potentially
available to the City is State and federal funding for sanitary sewer and storm drainage
improvements. The City is continuing to pursue grants to extend sewer service and improve
water quality; this could potentially create future housing opportunities on sites that are not
viable today.
Low-income housing tax credits could be considered to facilitate housing on the PVPUSD site.
Eligible projects on this site could also use State density bonus provisions, thereby increasing
the potential number of units. Other programs that could be considered include those that assist
lower income seniors with energy conservation, septic system improvements, and minor home
repair.
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5.0 Constraints to Housing Production
5.1 Introduction
Government Code Sections 65583(a)(5) and (6) require the Housing Element to contain an
analysis of governmental and non-governmental constraints on the maintenance, improvement,
and development of housing for all income levels. Governmental constraints include land use
controls, building codes and code enforcement practices, site improvement requirements, fees
and other exactions required of developers, local processing and permit procedures, and any
locally adopted ordinances that directly impact the cost and supply of residential development.
Non-governmental constraints include the availability of financing, the price of land, the cost of
construction, requests to develop at densities below what is allowed by zoning, community
opposition, and similar factors.
In each case, the Housing Element is required to demonstrate local efforts to remove constraints
that are identified, thus improving the City’s ability to meet its Regional Housing Needs
Allocation. The extent to which these constraints are affecting the supply and affordability of
housing in Rolling Hills is discussed below, along with past (or proposed future) efforts to
eliminate those constraints.
5.2 Governmental Constraints
Governmental constraints include activities imposed by local government on the development of
housing. These activities may impact the price and availability of housing, the ability to build
particular types of housing, and the time it takes to get housing approved and constructed.
While these requirements are intended to improve housing quality and protect public safety,
they may have unintended consequences.
5.2.1 Rolling Hills General Plan
Every city and county in California is required to adopt a General Plan for its long-term
development. This Housing Element is actually part of the General Plan but it stands on its own
as a separate document since it is updated on a schedule set by the State of California. The
other elements of the General Plan are updated as needed. Most cities update their plans every
15 to 20 years.
Most of the Rolling Hills General Plan was drafted in 1990. In addition to the Housing Element,
the Plan includes a Land Use Element, a Circulation Element, an Open Space/ Conservation
Element, a Safety Element, and a Noise Element. An update to the Safety Element was
prepared concurrently with the Housing Element, in response to recent State requirements.
The Rolling Hills Land Use Element includes a Land Use Policy Map illustrating the types of uses
permitted throughout the city. When the Map was adopted in 1990, it reinforced existing parcel
patterns and responded to the infrastructure, geologic, wildfire, and environmental constraints in
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the city. Four categories are shown: Very Low Density Residential (2 acres per unit), Low
Density Residential (1 acre per unit), Civic Center, and Publicly-owned Open Space.
Prior to 2020, the City did not allow development at densities greater than one unit per acre and
had no General Plan provisions for multi-family housing. As part of 5th Cycle Housing Element
implementation, the City amended its Land Use Element to add the Rancho Del Mar Housing
Opportunity Overlay designation to the Map (corresponding to the 31-acre Rancho Del Mar
school site). At the same time, the City adopted new Land Use Element standards and policies
allowing multi-family housing in the Overlay area, along with policies allowing a diverse mix of
housing units, as required by state law.
The Land Use Element recognizes Rolling Hills’ heritage as an equestrian community comprised
of large lots on steep terrain. Its policies call for buffering between uses, preservation of views,
and minimizing exposure to landslides, wildfires, and other hazards. These policies remain
appropriate given the safety hazards in the community. The Element specifically discusses the
150-acre Flying Triangle landslide hazard area, noting that the area is subject to a moratorium
due to unstable geologic conditions. It also notes that many existing parcels are constrained by
steep slopes and have only small areas that are suitable for building pads and construction.
Recent amendments to the Safety Element further emphasize environmental hazards in the city,
as well as constraints associated with evacuation, water supply, and emergency vehicle access.
These constraints make most of Rolling Hills poorly suited for additional development or zoning
changes that would result in increased density and population.
As it currently stands, the General Plan is not a development constraint.
5.2.2 Zoning Standards
The Rolling Hills Zoning Ordinance (Chapter 17 of the Municipal Code) implements the General
Plan and provides objective development standards for all parcels in the City. There are three
zoning districts in the City:
• Residential Agricultural Suburban 1 (RAS-1), which has a one-acre minimum lot size
• Residential Agricultural Suburban 2 (RAS-2), which has a two-acre minimum lot size
• Public Facilities (PF)
The RAS-1 zone roughly corresponds to the “Low Density Residential” General Plan designation
The RAS-2 zone roughly corresponds to the “Very Low Density Residential” General Plan
designation.1 The PF zone corresponds to the “Civic Center” General Plan designation. Parcels
with a General Plan designation of “Publicly-owned Open Space” are zoned RAS-1 or RAS-2,
whichever is prevalent on private parcels in the vicinity.
There are also two overlay districts. Overlays are mapped “on top” of one of the three base
zones listed above and apply additional regulations specific to subareas of the city. The first
overlay district (OZD-1) provides more lenient setback standards in an area of the city
characterized by smaller lots. Roughly 70 lots along Middleridge Lane, Williamsburg Lane,
1 Parcels along Spur Lane and Cinchring Road have a General Plan designation of Very Low Density Residential but a zoning
designation of RAS-1.
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Chesterfield Road and Chuckwagon Road, are covered. The second overlay district (RDMO) is
the Rancho Del Mar Overlay, which is mapped on the Rancho Del Mar School site in the RAS-2
district. The RDMO requires the transfer of General Plan density for the property as a whole
(which yields 16 units) to a single location in order to facilitate the production of multi-family
housing. This overlay also includes objective standards for multi-family housing and emergency
shelter, which are permitted by right.
The zoning ordinance includes definitions of terms (Chapter 17.12). At this time there are no
definitions of transitional and supportive housing, both of which must be permitted in every
residential district under state law. An action program in this Element has been included to
make that Code amendment. The definitions expressly acknowledge manufactured and mobile
homes as being the same as detached single family dwellings, provided they are located on a
foundation.
The zoning regulations indicate permitted and prohibited uses in each zoning district. Single
family residences and accessory dwelling units are permitted “by right” in RAS-1 and RAS-2.
The only expressly prohibited uses are short-term rentals (less than 30 days), commercial
cannabis activities and cannabis dispensaries. Numerous types of accessory structures are
permitted by right, including stables, pools, sheds, and small (under 200 SF) cabanas, guest
houses, pool houses, garages, greenhouses, and similar structures. Such structures generally
require conditional use permits when they exceed 200 SF (accessory dwelling units are
excluded from this requirement). Other conditional uses include schools, fire stations, and
similar public buildings and utilities. Site plans are required when development is proposed.
Table 5.1 summarizes the development standards in the RAS-1 and RAS-2 zones, starting with
the minimum lot size requirements of one acre and two acres. The Code states that existing
parcels of record that are smaller than the minimum lot size requirements are considered to be
conforming. Minimum dimensional standards are established for new lots, including the ratio of
width to depth and a requirement for a minimum width of 150 feet. There are also standards for
minimum street frontage, keeping in mind that most streets are private and contained within
easements. These standards are more flexible on cul-de-sacs, depending on turning radius.
As indicated in Table 5.1, building coverage is limited to 20 percent of the net lot area in both the
RAS-1 and RAS-2 zones. Total impervious surface coverage (structures and hardscape) is
limited to 35 percent of the net lot area; maximum disturbed area is limited to 40 percent of the
net lot area; and building height is restricted to one story. The code identifies 2:1 (50%) as the
maximum buildable slope. A minimum dwelling size of 1,300 square feet is established for the
primary unit on the site. The Code includes setback standards of 50’ for front and rear yards,
and 20’ for side yards in RAS-1 and 35’ for side yards in RAS-2. Lower standards apply in the
OZD-1 overlay zone and exceptions are provided for lots along street easements.2
The zoning code affirms the one-story construction requirement established by the Rolling Hills
Community Association (the RDM Overlay area is subject to a two-story requirement). The
finished floor of structures must be no more than five feet above grade. Basements are
permitted and storage areas may be located above or below a story. The code also provides
standards for graded building pads and requirements for stables and corral sites.
2 The City is currently developing standards to implement SB 9, which allows the division of existing lots into two parcels and the
construction of two dwellings on each parcel, subject to specific objective standards and other considerations.
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Table 5.1: Summary of Rolling Hills Zoning Standards(1)
RAS-1 RAS-2 OZD overlay
Minimum Lot Size 1 acre 2 acres N/A
Setbacks
Front 50’ from front easement line (2) 30 feet from front
roadway easement
Side 35 feet (3) 20 feet (3) 20 feet, reduced to 10’ for
street side yards
Rear 50 feet
Structure Coverage (4) 20%
Impervious Surface Coverage 35%
Building Pad Coverage 30%
Maximum Disturbed Area 40% of net lot area (excl. easements)
Maximum Height One-story
(1) Standards for the RDM Overlay Zone and standards for ADUs are addressed in Section 5.3.2 of the Housing
Element.
(2) Most property is Rolling Hills is subject to easements varying in width around each property boundary and road
easements, granted by the property owner to the RHCA, a private corporation, or another person or entity for the
purpose of construction and/or maintenance and use of streets, driveways, trails, utility lines, drainage facilities, open
space, and/or a combination of these uses. The RHCA requires that all easement s must be kept free of buildings,
fences, plantings or other obstructions.
(3) Reduced to 20’ in RAS-2 and 10’ in RAS-1 and OZD if there is a private street along the side property line.
(4) The percentage figures in Table 5.1 apply to the “net lot area” on each parcel, which excludes these easements.
Additional standards in the Zoning Code prohibit reflective outdoor siding, limit outdoor lighting
(to maintain dark skies), and require Class “A” roofing. Conditions are established for specific
accessory uses, such as greenhouses, pools, and playgrounds. This includes a requirement
that guest houses (which are different from ADUs) may not exceed 800 square feet. Whereas
guest houses may not be rented and typically require a conditional use permit, ADUs are
permitted by right and subject to different standards (see P. 5-5).
A minimum of two garage parking spaces are required for each single family dwelling unit. An
additional space is required for homes with guest houses (as noted above, guest houses are
treated differently than ADUs). Homes are also required to have driveways, which are generally
limited to 20 feet in width and one per lot, though exceptions apply. The parking requirement is
not a development constraint and is appropriate given the size of parcels, the high number of
automobiles per household3, and the fact that the streets lack sidewalks and are too narrow to
permit on-street parking. There is also no public transit service in the city.
3 The 2015-2019 US Census American Community Survey indicates that 63% of all households in Rolling Hills own
three or more vehicles.
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The development standards in Table 5.1 do not present constraints to the construction of single
family homes. Even a “small” substandard lot of 200’ x 200’ (40,000) square feet would be
allowed 16,000 square feet of buildable area after required setbacks are subtracted. The
allowable structure coverage on such a lot would be 8,000 square feet, providing more than
enough space for a residence and detached accessory structures. The requirement for single-
story construction has not constrained single family construction, given the ample building
footprint accommodated on each site. In fact, single-story construction has enabled many older
adults in Rolling Hills to age in place.
State law also requires the Housing Element to include an analysis of requests to develop
housing at densities below those anticipated in the sites inventory. No such requests have been
received in Rolling Hills, as development typically occurs on existing lots rather than through
subdivision or multi-unit construction.
5.2.3 Standards for Different Housing Types
Section 65583 and 65583.2 of the Government Code require cities to plan for a “variety of types
of housing, including multi-family rental housing, factory-built housing, mobile homes, housing for
agricultural employees, supportive housing, single room occupancy units, emergency shelters,
and transitional housing.” Accordingly, the Rolling Hills Housing Element includes provisions for
each of these housing types in the city, with the exception of housing explicitly reserved for
agricultural employees, since this was not identified as being a need in the city.
Accessory Dwelling Units
An Accessory Dwelling Unit—or ADU—is an attached or detached dwelling unit that provides
complete independent living facilities for one or more persons and is located on a lot with a
proposed or existing primary residence. ADUs are commonly known as in-law units, second
units, or granny flats. A “Junior” Accessory Dwelling Unit (or JADU) is an ADU that it is no more
than 500 square feet in size, contained entirely within the footprint of an existing or proposed
single family dwelling, and has an efficiency kitchen. JADUs often have their own bathrooms but
they may also share bathrooms with the primary residence. State law now requires that all cities
and counties permit ADUs and JADUs meeting certain standards “by right”—in other words,
without a public hearing or discretionary approval.
Prior to 2018, ADUs and JADUs were not permitted in Rolling Hills. However, the zoning
regulations allowed the construction of non-rentable guest houses for family members, visitors,
and domestic employees on all residential properties. The large size and high value of
properties in Rolling Hills has supported the development of guest houses in the past, resulting
in a large inventory of structures that could potentially be converted from guest houses to ADUs
in the future. The city also has a large number of accessory structures such as barns, pool
cabanas, studios and workshops that could be converted to ADUs. Because of the single story
construction requirement, there are also a substantial number of homes with floor plans
conducive to Junior ADUs, as many homes have wings, additions, or rooms that could easily be
partitioned as independent living units.
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In January 2018, the City Amended Chapter 17.28 of the Municipal Code to allow for the
construction of Accessory Dwelling Units and Junior Accessory Dwelling Units (ADUs and
JADUs). Consistent with State law (Government Code 65852.2 and 65852.22), the City allows
ADUs and JADUs ministerially (e.g., without a discretionary public hearing) provided the units
meet specific standards and design criteria established in the zoning code. The City has also
created a discretionary review path for projects that do not meet these standards.
Chapter 17.28 establishes that an ADU and JADU may be allowed with a simple building permit
if it is within the space of an existing single family dwelling or accessory structure, including an
allowance for up to 150 additional square feet for ingress and egress. The unit must also have
exterior access independent of the single family dwelling and side and rear setbacks that meet
building and fire codes. In addition, detached ADUs are permitted with a building permit (and no
additional permit) if they are 800 square feet or less, no more than 16 feet tall, and have side
and rear setbacks of at least four feet.
A second permitting path has been created for units that are between 800 and 1,000 square
feet. Such units require an ADU Permit, which like the building permit is issued ministerially,
with no discretionary review. These units are subject to a size limit of 850 square feet for a
studio or one bedroom and 1,000 square feet for a two-bedroom unit. If attached to the primary
dwelling, the unit is subject to a requirement that it may not exceed 50 percent of the floor area
of the existing primary dwelling. The ADU may not cause the lot coverage on the property to
exceed 50 percent or cause the FAR to exceed 0.45. Setback standards also apply.
The City’s ADU ordinance incorporates State standards for parking, which waive parking
requirements for JADUs and units created by converting habitable accessory structures.
Parking is also waived for units near public transit stops or car-share vehicles. This is generally
not applicable in Rolling Hills, since the community is not served by transit or car-share services.
Per State law, the Code allows for carports and garages to be converted to ADUs without
replacement parking. Where this situation does not apply, one space is required for each ADU,
and tandem parking is permitted.
ADUs are subject to general requirements, such as fire sprinklers (if the unit is in the primary
residence) and a prohibition on short-term rentals (less than 30 days). They are also subject to
permit streamlining requirements, including a requirement to act on the application within 60
days after it is deemed complete. This time period may be extended at the applicant’s request,
or if the ADU is located within a new single family dwelling on the lot. The City allows both the
ADU and the primary residence to be rented, although there are limitations on renting JADUs if
the primary residence is not owner occupied.4 The City’s Ordinance also prohibits the sale of an
ADU separately from the lot and primary dwelling.
ADUs are also subject to basic architectural standards, including compatibility with the design of
the primary dwelling. This is objectively quantified, for instance by specifying that the roof pitch
must match the primary dwelling, and that the entry be on the side or rear elevation. The ADU
is also subject to a minimum length and width standard of 10 feet, and a minimum ceiling height
of seven feet. Landscape screening requirements apply to units that are near adjacent parcels.
If the ADU changes the building exterior or involves a new structure, it is subject to design
4 JADUs (units created within the floorplan of an existing home) are subject to an owner-occupancy requirement
unless the property is owned by a government agency, land trust, or housing organization.
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review by the Rolling Hills Community Association Architectural Committee (see next section for
further discussion).
ADUs smaller than 750 square feet are exempt from all impact fees. Units larger than 750
square feet may only be charged impact fees that are proportionally related to the square
footage of the unit. The Code also includes waivers for utility connection fees for most ADUs,
thereby reducing construction and operating costs. Moreover, the Code provides the option for
a conditional use permit for ADUs that do not conform to the basic development standards of
Chapter 17.28.
Overall, these requirements do not constrain or inhibit ADU or JADU construction. The
regulations reflect State regulations and create ample opportunities for homeowners to earn
extra income while providing a new dwelling unit for a tenant, employee, caregiver or family
member. Given the large lot sizes in the city, the setback standards, FAR standards, and lot
coverage limits still allow for generous ADU footprints. Likewise, the single story requirement is
consistent with the requirement for single family homes. The “bonus” 150 square feet for JADU
ingress/egress creates an incentive for such units. The requirement to provide a parking space
is consistent with State law, since there is no transit in Rolling Hills—and is not a constraint given
the large lot sizes and substantial driveway space available on most lots.
While no constraints have been identified, there are opportunities to provide incentives for ADUs
that have yet to be realized. Because of recent changes to State law, there are opportunities for
ADUs to be conveyed separately or operated by non-profits and/or affordable housing
providers. As noted in Chapter 6, the City will pursue future programs to encourage ADU
construction, including ADUs for very low and low income households. This includes creating a
roster of ADUs and an inventory of units that meet “extremely low income” needs by providing
housing for family members, domestic employees, or other long-term occupants.
Additionally, State law for ADUs was amended in 2020 and 2021. Several provisions in the
City’s regulations must be updated for consistency. This includes eliminating the prohibition on
ADUs with more than two bedrooms, and adding a provision that completed applications be
deemed approved if they are not acted upon within 60 days. The City will work with the State
Housing and Community Development Department to determine if there are other provisions of
the ordinance that require updating. Program 6.10 in Chapter 6 identifies this as a high priority
action, to be completed by October 15, 2022.
Multi-Family Housing
In February 2021, the City amended its General Plan and zoning regulations to allow multi-family
housing within the City limits. This was a key implementation measure in the Fifth Cycle
Housing Element. New policies in the General Plan Land Use Element expressly support a
range of housing types in the city, including multi-family housing. Chapter 17.19 of the
Municipal Code creates the Rancho Del Mar Overlay (RDMO) Opportunity Overlay Zone, which
has the following objectives:
• Create “by right” opportunities for multi-family housing
• Implement state laws that require cities to demonstrate available land capacity and zoning to
accommodate the City’s current and projected need for housing
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• Facilitate well-designed development projects
• Encourage development that provides attractive features that integrate the public realm with
development on adjacent private property.
The zone is mapped on the 31-acre Rancho Del Mar school site, which as noted in Chapter 4
and Appendix B, is the most viable location for multi-family housing in Rolling Hills. The zone
allows 16 units of multi-family housing on the site (excluding potential density bonus units), with
a requirement that this housing be constructed at a density of 20 to 24 units per acre. The 20
unit per acre minimum density requirement corresponds to the “default density” under AB 2348,
while the 16-unit requirement is based on the number of units permitted by the underlying
General Plan and RAS-2 zoning designations. It is also a threshold used by HCD to identify
viable housing sites.
Affordable multi-family housing is permitted by right in this zone, provided it is affordable to low
and very low-income households and meets objective design standards that are included in the
zoning code. These include minimum dwelling unit sizes of 250 square feet for a studio, 400
square feet for a one-bedroom, 650 square feet for a two-bedroom, and 900 square feet for a
three-bedroom. Higher minimums had been proposed initially but were lowered to the adopted
standards based on direction from HCD that the above figures would not constrain development.
As noted above, the allowable density range for the Zone is 20-24 units per acre. Numerous
projects—both market-rate and affordable—have been developed in this density range in Los
Angeles County in recent years. The range can accommodate apartments, condominiums,
townhomes, row houses, clustered units, manufactured homes, and small detached cottages.
All of these housing types would be permitted under the regulations prescribed by the Overlay
Zone.
Development standards for multi-family housing within the Overlay Zone are conducive to higher
density construction. These standards require 5-foot front and side setbacks and a 10-foot rear
setback. Encroachments such as decks, balconies, awnings, porches, and stairways may
extend into the setback areas, and architectural features such as eaves and cornices are also
permitted in the setbacks. There are no lot coverage standards or Floor Area Ratio limits. A 28’
height applies, allowing two-story construction. This is the only place in Rolling Hills where two-
story construction is permitted.
Development is subject to a requirement that 100 square feet of common open space be
provided for each dwelling unit. Thus a 16-unit project would be required to set aside 1,600
square feet of shared open space, which is equivalent to about 5 percent of the development
site (assuming a density of 20 units per acre). When drafting the Ordinance, the City initially
proposed a common open space standard of 150 square feet per unit, but this was reduced to
100 square feet during HCD’s review of the draft to eliminate the potential for a constraint.
One parking space per unit is required, plus one guest parking space for every 10 units. For
senior housing, one space per unit is required for the first 10 units, and 0.5 spaces per unit are
required for any additional units. The RDMO zone allows surface parking, with no requirements
for garages or carports. At 180 square feet per parking space, the total area dedicated to
parking in a 20 unit per acre project would be 3,240 square feet, or about nine percent of the
site. Even with driveway lanes, the total area of the site required for parking would be small.
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Moreover, the ordinance includes provisions for reduced parking where certain conditions exist
(shared parking agreements with nearby uses, available street parking, etc.).
No parking is permitted in the 20’ front setback area (at the driveway location). This would not
be a constraint given the large size of any parcel that would be created in the future to
accommodate multi-family development. Moreover, the front yard setback for structures is only
five feet, which creates more space for the building envelope and encourages parking to be
placed to the rear or side of the parcel, potentially within the setback.
The development standards require that multi-family housing be located at least 50 feet from the
toe of the slope associated with a hillside area within the Overlay District. Figure 5.1 shows the
sloped area and indicates that the linear distance between the toe of the slope and the access
road serving the multi-family development site is 337 feet. Thus the area where structures are
acceptable extends 287 linear feet back from the access road (minus a 5-foot front setback).
While the rear 50 feet may not include structures, it could include open space and other
amenities, including parking and driveways. The 50’ setback does not affect parcel width (i.e.,
the east-west dimension), and still leaves room for a substantial development site on the
property.
Because affordable multi-family housing is permitted by right in the Overlay Zone, the City has
adopted objective design standards to ensure that new development is compatible with adjacent
uses. These address residential frontages (facades, etc.), usable open space standards, public
space amenity requirements, and operational standards. Such standards have the potential to
create a development constraint if they are too onerous or add to the cost of housing.
Figure 5.1: Slope Setbacks on PVUSD Site
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The residential frontage standards require that the ground floor be no more than five feet above
the ground surface. This is easily attained, since the site is relatively flat. The standards
establish a 10’ floor to floor height, which is consistent with the overall 28’ height limit as well as
typical residential construction standards and interior ceiling heights. Entrances and windows
are required along the front façade, and entrances to individual units may either be direct to the
exterior, or to an interior hallway. Stoops and porches may be located on the exterior, and
projecting elements (bay windows, eaves, balconies) may extend into setback areas. Street
tree, landscaping, and lighting requirements apply, but these do not constrain development.
The usable open space standards likewise do not represent a constraint. These requirements
call for an amenity such as a children’s playground or clubhouse in multi-family projects. The
amenity may be indoors or outdoors and may not include parking areas, streets, or driveways.
Projects are also expected to include amenities such as pedestrian walkways, landscaping, bike
storage racks, and screened trash enclosures, and would need to comply with building code
standards for interior noise. These are common requirements in California communities and do
not represent a constraint.
Mobile and Manufactured Homes
As required by State law, the City Zoning Ordinance allows for manufactured housing units to
reduce residential construction costs. Section 17.12.130 of the Rolling Hills Municipal Code
defines manufactured homes and mobile homes as “single family dwellings”; as such, they are
subject to the same standards as wood-frame construction.
Emergency Shelters
Every city in California is required to identify a zone where at least one year-round emergency
shelter is permitted without a conditional use permit or other discretionary permit (Govt Code
Section 65583(a)(4)(A)). The Government Code further requires that emergency shelters be
subject to the same standards that apply to residential and commercial development in that
zone, except that certain objective standards prescribed by the State may apply.
In February 2021, the City of Rolling Hills amended its zoning regulations to permit emergency
shelters “by right” in the Rancho Del Mar Overlay (RDMO) Zone. Rolling Hills has adopted
standards for shelters that meet the requirements of the Government Code and facilitate
emergency shelter construction or conversion. The RDMO Zone encompasses over 31 acres of
public property, most of which is underutilized. There are opportunities to create shelters by
converting existing buildings, constructing new buildings, or using temporary facilities such as
portables or tiny homes. This use is permitted by right, with no discretionary permit required by
the City. There are no limitations on where shelters may locate within the boundary of the
RDMO Zone. Since shelter beds do not constitute “dwelling units”, an emergency shelter would
not be considered part of the 16 dwelling units permitted by the Overlay Zone and would not
affect the number of allowable multi-family units in the Zone.
The City submitted preliminary standards to HCD for review in December 2020 and
subsequently revised those standards to ensure that they are compliant with the Government
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Code and do not present a constraint to emergency shelter development. The adopted
standards include:
• Shelters may be 300 feet apart, consistent with Government Code 65583(a)(4)(A)(v) One
parking space for each staff person must be provided. There are no supplemental
parking requirements based on the number of beds. The requirements are consistent
with Government Code 65583(a)(4)(V)(A)(ii) and are no greater than those that apply to
other land uses and activities in the RDMO zoning district.
• A maximum of 12 beds applies. This is comparable to the maximums that apply in
nearby cities, including those with unsheltered populations.
• 50 square feet of personal living space is required for each occupant, excluding common
areas.
• The standards allow, but do not require, shelters to include a dining room, commercial
kitchen, laundry room, recreation room, child care facilities, and support services (the
Code indicates these may be provided, but they are not mandatory)
• At least five percent of the shelter area must be dedicated for on-site waiting and intake,
and an equivalent (or larger) area is required for exterior waiting
• Shelters must comply with building code, plumbing code, and trash enclosure
requirements—the same standards that apply to other uses in the Overlay Zone and in
the underlying base RAS-2 Zone.
Consistent with the Government Code, an application to operate an emergency shelter requires
submittal of a management and operations plan that addresses hours of operation, staffing
levels, maximum length of stay, and security procedures. The application would require
approval by the City Administrator, based on satisfaction of the conditions listed above and
review for compliance with Building, Fire, and other applicable regulations.
The regulations do not constrain emergency shelter development and are compliant with
Government Code requirements. As they were just put into effect in 2021, the City will monitor
their effectiveness over the 2021-2029 planning period to determine if changes are needed.
Single Room Occupancy (SRO) Hotels
In February 2021, the City of Rolling Hills amended its zoning regulations to allow Single Room
Occupancy (SRO) housing in the RDMO Zone. These are facilities with individual rooms or
small efficiency apartments designed for very low-income persons. There are no limitations on
where SROs may locate within the boundary of the RDMO Zone. A Conditional Use Permit is
required.
In December 2020, the City submitted preliminary standards to HCD for review and
subsequently revised those standards to ensure that they do not present a constraint to SRO
development. The adopted standards include:
• A minimum of six units and a maximum of eight units
• Maximum occupancy of two persons per unit
• Floor area of 250-350 square feet per unit
• Each room must include a water closet (Toilet plus sink)
• Each room must include a kitchen sink with a disposal (but not necessarily a full kitchen)
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• Each unit must have a closet
• Full kitchens (i.e., with range, refrigerator, dishwasher, etc.) and full bathrooms (with
shower/bath) may be provided in each unit but are not required. If these facilities are not
included in each unit, then shared facilities are required on each floor.
• 0.5 parking spaces are required per unit, plus one space for each employee on duty
• Occupancy is for 30 days or more
The City initially proposed including a requirement for 24-hour on-site management, and a
requirement for elevators in the event the building was two stories. Both of these requirements
were removed following HCD’s feedback that they were potential constraints. Requiring 24-hour
management requirement could be a constraint for a 6-8 unit facility. As a result, on-site
management is not required on a 24-hour basis. Given that the building would only be two
stories, the requirement for elevators was removed. Since SRO rooms would not be classified as
independent “dwelling units”, they would not be considered part of the 16 units permitted by the
Overlay Zone and would not reduce the number of allowable multi-family units in the Zone.
Supportive, Transitional, and Employee Housing
Supportive housing is a type of rental housing that includes on-site services such as medical
assistance or treatment of chronic health conditions or disabilities. Transitional housing is a type
of supportive housing but is specifically intended for unsheltered residents who are transitioning
to permanent housing. Supportive and transitional housing is not associated with a specific
structure type—single family homes can be used in this manner, and so can multi-family
buildings.
Government Code Section 65583(a)(5) requires cities to treat transitional and supportive
housing as residential uses that are only subject to those restrictions that apply to other
residential uses of the same type in the same zone. In other words, a City cannot hold a single
family home used as supportive housing to a different standard for parking, setbacks, floor area,
etc. than a single family home occupied by a family or other type of household.
Public Health and Safety Code Section 17021.5 requires the City to treat employee housing for
six or fewer people the same as other single family housing in each zoning district. For example,
if a corporation in another city purchased a home in Rolling Hills and allowed its employees to
live there, the use would be treated like any other single family home.
Rolling Hills presently has no Code language that limits transitional, supportive, or employee
housing or imposes any special restrictions on such housing. However, these housing types are
not expressly acknowledged in the Municipal Code. The 2021-2029 Housing Element includes
an action item to add definitions of transitional, supportive, and employee housing to the
Municipal Code within six months of Housing Element adoption, acknowledging that such
housing is permitted or conditionally permitted in the same manner as other residential
dwellings of the same type in the same zone, as required by State law.
Housing Constraints for Persons with Disabilities
Government Code Sections 65583(a)(4) requires the Housing Element to include “an analysis of
potential and actual governmental constraints upon the maintenance, improvement of
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development of housing…for persons with disabilities. AB 686 also requires the City to
affirmatively further fair housing, which includes housing that meets the needs of persons with
disabilities.
In November 2020, the City Council approved reasonable accommodation procedures,
including application requirements, review procedures, findings, and provisions for noticing and
advertising the opportunity. These procedures establish a process through which persons with
disabilities can request reasonable accommodations (or modifications) to the City’s codes, rules,
policies, practices or services so that they have an equal opportunity to enjoy or use a dwelling.
The City has also adopted a resolution recognizing the Americans with Disabilities Act, including
a commitment to assist disabled residents.
A request for reasonable accommodation may be made by any individual with a disability, his or
her representative, or a developer or provider of housing for individuals with disabilities, when
the application of a land use, zoning, or building regulation, policy, practice, or procedure acts
as a barrier to fair housing opportunities. The City has posted notices at City Hall informing the
public of its right to make such a request, including application forms for those making a
request. Requests are generally made to the City Manager.
Once a completed application is received, the City Manager has 45 days to make a written
determination. Additional information may be requested of the applicant in order to make an
informed determination. An alternative solution to the one proposed by the applicant may be
considered if it would reduce impacts and still achieve the intent of the request.
The request is granted, with or without conditions, if the City Manager finds that the housing will
be occupied by an eligible individual, the requested accommodation is necessary to provide the
individual with equal opportunity to use and enjoy a dwelling, the requested accommodation
would not impose an undue financial or administrative burden on the City, or fundamentally alter
the City’s zoning or building laws or undermine the General Plan, and there are no other
reasonable accommodation methods that would allow the applicant to enjoy the dwelling that
would be less impactful on the surrounding area.
Conditions of approval may be replaced on the application. These may include periodic inspection
to verify compliance, recordation of a deed restriction requiring removal of the improvements when
it is no longer needed, time limits, measures to reduce off-site impacts, and measures that respond
to the unique physical attributes of the property. Decisions may be appealed.
Rolling Hills has adopted the Los Angeles County Building Code. As long as construction is
consistent with the Building Code, residents are permitted to provide any disabled access or
amenity improvements necessary to reduce barriers. Access to homes via ramps is permitted.
One-story construction throughout the community removes a major barrier for persons with
disabilities and facilitates access for persons with mobility limitations. Accessibility
improvements, universal design changes, and other accommodations for persons with
disabilities are processed administratively in conjunction with the building permit process and
are permitted in both of the City’s residential zones.
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No constraints to housing for persons with disabilities were identified in this analysis. As noted
in Chapter 3, the city’s large population of older adults requires ongoing efforts to facilitate
retrofitting of existing homes for residents with physical limitations, and their caregivers.
Residential Care Facilities and Definition of “Family”
The Lanterman Developmental Disabilities Services Act requires that small licensed residential
care facilities for six of fewer clients be treated as regular residential uses and permitted by right
in all residential districts. Care facilities with seven or more clients (e.g., “large” residential care
facilities) may be subject to additional requirements but must be treated the same as other
residential uses in that zoning district. Cities that require conditional use permits for large
residential care facilities are required to mitigate this constraint in their housing elements.
At this point in time, the Rolling Hills Zoning Code does not expressly mention or define
residential care facilities, nor does it distinguish between “large” and “small” facilities. The
Code should be amended to expressly indicate that this use is permitted by right in all zones
where housing is allowed, and is subject to the same standards, fees, and procedures as other
residential uses in those zones. This is required by State law. As required by California Health
and Safety Code Section 1566.2, the City does not collect business taxes, registration fees, or
other fees for small residential care facilities.
The Rolling Hills Municipal Code includes a definition of “family” in its zoning regulations. Overly
restrictive definitions may pose a housing constraint, but in this instance the definition is broad
and inclusive. According to the Rolling Hills Municipal Code, “family” means:
“one or more persons living as a single housekeeping unit, as distinguished from
a group occupying a boarding, rooming or lodging house, hotel or club. Family
may include domestic servants.”
5.2.4 Cumulative Impacts of Land Use Controls
State law requires the City to consider not only the impact of individual development standards,
but also the cumulative effects of these standards on the cost and supply of housing. For example,
it is possible that a particular setback requirement may appear reasonable on its own b ut may
limit development opportunities when combined with height and lot coverage limits. Sometimes,
the combined effect of different development controls can require more expensive construction
or result in frequent zoning variances.
Because of the very large lot sizes in Rolling Hills, the zoning standards do not create an adverse
cumulative impact on development costs or the housing supply. As previously noted (pages 5-2
and 5-4), a special zoning overlay (OZD-1) was created in 2012 to recognize that some parts of
the city have prevailing lot sizes that are smaller than the one-acre minimum required by the RAS-
1 district. Roughly 10 percent of the City’s parcels are covered by this zone, which allows reduced
setbacks in order to avoid the need for zoning variances.
As noted earlier, the combination of front, rear, and side yard setbacks on a rectangular one-acre
lot would still allow for a buildable area of over 16,000 square feet. Most parcels are considerably
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larger than one acre and have buildable areas that exceed 20,000 square feet. FAR and lot
coverage limits likewise allow ample structure coverage, and homes larger than 10,000 square
feet can be built without Variances on most lots. The one-story height limit tends to produce
building footprints that are quite large—but still within the 20% structure coverage requirement.
Each residence is required to have two covered parking spaces (three, if an ADU or guest quarters
are on-site). This requirement is modest given the typically large home size and does not
constrain building construction.
The land use controls also do not present a cumulative constraint to ADU construction. Almost
every parcel in the City has the land area or existing built floor area to support an ADU, and
many homes already have spaces that could be easily converted to ADUs. The ADU and JADU
regulations adopted in 2018 and revised in 2020 were drafted to work in tandem with the
controls for the RAS-1 and RAS-2 districts and have laid the foundation for substantial ADU
production.
There are no cumulative land use constraints to multi-family development. The Rancho Del Mar
Overlay (RDMO) Zone standards have been tested to ensure they are internally consistent and
can support housing in the 20-24 unit/acre range. The RDMO Zone allows multi-family housing
to be either owner or renter occupied. New housing units in this zone must be affordable. The
affordability requirement is not a constraint to development, as the site is publicly owned and
represents a unique opportunity for reduced land and construction costs. There are no
comparable opportunities in the city, as this is the only property in Rolling Hills that is flat,
vacant, served by public sewer, and walking distance from public transit.
One notable omission from the City’s zoning regulations a provision for density bonuses. State
law requires that the City offer a density bonus for projects that set aside various percentages of
units for affordable housing, senior housing, and other types of special needs housing. The
number of bonus units is based on a sliding scale and can be up to 50 percent above the base
density permitted by zoning. For projects where all units are affordable to low and very low
income households, the density bonus rises to 80 percent. A density bonus could be requested
for the Rancho Del Mar site, since the overlay requires that any multi-family housing is 100
percent affordable. This would allow 28 units on the site instead of the 16 allowed by the
General Plan and zoning.
The Housing Element includes a program recommendation that the City amend the Municipal
Code to adopt density bonus provisions or adopt the State provisions by reference.
5.2.5 Building Code Standards
The City of Rolling Hills adopted the Building Code for Los Angeles County in effect on January
1, 2020 as its Building Code. A number of local amendments to the Code were made. This
includes an allowance for the City Council to hold a public hearing to review decisions of the
County Board of Appeals, Code Enforcement Appeals Board, or Building Rehabilitation Appeals
Board. Other local amendments include a modified definition of “basement” (to avoid the
appearance of multi-story buildings), adjusted provisions for grading and cut slopes, limits on
driveway slope, and limits on developing slopes over 50 percent. The City has also adopted the
Los Angeles County Plumbing Code, Mechanical Code, Electrical Code, Residential Code, Fire
Code, and Green Building Code.
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Effective July 1, 2008, all land in the City of Rolling Hills was deemed to be a “Very High Fire Hazard
Severity Zone” (VHFHSZ). As a result, several more restrictive fire safety standards have been
adopted. The City also has adopted standards for hours of construction, and requirements for geological
surveys and investigations.
5.2.6 Permit Processing Times and Approval Procedures
Processing and permit procedures can be a constraint to the production and improvement of
housing due to the time they add the development process. Unclear permitting procedures,
layered reviews, multiple discretionary review requirements, and costly conditions of approval
can increase the cost of housing, create uncertainty in the development process, and increase
the financial risk assumed by the developer.
In Rolling Hills, the time required to process a project varies depending on the size and
complexity of the proposal, and the volume of projects being reviewed. Not every project must
complete every possible step in the process. In addition, certain review and approval
procedures may run concurrently.
For smaller projects, permit processing times tend to be faster than in most cities.
Administrative review applications (i.e., those that do not require public hearings) typically take
only a few days to process. However, the City’s capacity is limited, requiring that some permit
processing functions are contracted out. Even smaller projects that are approved ministerially
typically require review by the Rolling Hills Community Association and the Los Angeles County
Building and Safety Department, in its role as the contracted building authority of the City.
The City collects no fees for over the counter review—such fees are assessed when the project
is submitted to the Department of Building and Safety. Administrative review processes have
been created for residential additions less than 1,000 square feet, accessory dwelling units and
junior accessory dwelling units, remodels, foundation repair, and re-roofing. Such projects are
required to submit two sets of plans, various checklists, and calculations of existing and
proposed square footage, lot coverage, and impervious surface coverage. The City’s website
provides comprehensive information for applicants seeking permits, including on-line portals for
applications, payment, and checking progress on permit status.
Larger projects such as new homes take longer, but they are less common. New homes in
Rolling Hills are multi-million dollar projects that often require demolition, site preparation and
grading, and new driveways before construction may begin. Larger projects may also require
review by the LA County Health Department for the adequacy of the septic system, and the Fire
Department for fuel modification.
Unless specifically exempted by State law, large projects such as new homes and residential
additions of 1,000 square feet or larger are subject to Site Plan Review. An initial consultation
with staff is strongly encouraged at the start of the process. Once an application is received, it is
reviewed for completeness, including required calculations, elevations, and site plans. When the
application is deemed complete, it is forwarded to the Planning Commission for a hearing,
including a recommendation from staff.
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The Site Plan review process typically takes three to six months from start to finish, including a
field trip by Planning Commissioners to the project site at the start of the process. The process
may be completed in a single hearing but on occasion may take two to three hearings so that
issues raised by the Commission and public can be addressed. Additionally, project applicants
may modify their site plans after approval and return to the Commission for approval of major
revisions.
The Planning Commission has the authority to approve Site Plan Review applications. The
decision of the Commission is considered final unless an appeal is filed with the City Council or
the City Council decides to take the application under its jurisdiction. The decision becomes
effective 30 days after adoption of the resolution.
Approval of a Site Plan Review application requires findings related to compliance with the
General Plan and adopted lot coverage standards, preservation of topography and vegetation,
grading that follows natural contours or does not adversely modify natural drainage channels,
the use of drought-tolerant landscaping, impacts to pedestrian movement, and compliance with
CEQA.
The Planning Commission does not expressly perform design review as part of this process, as
its findings are principally related to address public health, safety, and welfare. Design review
occurs privately, through the Rolling Hills Community Association (RHCA). The RHCA has an
Architectural Committee that reviews plans for new homes and large additions to ensure that
easements are kept free and clear of structures, including fences and other obstructions.5
Projects are submitted to LA County Building and Safety following RHCA review. RHCA
maintains its own design guidelines, covering such topics as roofs, walls, windows, doors, and
lighting. Because RCHA is a non-governmental agency, these guidelines are described later in
this report under non-governmental constraints (see discussion of CC&Rs on page 5-22).
Projects that require Variances to development standards or Conditional Use Permits (CUPs)
also require Planning Commission hearings. CUPs are required for large horse stables and
corrals, detached garages, tennis courts, and a number of other large-footprint site features.
From start to finish, the process from submittal of plans to approval of permits may take six
months or longer for a brand new home. Applications for ADUs, major remodels, residential
additions, and accessory structures are more common, and are processed more rapidly. ADUs,
JADUs, and other ministerially approved projects take approximately two to four weeks to
process.
The City regularly seeks ways to expedite processing and improve the timeliness of its services.
At the present time, permitting and processing time is not considered a constraint and the City
complies with the time limit requirements established by Sections 65943 and 65950 of the
Government Code. The Site Plan Review requirements and other permitting requirements are
not a constraint to the development of multi-family or affordable housing as they would not apply
to projects on the Rancho Del Mar site nor would they apply to ADUs that meet the City’s adopted
standards. As such, they have no impact on the cost, supply, timing, or approval certainty of these
projects. For new single family homes, the review requirements result in processing times that
5 School District and City-owned property is exempt from this requirement. Thus, any development in the RDMO
Housing Opportunity Zone would not be subject to RHCA review.
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may take several months. However, they do not affect the supply approval certainty. In a review
of applications over the past eight years, only one application was denied (requesting a height
modification to approved addition in 2017) and another application had a partial denial (for stairs
and walls, in 2014).
5.2.7 Site Improvement Requirements
The principal site improvements required upon development of a vacant property are the
undergrounding of electrical lines to the structure, installation of a septic system, and
conformance to the City’s outdoor lighting standards. Road and emergency access (fire safety)
improvements may be required for properties that do not have street frontage or have other
access constraints. New development in Rolling Hills consists almost entirely of custom homes
on existing vacant or previously developed lots, rather than subdivision of “raw land,” which
tends to reduce overall improvement requirements. At the Rancho Del Mar affordable housing
site, installation of curb and gutter improvements would be required prior to development, but
the site already has road access, storm drainage, and water and sewer facilities in place. There
would be no special or unique site improvement requirements imposed on development of this
site.
Projects requiring the subdivision of land would be subject to the standards set forth by the
City’s subdivision regulations, which are specified in Title 16 of the Municipal Code. These
standards establish a 24-foot road width for streets. A 32-foot turning radius is required on
dead-end streets, and grades may not exceed six percent. The standards recognize that all
streets in Rolling Hills are private. The City Council has the discretion to require additional site
improvements adjacent to sites where land is being subdivided, including widening existing
roads to meet neighborhood traffic and drainage needs. The subdivider may also be required to
provide drainage improvements, in accordance with standards set by the City Engineer and with
the city’s MS4 permit (see P 5-26). The subdivision ordinance further specifies that water mains
and fire hydrants may be required when new lots are created, and that easements for gas and
electric services may be required.
The cost of installing a new septic system is generally not a constraint for brand new homes but
can be an impediment for ADUs and smaller additions, particularly for homeowners with limited
incomes. At minimum, the County Health Department requires a feasibility study for any project
that could result in septic tank capacity being exceeded. Older homes may face costly septic
installation requirements that could render a home addition or ADU infeasible. Programs to
assist lower income or senior homeowners with septic tank replacement could be considered,
particularly where an ADU is being added.
5.2.8 Development and Permitting Fees
Fees are charged by the City and other agencies to cover the costs of processing permits and
providing services and facilities, such as utilities, schools, and infrastructure. Most of these fees
are assessed through a pro rata system based on the square footage or value of the project, the
staff time required for processing, and the magnitude of the project’s impact. If fees become
excessive, they can become a constraint on development and make it more difficult to build
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housing affordably. They can also place a burden on lower income homeowners seeking to
modify their homes or add an Accessory Dwelling Unit.
A summary of residential development fees charged by the City of Rolling Hills is presented in
Table 5.2. Most projects do not require payment of these fees, as they would not typically
require use permits, Variances, Zoning changes, General Plan amendments, CEQA review, lot
line adjustments, and so on. However, Site Plan Review is commonly required for all new
homes and major additions, and ADU permits are required for larger ADUs. For projects
complying with City standards and requirements, the fees are not a development constraint.
Table 5.2: City of Rolling Hills Major Development Fees1
Fee Type Fee Amount Notes
Site Plan Review $1,500
Conditional Use Permit $1,500
Variance $1,250
Minor Variance
$750 Encroachments from main
structure that do not extend
more than 5’ into required
setbacks
Zoning Change or Code Amendment $2,000
General Plan Amendment $2,000
Accessory Dwelling Unit application $375
Major Remodel Review $375
View Impairment Review
$2,000 Processing fee for Committee
review of impacts on trees and
views
Water Efficient Landscape Review $1,500 Unused balance refunded
Traffic Commission Review $300 Required for new driveways
Lot Line Adjustment $1,500 Plus County fee
Tentative Parcel Map $1,500 Plus County fee
Final Parcel Map -- County fee only
Environmental Review Determination $200 Plus Fish and Game Fee
Environmental Impact Reports Consultant fee
plus 10%
Only required as needed
Appeal Fee 2/3 of original
application fee
Only required as needed
Source: City of Rolling Hills, 2021. Barry Miller Consulting, 2021
1 This is not a comprehensive list of all fees but covers the major development-related categories in the City’s fee
schedule. The fee schedule also covers records searches, inspections, and review of grading plans.
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Rolling Hills is one of 13 cities that contracts with the Los Angeles County Department of
Building and Safety (LACDBS) for plan checking, building permits, and building inspection. The
County issues building, plumbing, mechanical, and electrical permits on the City’s behalf. The
cost schedules for the incorporated cities served by LACDBS are higher than the schedules for
the unincorporated area but are comparable to nearby cities with full-service building
departments. A residential project with an assessed valuation of $100,000 would be subject to a
plan check fee of $3,413 and a permit fee of $4,029. This includes required energy and
disabled access checking costs. As the value of a project increases, the fees decline as a
percentage of total project costs. They represent 7 percent of a $100,000 project but less than
5 percent of a $500,000 project.
The fee schedules for other permits varies by type. Electrical permits are subject to a base fee
of $74.70, plus a cost per square foot ($0.20/SF for multi-family and $0.50/SF for single family
and duplexes). Separate fees are collected for swimming pools, branch circuits, lighting
fixtures, appliances, and electrical plan checking. Mechanical permits are collected for HVAC
systems, compression units, boilers, refrigeration systems, etc. Plumbing permits are based on
the number of fixtures and also cover projects requiring connection to septic tanks and work
such as solar water heaters, sprinkler systems, and backflow protection devices. Relative to the
other 12 cities that contract with Los Angeles County, the fee schedule in Rolling Hills is slightly
higher. However, the fees are lower in Rolling Hills than in nearby Rolling Hills Estates.
The County also collects fees for projects requiring geotechnical review. This would apply to
most new housing units in Rolling Hills. The fee ranges from $2,752 to $17,746, with the actual
amount based on 0.50% of the value of the proposed structure. Additional fees are charged for
geotechnical site inspections and geotechnical review of grading plans.
Los Angeles County typically updates its fees annually based on the consumer price index and
other factors. The increase in 2021 was 2.2 percent for all cities served by the County. Rolling
Hills updates its fee schedule less frequently, although fees are considered as part of the annual
budgeting process. Some of the City’s fees—such as the fees for parcel maps and lot line
adjustments—have not been updated in many years.
There are no local surcharges or special fees associated with multi-family housing. On a per unit
basis, permitting costs would be substantially lower for multi-family units than for new single family
units. This is due to the smaller size of multi-family units and to multi-family housing being
permitted “by right” within the Rancho Del Mar Overlay Zone, with no applicable administrative
fees. The City’s fee structure has not historically distinguished between single and multi-family
construction, as multi-family housing only recently became a permitted use.
A number of other fees apply in Rolling Hills; these are typically associated with new residences
and are intended to offset the additional cost of providing services. These include:
• A Park and Recreation Fund Fee, which is equivalent to 2% of the first $100,000 in
building evaluation, plus an additional 0.5% of the remaining balance. The fee for a $1
million construction project would be $6,000. This fee is only charged for new primary
homes---ADUs are exempt.
• A School Impact Fee, which is paid to the Palos Verdes Unified School District. In
2020, the fee was $3.79 per square foot for new residential construction.
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• A fee collected by the Rolling Hills Community Association (RHCA), equivalent to $0.20
per $100 of assessed valuation (i.e., $2,000 for a project with a construction value of
$1,000,000)
• Additional architectural review fees collected by the RHCA, including a $165 flat fee
plus $1 per square foot for new construction, additions and major remodels. In
addition, RHCA collects fees ranging from $25 to $500 for individual features such as
swimming pools, tennis courts, gazebos, and new roofs.
There are no sewer connection fees in the city, since there are no sewers. There is no water
connection fee; water service charges are determined by the size of the meter and the number
of fixtures, plus the amount of water used. The City likewise has no impact fees for housing,
transportation, public art, or other services. Projects in the RDMO Zone would be exempt from
the RHCA fee, since they are outside the HOA boundary.
In total, fees for a typical new home are roughly equivalent to 7-8 percent of total construction
costs. This is comparable to other cities on the Palos Verdes Peninsula, though somewhat
higher than in other urbanized parts of Los Angeles County. The higher fees are associated in
part with the terrain and hazards in Rolling Hills and the size and complexity of applications for
new homes, many of which require extensive grading and multiple inspections. Fees do not
constrain development in Rolling Hills, but they do add to the cost of housing, which is already
expensive in the City. Programs to reduce processing and permitting fees for ADUs could be
considered, as they could incentivize ADU production.
5.2.9 Other Local Ordinances and Disclosure Requirements
No other local ordinances were identified that could present potential constraints to housing
needs. The City does not have an inclusionary zoning requirement, growth control ordinance or
limits on the number of units that may be constructed in a given year, or other locally-imposed
requirement impacting the cost of residential development. The City prohibits the rental of
rooms and houses for periods of less than 30 days, effectively disallowing short-term rentals.
This supports the City’s goal of using Accessory Dwelling Units as rental housing, rather than for
transient occupancy.
The City also complies with AB 1483 (2019), which requires that agencies publish specific
information on their websites starting January 1, 2021. This information includes:
• All current fees and exactions applicable to housing
• All zoning ordinances, design and development standards
• Current and five previous annual financial reports
• An archive of nexus studies for impact fees conducted after January 1, 2018
The City of Rolling Hills maintains a Planning and Community Services landing page on its
website that contains all of this information. This landing page includes a link to all planning and
development fees, the Zoning Map, the Municipal Code (which includes the zoning ordinance
and all applicable development standards), the General Plan, the Local Hazard Mitigation Plan,
Landscape Design Standards, the Water Efficient Landscape Ordinance, Planning and
Development forms and application materials, the Planning Commission calendar, technical
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information for developers (related to stormwater management), permitting requirements,
guidelines for equestrian facilities, information on solar panels and rainwater harvesting, and
guidance on septic system installation. The City is also updating its environmental programs
page. An action program in the Housing Element calls for this information to be reorganized and
updated, with new information added on Accessory Dwelling Units and links to the RHCA Design
Guidelines.
Every annual budget and audited financial report for the City since 2010 is available on the
City’s website. There have been no nexus studies for impact fees since 2018, but such studies
would be posted if conducted in the future.
Disclosure requirements related to SB 35 also apply to Rolling Hills. In 2018, California adopted
SB 35, which establishes streamlining provisions for multi-family projects meeting certain criteria
related to affordability and payment of prevailing wages to construction workers. As of 2021,
projects in Rolling Hills in which 10% of more of the units are affordable are eligible for SB 35.
Article III Section 300 (b) of HCD’s Guidelines for SB 35 requires that cities in this situation must
provide “information, in a manner readily accessible to the general public, about the locality’s
process for applying and receiving ministerial approval, materials required for an application as
defined in Section 102(b), and relevant objective standards to be used to evaluate the
application.” An action program in this Housing Element recommends creating an SB 35
information sheet and application and including it on the Planning and Community Services
Website.
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5.3 Non-Governmental Constraints
Non-governmental constraints significantly affect the affordability of housing in Rolling Hills.
Specifically, the high cost of real estate in the city, its heritage as a rural, gated equestrian
community, and its limited infrastructure and severe environmental constraints, make it
extremely challenging to build traditional affordable housing units. The city is one of the most
expensive and highly constrained communities in California. To be economically viable,
affordable housing must be tailored to community context—for example, through accessory
dwelling units.
5.3.1 Land Costs
Land in Rolling Hills is expensive. The city features dramatic topography, with sweeping views
of the Pacific Ocean and Los Angeles basin. Property in the city is marketed as a location for
prestigious estates. The supply of acre-plus homesites on the Palos Verdes Peninsula is limited,
making demand for such properties very strong. A scan of Zillow.com in Fall 2021 shows two
vacant lots for sale in the city—one for $7.5 million and another with geologic constraints for $1
million. Data on recent sales shows a vacant single family parcel that sold for $6.85 million in
November 2020 and another that sold for $1.84 million in 2019. These properties have been
marketed and sold as sites for large single family homes.
The economic viability of affordable housing on these sites is further challenged by the cost of
the site improvements that would be required to facilitate safe development. The vacant parcels
described above lack public sewer; are accessed by narrow, winding, private roads traversing
an area with very high wildfire severity; and have slopes that exceed 50 percent in some cases.
The cost of road widening, grading and earth movement, and installation of community-wide
sewer and storm drainage construction make most types of multi-family housing economically
infeasible. There is no public revenue source to make these improvements. The absence of
commercial land uses in the city limits the City’s ability to sponsor programs that would reduce
or underwrite land or site improvement costs.
5.3.2 Construction Costs
The cost of construction, including labor and materials, is a significant constraint to housing
development in Rolling Hills. While high costs have impacted the entire state, Rolling Hills is
particularly impacted by the high cost of mitigating environmental constraints, including fire and
geologic hazards. New home construction requires grading and earth movement, often with
costly retaining walls and engineered drainage systems. Many homes in the city feature high-
end finishes, as well as amenities that result in higher costs. The city is also vulnerable to
elevated or inflated costs that reflect its reputation as a high-end, high-income market.
In 2014, the Rolling Hills Housing Element estimated that construction costs were approximately
$330 to $500 per square foot. Based on recent projects in the city, costs have doubled since
then. The National Association of Homebuilders estimated that costs increased 26 percent
between June 2020 and June 2021 alone. There have been rapid increases in the price of
lumber, copper, steel, aluminum, concrete, and other building materials, resulting in some
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projects being placed on hold and others being cancelled altogether. Construction costs for
home additions now regularly exceed $800 per square foot.
Construction of septic tanks represents a unique expense in Rolling Hills that is not common in
surrounding cities. Anecdotally, homeowners in the city report costs of well over $25,000 to
install new septic systems, which in some cases can be an impediment to adding an accessory
dwelling unit or expanding an older home.
5.3.3 Financing
Financing is not a constraint to housing development in Rolling Hills, but the high cost of housing
makes it infeasible for most households to buy a home in the community. Home mortgage
interest rates were low at the time the Housing Element was drafted, with rates at around 3.0
percent for a 30-year mortgage in Fall 2021. Income and down payment requirements have
become more stringent than they were following the mortgage crisis of a decade ago, and there
are fewer flexible loan programs to bridge the gap between the amount of a required down
payment and a potential homeowner’s available funds.
Given the very high cost of housing in Rolling Hills, significant capital is required to purchase a
home. A 20 percent down-payment on the median priced home in the City would be nearly
$750,000, with monthly mortgage payments of nearly $19,000. A very high income would be
required to qualify. First time buyers face particular challenges in the city, given the lack of
equity from prior home ownership.
5.3.4 Delays Between Approval and Construction
Given the high cost of construction and rising interest rates, there may be delays between the
time a project is entitled and when it is actually constructed. Applicants may postpone their
projects due to high material costs, supply shortages and shipping delays, and a lack of skilled
construction workers and contractors. Rising interest rates can also add to the cost of a project,
leading to postponement. The economic uncertainty and upheaval of the COVID-19 pandemic
has also caused some projects to stall over the last two years. In some cases, projects may be
cancelled altogether, or the property may be sold to a new owner who may modify or abandon
previously approved plans.
These factors are out of the City’s control but can have a real impact on housing supply and
construction. The City is particularly interested in the completion of permitted ADUs, as these
units are critical to achieving affordable housing goals. As noted in Chapter 6, Rolling Hills
intends to establish a monitoring program for permitted ADUs to facilitate their construction.
This would include reaching out to those who receive ADU permits and monitoring construction
progress on those units. The monitoring program includes follow-up conversations with any
applicants who do not complete their projects to understand the factors leading to that decision,
and any steps the City can take to improve completion rates.
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5.3.5 Conditions, Covenants, and Restrictions (CC&Rs)
Development in Rolling Hills is controlled through both municipal zoning and privately enforced
CC&Rs. The CC&Rs are considered a non-governmental constraint because they are enforced
by the Rolling Hills Community Association (RHCA), a private entity. The CC&Rs were
established by the Palos Verdes Corporation in 1936 upon the initial development of the
community. They apply to all property in the city except the City Hall Campus, Tennis Court
Facilities, PVP Unified School District site (Rancho Del Mar), and Daughters of Mary and Joseph
Retreat Center. The RHCA does not have design review or building permit review authority on
these sites.
Elsewhere in Rolling Hills, the CC&Rs restrict the development and use of property to single
family homes and limited public uses. They do not allow multi-family housing, commercial, office
or industrial activity. One of the stated purposes of the CC&Rs is to preserve and maintain the
rural character of the community, including regulating the architectural design of structures.
The CC&Rs authorize the RHCA Board to appoint and maintain a five-member Architectural
Review Committee to carry out this objective. The Committee is comprised of three Association
members and two licensed architects.
The RHCA Board has adopted a Building Regulations manual that is used by homeowners and
their architects/ contractors, and by the Committee to evaluate projects. Committee review is
required for all new residences and accessory structures, and for all projects that modify the
exterior of existing structures. Committee meetings occur twice monthly, on the first and third
Tuesdays. The meetings are not considered “public hearings” since RHCA is not a public
agency, but they are open to all members of the Association and are subject to Association
bylaws.
RHCA’s Building Regulations require that all homes under RHCA’s jurisdiction be one-story,
ranch-style construction. The Regulations identify three permissible style types: traditional
ranch, contemporary ranch, and early California Rancho. Specific standards are provided for
each style, including allowable exterior siding materials, roof materials (and colors), roof pitch,
building height (25 feet), and floor to ceiling plate heights (8’6” maximum in at least 50 percent
of the structure). Regardless of style, all buildings must be painted white, conform to the natural
grade, and have consistently designed doors and windows. A minimum floor area of 1,300
square feet, plus a two-car garage, is required for all residences.
The regulations align with the City of Rolling Hills zoning regulations—in fact, the CC&Rs
expressly state that the Architectural Committee must comply with applicable provisions of the
Rolling Hills Municipal Code. This includes allowing Accessory Dwelling Units (ADU), which are
not mentioned in the Association’s Building Regulations. Under AB 670 and AB 68 (effective
January 2020), CC&Rs may not be used to deny ADU applications, and prohibitions on ADUs by
homeowner associations are not enforceable.
State law does allow homeowner associations to review the design of ADUs, provided their
process is fair, reasonable, and expeditious. This has been occurring in Rolling Hills for the last
three years with no adverse effects on ADU construction.
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As noted earlier in this chapter, the City has developed a ministerial process for ADU approval
as required by state law. Projects meeting the dimensional requirements in the Municipal Code
(which are consistent with State standards) are approved without a public hearing or
discretionary review by the City. If an ADU does not affect the exterior of a home (for instance,
a Junior ADU entirely within the footprint of an existing home, or the conversion of a detached
guest house to an ADU), then no RHCA review is required. The Architectural Committee does
review ADUs that modify the exterior, add square footage to a structure, or result in a new
accessory structure. The purpose of this review is to verify that the structure meets the
objective design requirements in the RHCA Building Regulations rather than to evaluate the
merits of the project or its off-site impacts. According to the Committee’s own guidelines, it “will
not require modifications to working drawings that materially change the massing of the
project.”
City staff has worked closely with RHCA staff to ensure that their design review process is
coordinated with City permitting, streamlined, and does not impose unreasonable restrictions on
applicants. The RHCA office is adjacent to City Hall and there is ongoing coordination between
the two entities. When an application for an ADU is submitted to the City, the City advises the
applicant to proceed to RHCA immediately afterwards to initiate project review. Projects are
typically forwarded to the RHCA Architectural Committee within two weeks and are typically
approved at the initial meeting; if modifications are required, the plans are typically approved at
the second meeting two weeks later. The review occurs concurrently with the City permitting
process, avoiding potential delays.
In practice, every ADU application approved by City staff has subsequently been approved by
the RHCA Architectural Committee. Nonetheless, an action program in this Element
recommends that the City work with RHCA to update the 2017 Building Guidelines to
acknowledge ADUs and provide guidance for homeowners seeking to add an ADU.
5.3.6 Infrastructure
Another factor adding to the cost of new construction is the limited availability of infrastructure,
specifically streets, sewer, storm water and water facilities.
Streets
Rolling Hills has no public roads or streets. Since the 1930s, the community’s internal street
network has been designed to establish a rural, equestrian character. This historic aspect of the
city’s infrastructure is one of Rolling Hills’ defining features. The road network is typified by
winding roads with a 15- to 25-foot paved cross-section and no curbs, gutters, sidewalks, or
streetlights. Narrow road width, coupled with steep grades and very low densities, effectively
precludes public transit within the city. Access is also gate-controlled at three entry points.
The city's circulation infrastructure is not conducive to uses generating high trip volumes, such
as higher-density housing. Given the entire city’s designation as a very high wildfire hazard
severity area, the capacity to evacuate the population is also a limiting factor. Most streets in the
community are “dead ends” without emergency vehicle access alternatives in the event that
ingress and egress is blocked.
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A number of properties—including City Hall, the Retreat Center, and the PVUSD site, are
accessed from roads outside the City gates. These parcels are less constrained by street access
but could require ingress and egress improvements (resurfacing, driveways, etc.) in the event a
change of use was proposed. Such improvements are typical for any development and would
not adversely affect expected construction costs.
Wastewater Disposal
With the exception of the school site and thirteen residences that have individually or collectively
(through the creation of a small sewer district) connected to an adjacent jurisdiction's sewer
systems, there is no sanitary sewer system in Rolling Hills. Residences are served by individual
septic tanks and seepage pits. These systems are designed to serve single family residences
and are not conducive to multi-family housing. This is particularly true given the geologic, slope,
and soil constraints in Rolling Hills. To meet water quality and runoff requirements, high-density
housing typically requires a viable sewer connection.
Over the past 35 years, the City has conducted multiple sewer system feasibility studies. In
2019, the City received approval from the Los Angeles County Public Works and Sanitation
District to discharge effluent from up to 235 existing homes in Rolling Hills. The City is in the
process of completing design drawings for Phase One, which is a 1,585-foot long 8-inch
diameter sewer line along Rolling Hills Road/Portuguese Bend Road. This will provide service to
City Hall, the RHCA offices, and the Tennis Courts. Future phases of the project could provide
service to residences but would require significant grant funding and potentially special
assessments.
In 2021, the City surveyed all households to determine the level of support for developing a
sewer system. Roughly 16 percent of the City’s households participated. The survey found that
about three-quarters of the residents’ septic tanks were more than 20 years old. More than 80
percent supported construction of a sewer system, though many responses were contingent on
the cost. Past engineering studies have concluded that the terrain and unstable geological
conditions in the city make a conventional gravity sewer system infeasible in the city, meaning
the cost to property owners could be significant.
The Palos Verdes Unified School District site is an exception. It is connected to a wastewater
treatment line that was installed when the school was initially constructed. Collection lines were
sized to accommodate a school campus with several hundred students, and associated
maintenance facilities—a higher level of demand than is associated with current uses on the
site. Given the availability of sewer service to this site and the high cost of extending sewer
services elsewhere, it is the most suitable property for multi-family housing in the City.
In some instances, septic systems may present a constraint to ADU development. This is
generally not an issue for JADUs or smaller ADUs that repurpose existing habitable space, but a
new detached ADU that adds floor space may require increasing the capacity of a septic
system. As noted earlier in this chapter, a program in this Housing Element proposes further
evaluation of this constraint, and possible ways to assist homeowners in addressing it.
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Storm Water Run-off
As a rural community without public streets, Rolling Hills does not have a municipal storm sewer
system or continuous network of storm drains. Drainage follows topography, with stormwater
flowing into steep ravines through the community. Water percolates into the ground along
canyon bottoms, with runoff flowing to the ocean, or to larger streams and detention basins
downstream, depending on location.
To comply with federal National Pollutant Discharge Elimination System (NPDES) requirements
and maintain its Municipal Separate Storm Sewer System (MS4) permit, the City is required to
screen and monitor its runoff to avoid compromising downstream water quality standards. It
also required to implement a number of programs, such as an Illicit Discharge Elimination
Program. The City also requires Best Management Practices (BMP) for construction in order to
avoid erosion, pollution, sedimentation, and runoff that would degrade water quality. These
requirements are not a development constraint but may add to the cost of construction.
Moreover, the lack of a municipal storm drainage system represents another constraint to higher
density housing in most of the city.
The Rancho Del Mar site is outside the area covered by the MS4 monitoring program and drains
west toward Rancho Palos Verdes. Unlike the rest of Rolling Hills, it is served by an improved
storm drainage system. A 2017 facility evaluation reported the storm drains and inlets on the
site as being in good condition.
Water
Water infrastructure in Rolling Hills is owned, maintained, and operated by California Water
Service (CalWater). The city is within CalWater’s Palos Verdes District, which also serves the
other cities on the Palos Verdes Peninsula. Facility planning is governed by an Urban Water
Management Plan (UWMP), which evaluates anticipated demand and the water resources
available to meet that demand.
Projections of future water use are based in part on expected population growth, which is
derived from SCAG forecasts and local general plans. Water demand is projected to increase
by 6 percent by 2045, reflecting very slow population and housing growth in the Peninsula cities.
Development beyond that anticipated by SCAG forecasts could reduce water pressure,
compromise firefighting capabilities, and curtail domestic water availability. This is a problem
throughout California, made worse by persistent drought conditions. The UWMP provides water
shortage contingency plans, including measures to reduce demand and procure emergency
supplies.
Water storage facilities and pipelines in Rolling Hills are generally adequate to meet local needs.
However, many of the city’s water facilities are aging and the system as a whole is vulnerable to
damage during earthquakes and landslides. Storage and distribution facilities reflect the rural
density of the city and are not sized to accommodate significant growth. The Palos Verdes
Unified School District site provides a unique opportunity in this regard, as its water system was
designed for a public school campus with several hundred students.
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The introduction of ADUs in Rolling Hills could potentially impact water demand in the City. The
California Water Company has no plans to upgrade the aging water system. As ADUs are
created, it will be important to consider potential impacts on water distribution lines and fire
fighting capacity. Several factors work to mitigate the impacts of ADUs on the water system.
First, the population of Rolling Hills has declined by roughly 300 since 1980. Thus, the addition
of 40 or so ADUs over eight years may not increase the total number of residents in the City.
Second, water conservation measures have been implemented—and continue to be
implemented—to reduce water flows and water demand. These measures include water-
efficient landscaping requirements, as well as requirements for more efficient plumbing fixtures.
Dry Utilities
Rolling Hills residences are also served by dry utilities. Electric services are generally provided
by Southern California Edison while natural gas is provided by Southern California Gas
Company. A range of private vendors provide phone, internet, and cable services. Capacity is
available to serve new development, and all of the vacant and underutilized sites identified in
Chapter 4 would have access to these services if they were developed. The Rancho Del Mar
site currently has access to these services as it is a former school.
5.3.7 Environmental Constraints
Rolling Hills has severe environmental constraints to development. Slopes exceeding 25
percent are present on almost every remaining undeveloped parcel in the city. Geotechnical
studies are required when new homes are constructed, and mitigation is often required to
reduce the potential for future damage. The City’s Site Plan Review Process and grading
requirements are intended to strictly limit recontouring of existing terrain. Most grading occurs
through “cut and fill” procedures that retain materials on site. This adds to local housing costs
and limits the viability of multi-family housing on most properties in the city.
Landslide Hazards
Figure 5.2 shows landslide zones in Rolling Hills, as mapped by the California Geological Survey
(CGS). Large portions of the city are considered hazardous and major slides have occurred in
the past. This includes the Flying Triangle Landslide, which has impacted roads, homes, and
properties in the southern part of the city for the last 50 years. These areas are poorly suited for
development and are susceptible to slope failure. Human modifications to slopes (through
development) can exacerbate the problem and the risk.
Building at the head of a landslide can decrease the bedrock strength along an existing or
potential rupture surface and “drive” the landslide down slope. Improper grading practices can
also trigger existing landslides. Because of these geologic hazards, the City limits land
disturbance and other actions that would exacerbate soil instability. Ground instability would
contribute to potential risks to human life as well as to physical structures. The Safety Element of
the General Plan sets forth policies to restrict new development and expansion of existing
development in areas susceptible to landslides.
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Earthquake Hazards
Like most of Southern California, Rolling Hills is vulnerable to earthquakes. Large earthquakes
can cause building damage and collapse, as well as damage to roads and utilities. The City of
Rolling Hills is crossed by the Cabrillo Fault, which is part of the Palos Verdes Fault Zone. It is
also vulnerable to earthquakes on the Whittier Fault, the Newport-Inglewood Fault, the Malibu
Fault, the Santa Monica Fault, the Redondo Canyon Fault. The location of these faults is shown
on Figure 5.3.
The Whittier and Newport-Inglewood Faults are considered capable of generating earthquakes
with magnitudes greater than 7.0 and have the potential to cause catastrophic damage. In the
event of a major earthquake on either fault, the city of Rolling Hills would be vulnerable to
ground shaking. Secondary hazards include liquefaction, earthquake-induced landslides and
differential settlement. Fault rupture is not a significant hazard in the city, and there are no
Alquist Priolo “special studies” zones within the city limits.
Wildfire
As shown on Figure 5.4, the entire city of Rolling Hills has been designated a “Very High Wildfire
Hazard Severity Zone” by CalFire. The city’s terrain creates challenges for vegetation
management and presents conditions where a fire can travel quickly up and down canyon
slopes. Despite defensible space requirements, the city’s rural nature and equestrian heritage
means that extensive areas are covered by dense scrub and brush. The Palos Verdes
Peninsula has a history of destructive wildfire, including fires that destroyed homes in 1973,
1993, 2009, and 2018.
The City has taken measures to reduce fire hazards, including preparing a Community Wildfire
Protection Plan in 2020. The Plan outlines measures to harden infrastructure, improve
vegetation management, underground electric power lines, and improve inspections and
enforcement. It also includes provisions for evacuation. Additionally, the City (and Los Angeles
County) require special building safety measures, including standards for roofing, eaves,
exterior finishes, and buffer zones that respond to the higher fire hazard levels.
Despite these measures, the risks of wildfire cannot be eliminated entirely. Moreover, the city
continues to face evacuation constraints resulting from its narrow roads, limited ingress and
egress points, and the presence of livestock on many properties.
Biological Resources
Rolling Hills supports a variety of plant and wildlife species, including some that are listed or
under consideration for listing by the U.S. Department of Fish and Wildlife and/or the California
Department of Fish and Wildlife. These species include the Palos Verdes Blue butterfly, the
California Gnatcatcher, the Pacific Pocket Mouse, the San Diego Horned Lizard, and
Brackishwater snail. Development that could adversely impact the habitat of these species must
undergo review and approval by the overseeing federal and state agencies. Typical mitigation
measures include preservation of habitat, further restricting the potential land available for
development. This constraint is likely to continue throughout the planning period.
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Figure 5.2: Landslide Hazard Areas in Rolling Hills
Source: Draft Rolling Hills Amended Safety Element, 2022
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Figure 5.3: Earthquake Faults in the Rolling Hills Vicinity
Source: Draft Rolling Hills Amended Safety Element, 2021
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Figure 5.4: CalFire “Very High” Fire Hazard Severity Zones
Source: Draft Rolling Hills Amended Safety Element, 2021
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6. Housing Goals, Policies, Objectives, and Programs
Chapter 6 provides the City’s housing plan for the next eight years. The plan has three
components:
• A statement of the City’s goals and policies for housing. The goals and policies balance
State mandates and Government Code requirements with local needs and priorities.
• An action program. The action program identifies the specific, measurable steps the City
will take during 2021-2029 to implement the policies.
• Measurable objectives for housing production. These objectives correspond to the
City’s Regional Housing Needs Allocation (RHNA) and also include numeric targets for
housing rehabilitation and conservation.
6.1 Goals and Policies
The following goals and policies reflect the City’s continued commitment to actively support
residential development and plan for the City’s fair share of regional housing needs:
GOAL 1: Provide housing opportunities which meet the needs of existing and
future Rolling Hills' residents.
Policy 1.1: Accommodate Rolling Hills’ share of the region’s housing needs in a way that
protects public safety, responds to infrastructure constraints and natural hazards,
recognizes market conditions, and respects the historic context and land use
pattern in the city.
Policy 1.2: Allow the development of a variety of housing types in the city, including multi-
family housing. While Rolling Hills will remain a rural equestrian community,
housing opportunities will be provided for all income groups as required by State
law.
Policy 1.3: Facilitate development on the remaining vacant buildable lots in the city in a
manner consistent with adopted zoning standards.
Policy 1.4: Allow Accessory Dwelling Units (ADUs) and Junior Accessory Dwelling Units
(JADUs) in all residential zones. Maintain objective standards to ensure that
ADUs and JADUs are compatible with the community; minimize visual, parking,
traffic, and other impacts; and respect neighborhood context.
Policy 1.5: Explore incentives to create and maintain Accessory Dwelling Units that are
affordable to low and very low income households.
Policy 1.6: Encourage the conversion of existing guest houses and other habitable
accessory buildings into legal ADUs.
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Policy 1.7: Work with other governmental entities and the non-profit community to support
the development of affordable or senior housing on the Palos Verdes Peninsula
and in nearby South Bay cities.
Policy 1.8: Maintain planning and building procedures that maximize efficiency and reduce
permit processing times and high fees. Encourage public understanding of the
planning and building processes to reduce project costs and delays.
GOAL 2: Maintain and enhance the quality of residential neighborhoods in
Rolling Hills.
Policy 2.1: Encourage and facilitate the maintenance and improvement of existing homes.
Policy 2.2: Ensure that new housing and home improvements comply with building code and
fire safety requirements.
Policy 2.3: Maintain a code enforcement program, including procedures to remediate
violations.
Policy 2.4: Require the design of home improvements, additions, ADUs, and infill housing to
minimize impacts on existing residences. Include objective standards in the
zoning ordinance that protect visual quality, privacy, and community character.
Policy 2.5: Mitigate hazards that could potentially cause a loss of housing units in the city,
including wildfires, landslides, and earthquakes. Encourage home hardening and
defensible space to minimize the potential for housing loss during a natural
disaster.
Policy 2.6 Prohibit the use of ADUs as short-term rentals in order to maintain their viability
as permanent housing units.
Policy 2.7: Encourage weatherization, energy conservation, and renewable energy to
increase energy efficiency and reduce home energy costs.
GOAL 3: Address the housing needs of older adults and others in the
community with special housing needs.
Policy 3.1: Provide reference and referral services for seniors, such as in-home care and
counseling for housing-related issues.
Policy 3.2: Support shared housing programs and room rentals as options for seniors to
remain in the community without financial hardship.
Policy 3.3: Encourage housing opportunities for live-in care givers, domestic employees, and
family members who may assist elderly or mobility-impaired residents who wish
to age in place.
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Policy 3.4: Consider participation in state and federal programs that assist lower income and
senior households in home repair and maintenance.
Policy 3.5: Strive to meet the needs of extremely low-income Rolling Hills residents,
including seniors on fixed incomes.
Policy 3.6: Encourage the retrofitting of existing Rolling Hills homes so they are accessible to
the disabled, including persons with developmental disabilities. Provide
reasonable accommodations in rules, policies, practices, and procedures for
disabled persons to ensure equal access to housing.
Policy 3.7: Participate in countywide programs to meet the needs of unsheltered residents
and others who may need emergency housing assistance.
GOAL 4: Promote housing opportunities for all persons regardless of race,
religion, sex, marital status, ancestry, disability status, or national
origin.
Policy 4.1: Affirmatively further fair housing by ensuring that housing opportunities for
persons of all income levels, races and ethnicities, and physical abilities are
available in Rolling Hills.
Policy 4.2: Enforce all applicable laws and policies pertaining to equal housing opportunity
and discrimination. Maintain third party agreements to follow-up on and correct
alleged violations.
Policy 4.3 Make information on fair housing laws available to residents and realtors in the
City by providing information on the City’s website and print media at the City
Hall public counter.
Policy 4.4: Ensure effective and informed community participation in local housing decisions.
This should include special efforts to include traditionally underrepresented
groups, including persons working or providing services in Rolling Hills.
Policy 4.5: Distribute affordable housing opportunities around the city by focusing on ADUs
as a housing strategy.
Policy 4.6: Participate in regional forums and initiatives to promote fair housing.
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6.2 Housing Implementation Plan, 2021-2029
The goals and policies set forth in the Housing Element will be implemented through a series of
housing programs. Some of these programs are already underway and others will be
implemented over the next eight years. This section of the Housing Element provides a brief
description of each program, including measurable objectives, responsible entities, and
implementation timeframes. Each of these programs has been developed consistent with HCD
guidelines and State Government Code requirements.
Program 1: Annual Progress Report
As required by State law, the City will prepare and file an annual report on the progress made
toward implementing its Housing Element using forms and definitions adopted by the California
Department of Housing and Community Development (HCD). Guidance on the content of the
report is provided by the State Office of Planning and Research. It documents the City’s
progress toward meeting its share of regional housing needs and efforts to remove government
constraints to housing production. The report must be presented to the City Council prior to its
submittal (it may be approved as a consent item).
Quantified Objective: Provide one report per year
Funding Source: City General Fund
Responsible Agency: Planning and Community Services Department
Implementation Time Frame: File by April 1 of each year
Program 2: Rancho Del Mar Opportunity Site Monitoring
In February 2021, the City adopted the Rancho Del Mar Overlay Zone on the 31-acre Rancho
Del Mar (RDM) campus owned by the Palos Verdes Unified School District. As documented in
Chapter 4 and Appendix B of this Housing Element, large parts of the RDM site are unimproved
and vacant. The new zoning permits 16 affordable multi-family units on the site, which may be
developed “by right” at a minimum density of 20 units per acre.
The City Manager will meet at least once annually with the School Superintendent to discuss the
future of the site, including future development opportunities. Next steps to be pursued on the
site include:
• Subdividing the site to create a separate parcel west of the PVPTA transit facility. This
site could potentially be more easily marketed as a development opportunity than the 31-
acre site as a whole.1
• Preparation of a “fact sheet” for the site, for review by the School Superintendent and
School Board, highlighting the potential for multi-family housing
• Further discussions with the School Board regarding opportunities for teacher housing
and/or senior housing on the site.
1 Subdivision is not required to develop the site—it can also be developed “as is” in 2022. However, subdivision could provide an
incentive for future development during the planning period.
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• In collaboration with the School District, make information on the site (e.g., the “Fact
Sheet”) available to affordable housing developers.
• Further discussions with non-profit developers regarding the opportunity to construct
housing on the site, including technical assistance to developers where requested.
• Consideration of permit streamlining, CEQA clearance, and fee reductions for future
affordable housing development on the site. Multi-family housing is already permitted
“by right” subject to objective design standards adopted in February 2021, but further
steps could be taken to reduce future development costs.
Quantified Objectives: (1) 16 units of affordable housing on the RDM site
(2) Annual meeting between the City Manager and School
Superintendent
Funding Source: City General Fund
Responsible Agency: City Manager
Implementation Time Frame: (1) Meeting with School Superintendent by end of 2022 and once
annually thereafter
(2) Preparation of site “fact sheet” for review by School District
and School Board by June 2023
(3) Subdivision creating “western” parcel by end of 2023, subject
to School Superintendent and Board approval
Program 3: No Net Loss Monitoring and Other Multi-Family Housing Opportunities
The City has identified adequate capacity to accommodate 45 units of housing, as required by
the Regional Housing Needs Allocation. Sixteen of these units are on the Rancho Del Mar Site.
Five are new single family homes on vacant lots (three of which are already approved). The
remainder are Accessory Dwelling Units. Rolling Hills will continue to maintain General Plan and
zoning designations that facilitate development of the required number of units and will continue
to comply with the Housing Accountability Act in the event projects are proposed.
SB 166 (2017) requires that every city maintain “adequate sites” to accommodate its RHNA by
income category at all times during the eight-year Housing Element period. If a designated
housing opportunity site becomes unavailable, the city must demonstrate that it still has
adequate capacity on its remaining sites (e.g., “no net loss”). In the event the Rancho Del Mar
site becomes unavailable to produce the housing units envisioned by the overlay zone, the City
would need another suitable site to accommodate those units.
Cities generally meet the no net loss mandate by providing one or more “buffer” sites in addition
to their primary sites. These sites must meet HCD criteria, including the ability to accommodate
16 units at a density of at least 20 units per acre. As demonstrated in Chapter 4, due to the lack
of sewer and the community’s natural hazards, Rolling Hills does not have a buffer site available.
The City will continue to explore potential housing sites that could supplement the RDM site,
particularly where sanitary sewer service could be made available in the future. The City will
continue to rely on accessory dwelling units to meet the balance of its lower-income housing
assignment, regardless.
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Quantified Objectives: No net loss of housing capacity to meet RHNA at all times
Funding Source: City General Fund/ Permitting Fees
Responsible Agency: Planning and Community Services Department
Implementation Time Frame: Continuous through 2029
Program 4: Add Definitions of Transitional and Supportive Housing, Residential
Care Facilities, and Employee Housing, to Municipal Code
To comply with Government Code Section 65583(c)(3), the City of Rolling Hills must clarify that
residential care facilities, transitional housing, and supportive housing are considered residential
uses and are subject to the same restrictions that apply to the other residential uses that are
allowed in a given zoning district. In other words, a single family home used as a group home
for persons with disabilities is subject to the same planning and zoning requirements that apply
to a single family home used by a traditional family. Most local governments have addressed
this requirement by adding definitions to their zoning codes for transitional and supportive
housing, as well as large and small residential care facilities.
The purpose of this program is to add those definitions to the Rolling Hills Municipal Code
(Chapter 17). The definitions would acknowledge that such housing is permitted in the same
manner as other residential dwellings of the same type in the same zone as required by State
law. The Code amendments will ensure that no special requirements are placed on residential
care facilities with seven or more occupants, as required by State law. Definitions of low barrier
navigation centers also will be added to the Code and referenced in other zoning regulations, as
required by State law.
This program also includes a Municipal Code Amendment to add a definition for employee
housing in accordance with the California Health and Safety Code (HSC). HSC Section 17021.5
states that employee housing providing accommodations for six or fewer people shall be
deemed a single family structure with a residential land use designation. It further states that
employee housing may not be considered a boarding house, rooming house, hotel, dormitory,
or similar term that implies that such housing is a business run for profit or differs in any other
way from a single family dwelling. State law precludes a city from requiring a conditional use
permit, zoning variance or other zoning variance for such housing, and stipulates that the use of
a single family dwelling for six of fewer employees does not constitute a change of occupancy
for building code purposes.
Quantified Objectives: Council Action Adopting Definitions
Funding Source: City General Fund
Responsible Agency: Planning and Community Services Department/ City Attorney
Implementation Time Frame: Complete by December 2022
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Program 5: Density Bonus Ordinance
Section 65915 of the California Government Code establishes mandatory statewide provisions
for density bonuses for affordable and senior housing projects. Rolling Hills does not currently
have density bonus provisions in its Municipal Code. Historically, the City has not had multi-
family housing, nor any site where multi-family housing could be constructed. With the creation
of the Rancho Del Mar Overlay Zone, a developer could request a density bonus and related
concessions from a developer. State standards would apply in this instance. The City should
adopt provisions in its Municipal Code acknowledging the applicability of State density bonus
laws in the event a request is received.
Quantified Objectives: Municipal Code amendment related to Density Bonuses
Funding Source: General Fund
Responsible Agency: Planning and Community Services Department
Implementation Time Frame: Complete by December 2022
Program 6: Accessory Dwelling Unit (ADU) Production, Monitoring, and Incentives
As noted in Chapter 4, the City intends to meet its Regional Housing Needs Allocation of 29
lower income units through a combination of affordable housing on the Rancho Del Mar site (16
units) and privately constructed and rented ADUs on scattered sites throughout the city. At
least 13 ADUs should meet affordability thresholds for low and very low income households.2
Creating opportunities for lower income households on scattered sites supports one of the main
objectives of the State’s Affirmatively Further Fair Housing (AFFH) requirements, which is to
avoid the concentration of lower income housing in a single location. An ADU-centered strategy
also responds to the lack of sanitary sewer, storm drainage, and public streets in Rolling Hills
and the community’s rural densities and absence of supportive services.
As stated in Chapter 4, the City approved nine ADUs in 2021 alone, including two that are
projected to be affordable to lower income households based on their small size. Thus, creating
another 11 ADUs affordable to lower income households over the next eight years is an
attainable goal. The Annual Housing Progress Report should address the City’s progress
toward meeting this goal; if the City is falling short after two years, the strategy should be
revisited and additional incentives should be developed.
Program 6 includes a number of specific elements, which are listed below:
6.1 Develop Citywide Roster of ADUs. The City developed an ADU roster in October 2021
and will expand the roster as new units are created. Currently, the roster (or data base)
contains fields such as Address, Owner, month approved, square footage, and a description
of each unit. This should be expanded to include information on whether the unit is
occupied, the number of occupants, and the rent charged—this information would be
requested from homeowners on a voluntary basis. Tracking occupancy and affordability is
2 Two ADUs meeting affordability criteria for low/very low are already under construction (see Table 4.1), leaving a balance of 11
needed.
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intended to determine how many units are serving very low- and low-income households,
and to demonstrate that the City is meeting its RHNA.
6.2 Annual ADU Survey and Monitoring. The City will send an annual letter to households on
the ADU roster requesting information on the status of the unit. The information will be used
to prepare a summary that can be referenced as part of the City’s Annual Progress Report.
As part of this task, the City will also identify instances where very low or extremely low
income households (including family members, domestic employees, caregivers, etc.) are
residing on Rolling Hills properties and paying below market rent (or no rent). To the extent
these households are occupying independent living quarters, this data provides evidence
that the City is accommodating its RHNA target for very low income households.
As part of this effort, the City will also implement an annual monitoring program to ensure
that the Housing Element targets for ADUs are being achieved. A determination of the City’s
progress toward meeting its RHNA target of 40 units over 2021-2029 shall be made once
per year. In the event the City is not on track to meet its target, it will consider alternative
means of meeting its RHNA goals within six months of this determination. These could
include additional ADU incentives, modifications to the affordable housing overlay zone, and
other actions that would facilitate production of additional affordable units.
6.3 Develop Inventory of Potential ADUs. Over time, the City will develop a parcel data base
of potential (or “unintended”) ADUs, which are existing habitable spaces that could
potentially be converted into independent dwelling units. This would include guest houses,
pool houses, and similar accessory structures that are used by the primary residence. As
the inventory is completed, owners would be advised of the opportunity to convert the space
into a legal ADU.
6.4 Incentives for ADU Construction. The City will develop incentives for ADU construction.
Different incentives may be developed for those building new homes (i.e., reduced fees for
including an ADU in a new residence), those adding a new ADU on their property, and those
converting existing habitable floor space into an ADU. In accordance with California Health
and Safety Code (HSC), Section 65583(c)(7) (effective January 1, 2021), the City will
explore the use of State CalHome, LEAP, REAP, and SB 2 funding to help local homeowners
build or finance ADUs on their properties. Access to these funds typically requires rents that
are affordable to low and very low-income households.
6.5 Pre-Approved ADU Plans. The City will determine its eligibility for State grant funding to
develop “pre-approved” plans for ADUs that can be used by Rolling Hills residents. These
architect-developed plans would be specifically tailored to meet the RHCA design guidelines
and would respond to the topography and access constraints found on most Rolling Hills
lots. Enabling homeowners to use pre-approved plans may reduce architectural design
costs, and potentially reduce construction costs. This can make ADUs more feasible and
allow them to be rented more affordably.
6.6 Coordination with RHCA. The City will coordinate with the Rolling Hills Community
Association to ensure that RHCA’s design review practices and procedures do not constrain
ADU construction or add to their costs. City staff will meet with RHCA staff and the RHCA
Architectural Committee regularly to coordinate review, advise RHCA of State laws relating
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to ADUs, and address any issues that may arise in the future. The City will also work with
the Rolling Hills Community Association to explore reduction of annual HOA fees for
property owners agreeing to limit rents on their ADUs.
6.7 Septic Tank Replacement Grants or Financial Assistance. The City will pursue funding
for a grant which can be used to assist homeowners with septic tank replacement when
paired with the addition of an ADU. The grants would be targeted to lower income seniors
who may seek to add an ADU but lack the financial resources to replace their septic tanks.
6.8 Non-Profit Construction of ADUs. The City will explore the possibility of engaging a non-
profit housing developer in a program to develop ADUs in partnership with interested Rolling
Hills property owners. Participation could be limited to qualifying lower income residents, or
to homeowners who agree to limit rents to levels that are affordable to lower income
households. Such a program was successfully implemented by the City of Santa Cruz, in
collaboration with Habitat for Humanity, and could be considered locally.
6.9 Monitor Best Practices in ADUs. The City will continue to track statewide and national
trends in ADU management, incentives, and regulations. The focus will be on cities in
California that are comparable to Rolling Hills in density, character, and constraints, with an
eye toward cities that are relying on ADUs to meet a substantial share of their RHNA for
lower income households. Programs that are potentially transferable to Rolling Hills will be
considered for local implementation.
6.10 Update Municipal Code Provisions for ADUs. By October 15, 2022, the City will update
its ADU ordinance to reflect changes to State law made since the last revision to the
ordinance in February 2020. This includes eliminating references to a maximum bedroom
count in an ADU and including provisions for complete applications to be deemed
approved if they are not acted upon within 60 days.
6.11 Outreach to ADU Permit Recipients. The City will monitor ADU approvals, including six-
month “check-ins” with all applicants receiving ADU permits until the units are completed.
These check-ins will include status updates on the projects, including whether a building
permit has been issued and what progress is being made. In the event an applicant
chooses not to follow through on an approved ADU, staff will make an effort to document
the reasons and evaluate any changes that might be made to the City’s ADU program to
improve completion rates. This information should be part of the City’s annual housing
progress report.
In addition to the specific measures listed above, City staff will continue to assist homeowners
who are interested in adding an ADU, and will work with applicants to facilitate ADU review,
permitting, and approval.
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Quantified Objectives: (1) Citywide ADU roster of 40 ADUs by 2029, including at least 13
ADUs rented at levels meeting affordability criteria for lower
income households
(2) ADU Survey, administered once a year
(3) Inventory of potential ADUs
(4) ADU Incentives
(5) Two to four pre-approved ADU architectural plans
(6) Municipal Code Revisions (see 6.10 above)
(7) 100% completion of ADUs receiving permits
Funding Source: City General Fund/ State grants
Responsible Agency: Planning and Community Services Department/ City Attorney
Implementation Time Frame: (1) Rosters and Surveys prepared by 2022 and updated annually
(2) ADU incentives by 2023
(3) Approved architectural plans by 2024, or as funding allows
(4) Amend Municipal Code Chapter 17.28 (Accessory Dwelling
Units) for consistency with State law by October 15, 2022
(5) Establish protocol for 6-month check-ins with ADU permit
recipients by January 1, 2023
(6) Annual monitoring report on ADU production
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Program 7: Accessory Dwelling Unit (ADU) Outreach, Education, and Information
Program 7 addresses public outreach, education, and information on ADUs. Like Program 6, it
has multiple elements.
7.1 Biennial Mailing. The City will send a mailing to all households in Rolling Hills at least
once every two years advising them of the opportunity to create an ADU, the potential
benefits of having an ADU, and potential incentives in the event the ADU will be
occupied by a household worker, caregiver, family member, or other household meeting
the definition of a low or very low income household. The mailing may consist of an
article in the City’s monthly newsletter.
7.2 Website. The City will develop a landing page on its website with information on ADU
opportunities (“Thinking about building an ADU?”). The website landing page will
include information on the types of ADUs an owner may consider (detached, attached,
junior, etc.), the typical cost and cost considerations, financing options, tax implications,
development standards, tenant selection, and so on. The information should also be
provided in printed form for interested homeowners.
7.3 RHCA Design Guidelines Update. The City will work with the Rolling Hills Community
Association to facilitate an update of the RHCA Design Guidelines so that they address
ADUs. Currently, the Guidelines do not acknowledge ADUs at all. The Update would
provide objective design standards for ADUs that are consistent with Rolling Hills zoning
standards as well as the design guidelines that currently apply.
Quantified Objectives: (1) Mailings to all Rolling Hills households (at least once every 2
years)
(2) Updated City website
(3) Updated Design Guidelines document
Funding Source: City General Fund, State grants
Responsible Agency: Planning and Community Services Department
Implementation Time Frame: (1) First mailing by December 2022
(2) Website update by June 2023
(3) Update of design guidelines by 2024
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Program 8: Assist Senior and Disabled Households
The City will continue to address the housing needs of seniors and persons with disabilities by
connecting those in need with social service agencies, non-profits, volunteer organizations, and
other service providers, and by coordinating with the RHCA in the services and programs it
provides. As noted in the Needs Assessment, more than one-third of the city’s residents are
over 65 and about 10 percent have one or more disabilities. The City will work with seniors,
especially those on fixed incomes, to evaluate housing needs and resources. Within 18 months
of Housing Element adoption, the City Council will convene a study session jointly with the
RHCA Needs of Seniors Committee and at least one local non-profit serving seniors (such as
Peninsula Seniors) to discuss the needs of Rolling Hills seniors and potential programs to
address these needs.
Several of the programs listed elsewhere in this Element (shared housing, assistance with home
maintenance, reduced utility rates, etc.) are primarily intended to benefit lower income seniors.
The City also will support expanded opportunities for persons with disabilities, including the use
of universal design principles and accessibility standards in new construction and ADUs. As
part of this program, Rolling Hills will also work with the Harbor Regional Center to implement
outreach services to Rolling Hills families on services available to persons with developmental
disabilities. The City’s website will be updated to include links to housing and supportive
services for seniors and disabled persons.
Quantified Objectives: Website landing page with senior housing resources
Facilitate age-in-place retrofits for 10 senior households
City Council study session on needs of seniors and potential
actions to assist Rolling Hills seniors
Funding Source: City General Fund
Responsible Agency: Planning and Community Services Department/ City Manager
Implementation Time Frame: June 2023 (for website)
Council Study Session before December 2023
Program 9: Assist Extremely Low-Income Households
Extremely Low Income (ELI) households have incomes that 30 percent or less of the County
median. In 2021, the income thresholds for ELI were $24,850 for a household of one; $28,400
for a household of two; $31,950 for a household of three; and $34,450 for a household of four.
Based on CHAS data, there are 25 ELI households in Rolling Hills, representing about 3.5
percent of the city’s households. The CHAS data indicated that all 25 of these households were
homeowners, suggesting they are primarily seniors on fixed incomes. The City will explore ways
to assist elder Rolling Hills homeowners on fixed incomes with home maintenance, repair, and
retrofit activities. It will also direct these households to appropriate resources, such as shared
housing services and programs to reduce utility costs.
There are additional ELI households in Rolling Hills that may not be counted in the Census data,
including extended family members living in independent quarters on a property, or domestic
employees (housekeepers, au pairs, personal assistants, etc.) living in guest houses, accessory
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buildings, or in separate quarters within the primary residence. The City will address the needs
of these households by prioritizing applications for ADUs and encouraging homeowners to
create opportunities for domestic employees and family members to live “on site.”
A study sponsored by SCAG in 2020 determined that 15 percent of the ADUs in the coastal Los
Angeles area were likely to be available at rents affordable to Extremely Low Income
Households.3 A 2018 study further found that 17% of the ADUs in Portland, Seattle, and
Vancouver were occupied by a friend or family member for free.4 A 2014 study found that 18%
of the ADUs in Portland were occupied for free or extremely low cost.5 A 2012 UC Berkeley
publication indicates that up to half of all ADUs are occupied at no cost.6
Based on these analyses, the City is estimating that seven “rent free” or extremely low income
rentals will be added to the Rolling Hills housing stock by 2029. It will seek to document and
measure progress toward this objective by soliciting voluntary reporting of such units by
individual homeowners. As noted in Program 6.2, an annual survey is proposed to be
adminstered to all registered ADU owners in the city. This would enable tracking of rent-free or
reduced rent ADUs.
Quantified Objectives: Provide seven housing units affordable to Extremely Low Income
Funding Source: City General Fund/ Permitting Fees
Responsible Agency: Planning and Community Services Department
Implementation Time Frame: Prepare inventory of Extremely Low Income (ELI) units by 2024,
update annually
Facilitate housing assistance to at least three ELI senior
homeowners by 2025
Program 10: Support Regional Efforts to End Homelessness
Extremely low-income persons also include those who are homeless or may be at risk of
becoming homeless. Although the point-in-time surveys for the last five years have not counted
any homeless residents in Rolling Hills, the City recognizes that homelessness is a regional
problem that requires regional solutions. Rolling Hills will continue to allow emergency shelters
and single room occupancy hotels in the Rancho Del Mar Overlay Zone and will monitor the
effectiveness of its regulations in its Annual Housing Progress Report.
The City will continue to work with adjacent communities on emergency shelter referrals. As a
member of SCAG and the South Bay Cities COG, staff and elected officials participate in forums
and discussions of homelessness, and potential programs and resources to end homelessness
and increase the supply of shelter, transitional, and supportive housing in Greater Los Angeles.
3 SCAG Regional Accessory Dwelling Unit Affordability Analysis, 2020
4 Jumpstarting the Market for ADUs. Terner Center (for ULI), San Francisco, 2018
5 ADUs in Portland OR. Environmental Solutions Management, 2014
6 Scaling Up Secondary Unit Production in the East Bay. Berkeley Institute of Regional Development, 2012
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Quantified Objectives: Participation in point in time surveys; participation in at least one
regional meeting annually on strategies to end homelessness
Funding Source: City General Fund/ Permitting Fees
Responsible Agency: Planning and Community Services Department/ City Manager
Implementation Time Frame: Ongoing, 2021 through 2029
Program 11: Permit Streamlining
The City will continue its efforts to expedite permit processing, ensure efficiency, and reduce
administrative and processing costs for new development. This could include provisions for
reduced fees for ADUs that are rented at below market levels, or occupied by qualifying lower
income households. As part of the annual budgeting process, the City will ensure that fees are
appropriate for the services provided, and will consider ways to improve the permitting and
entitlement processes.
Quantified Objectives: Compliance with all provisions of the Permit Streamlining Act
Funding Source: City General Fund/ Permitting Fees
Responsible Agency: City Manager/ Finance Director/ Planning and Community
Services Department/ LA County Building and Safety
Implementation Time Frame: Ongoing, 2021 through 2029
Program 12: Facilitate Communication with Affordable Housing Service Providers,
Developers, and Advocates
The City of Rolling Hills periodically receives requests from housing advocates, non-profit
developers, and service providers to disseminate information on affordable housing needs and
opportunities and work collaboratively to address housing issues. City planning staff regularly
field requests from for-profit and non-profit developers, participate in regional housing meetings
and discussions, and work with other cities to explore creative, effective ways to meet housing
needs. In the event a non-profit agency or developer wishes to submit a grant application that
will increase housing affordability for senior or low income Rolling Hills residents, staff will
provide administrative support wherever possible.
Quantified Objective: Hold at least one meeting a year with one or more non-profit
housing sponsors to discuss housing opportunities and needs in
Rolling Hills
Funding Source: General Fund
Responsible Agency: Planning and Community Services Department
Implementation Time Frame: Convene one meeting before December 2022. Convene additional
meetings at least once a year from 2023 to 2029.
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Program 13: Shared Housing
Shared housing enables homeowners to offset their housing costs by receiving rent, or get
additional help in managing housing duties. It also creates a resource for lower income
households in the community, including college-aged students and young adults, caregivers,
domestic workers, landscapers and building industry workers, child care workers, teachers, and
other public service employees. It can also be a resource for seniors, some of whom may no
longer wish to live alone or lack the financial resources to live alone.
Residents in Rolling Hills have access to two nearby shared housing programs: Focal Point at
the South Bay Senior Services Center in Torrance and the Anderson Senior Center in San
Pedro. Both these centers offer resources to assist seniors locate roommates interested in
sharing housing. These programs make roommate matches between seniors based on
telephone requests.
Numerous other home sharing services have emerged over the last decade. These include
SHARE! Collaborative Housing, a public-private partnership supporting shared single family
housing for persons with disabilities in Los Angeles County; Affordable Living for the Aging,
which matches younger single tenants with seniors in Los Angeles County; and Los Angeles
County HomeShare, which serves residents of all ages throughout the County. There are also
private services such as Silverleaf (Long Beach) that facilitate home sharing for a fee.
The City will continue to apprise residents about shared housing programs by providing information
at the public counter and online.
Quantified Objectives: Continue to provide informational brochures advertising shared
housing programs at City Hall and on the City’s website
Funding Source: City General Fund
Responsible Agency: Planning and Community Services Department
Implementation Time Frame: Establish website links by December 2022
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Program 14: Sewer Feasibility Studies and Phase One Construction
As indicated in Section 5.3.5 of this Housing Element, Rolling Hills does not have a sanitary
sewer system. With a few exceptions, the entire city is served by private septic systems. Septic
system installation is costly and requires customized design to reflect steep terrain. The cost of
installing sanitary sewers and storm drains would be even more costly, as it would likely require
easements, force mains, and lift stations.
The City recently completed design drawings for a sanitary sewer extension through adjacent
Rolling Hills Estates that will bring service to Rolling Hills City Hall and the Tennis Courts. A
future phase of this project could continue southward along Portuguese Bend Road, allowing
some Rolling Hills homes and a number of vacant properties to be served by sewer. A survey
done by the City in 2021 indicated there was strong support for a sewer extension project,
contingent on the cost to each homeowner. There is currently no funding source for such an
extension. Grant funding would be required, as it would reduce the cost burden on
homeowners and make the project more feasible.
The City will continue to work toward addressing this constraint during the 2021-29 planning
period. This includes:
• Developing the initial phase of the project, serving City Hall and the Tennis Courts
• Conducting feasibility and cost studies for a future phase to serve privately owned
homes and parcels in the northern part of Rolling Hills
• Pursuing funding for future phases
• Continuing to poll Rolling Hills residents on their level of support for the project
In addition, the City continues to monitor water quality issues related to its MS 4 permit for
stormwater discharge. Efforts to address runoff quality and implement best management
practices to reduce pollution are ongoing and will continue.
Quantified Objective: (1) Complete 1,585-foot sanitary sewer extension to City Hall/
Tennis Courts (Phase I)
(2) Complete feasibility / cost study of sanitary sewer extension
(3) Obtain grants for Phase I project construction
Funding Source: General Fund/ State grants
Responsible Agency: City Manager
Implementation Time Frame: Complete Phase I by 2024
Determine viability of future phases and available grants by 2023
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Program 15: Consider Participation in CDBG Urban County Program
At least once every two years, the City should re-evaluate the feasibility of joining the Los
Angeles Urban County CDBG program in order to create a funding source for home
improvements for qualifying lower income Rolling Hills residents. The decision should consider
the potential amount of funding that could be received by the city, and potential uses for that
funding, as well as the administrative costs, reporting requirements, and staff resources required
to carry out the program. In the event the City receives CDBG grants, it could consider using
the funding to assist qualifying lower income households with energy efficiency improvements,
housing rehabilitation and improvements, or septic tank replacement.
Quantified Objectives: Prepare staff report to City Council regarding participation in
Urban County CDBG program
Funding Source: City General Fund
Responsible Agency: City Manager/ Finance Director
Implementation Time Frame: By 2023, and every two years thereafter
Program 16: Code Enforcement
The City will continue code enforcement and nuisance abatement activities to ensure the safety
and habitability of housing in Rolling Hills. While property maintenance in Rolling Hills is
excellent, there is a need for ongoing enforcement of planning and building codes. The City has
a “Code Enforcement” webpage with online forms for reporting suspected violations, including
those relating to vegetation management and outdoor lighting as well as unpermitted
construction or nuisances. Periodic information on code enforcement resources and
requirements is also provided to residents through the City’s monthly newsletter.
Quantified Objective: Respond to 100 percent of resident Code Enforcement inquiries
Funding Source: General Fund
Responsible Agency: Planning and Community Services Department
Implementation Time Frame: Ongoing, 2021-2029
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Program 17: Reduce Home Energy Costs
Energy bills can be a significant cost burden, particularly for households on fixed incomes with
large homes to heat and cool. The City has adopted the Green Building Code and enforces Title
24 energy efficiency requirements through its contract with the Los Angeles County Department
of Building and Safety. New residential projects, including new homes, ADUs, renovations, and
additions, will continue to be required to meet Title 24 standards. These requirements result in
energy savings which reduce gas and electric consumption and home utility bills.
Rolling Hills also works with Southern California Edison to distribute information to residents on
energy conservation and weatherization, including information on financial assistance and lower
utility rates for low-income customers. The City will provide links on its website to assist lower
income residents in accessing information on reduced utility rates. Rolling Hills is also a
member of the South Bay Environmental Services Center, which provides information on energy
incentives, audits and rebates. These programs will continue in the future.
The City will also support resident installation of solar energy systems. A growing number of
Rolling Hills homeowners have installed photovoltaic panels, increasing energy independence
and resilience while reducing home energy costs.
Quantified Objective: (1) Provide links on City website related to energy conservation,
weatherization, and financial assistance
(2) Adopt updated Building Code standards for energy efficiency
Funding Source: General Fund, LIHEAP
Responsible Agency: Planning and Community Services Department
Implementation Time Frame: Website Update, with links: Complete by January 2023
Program 18: Facilitate New Construction and Home Improvements
The City will continue to work with property owners, architects, and builders to enable new
housing to be built in the City. Continued cooperation and communication between City staff,
applicants, and neighbors will facilitate the construction of new housing. The City is committed
to efficient planning, building, and inspection procedures, and regularly seeks ways to improve
the process and reduce delays.
With few vacant lots remaining, most construction projects in Rolling Hills consist of home
additions, repairs and modernization, or replacement of existing dwellings. Continued
investment in Rolling Hills housing stock is strongly encouraged and will continue to be
supported in the future. Although the City does not provide direct financial assistance to lower
income homeowners, it assists owners in keeping costs down through permit streamlining and
fees that are generally below average compared to other cities in Los Angeles County.
Quantified Objective: 5 new single family homes (above moderate income)
Funding Source: Private Funds (Permitting Fees)
Responsible Agency: Planning and Community Services Department, LA County
Building and Safety
Implementation Time Frame: Objective covers the period from 2021 through 2029
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Program 19: Remediate Geologic Hazards
The City will continue to explore solutions to ground stability and landslide problems. Grading,
new structures and additions typically require a soils and geology report along with grading and
building permits. The City has developed strict grading practices that limit grading to no more
than 40 percent of the lot and require maintenance of natural slopes. These practices are
necessary to safeguard the public against ground instability.
The City will support repair work on landslide-damaged homes and hillsides that have been
damaged or compromised by past landslides. The City will strive to avoid further loss of its
housing stock as a result of natural disasters, including landslides and wildfires.
Quantified Objective: Geologic studies for new development and major grading permits
Funding Source: City General Fund
Responsible Agency: Planning and Community Services Department/ City Manager
Implementation Time Frame: On-going, 2021 to 2029
Program 20: Fair Housing Services Program Administration
The City will complete a Fair Housing Outreach and Enforcement Options Memorandum to
determine options for ensuring that existing and prospective residents have access to fair
housing services, and that property owners are apprised of Fair Housing laws and practices.
This could include an agreement with a third party fair housing services provider to promote and
affirmatively further fair housing opportunities for all persons regardless of race, religion, sex,
marital status, ancestry, national origin, color, familial status, disability, or other characteristics
protected by state and federal fair housing law. Other alternatives for outreach, education, and
enforcement also may be considered. Based on the findings of the Memorandum, the City will
implement Fair Housing measures, including Programs 21 and 22 described below.
Quantified Objective: Fair Housing Outreach and Enforcement
Memorandum
Funding Source: General Fund
Responsible Agency: City Manager
Implementation Time Frame: Complete memorandum by December 2022
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Program 21: Fair Housing Outreach
The City will provide information on fair housing resources on its website, including links to fair
housing services. Other outreach measures to be implemented include posting regulations
regarding housing discrimination, as well as phone contacts, at City Hall and periodically
providing this information in the City’s newsletter.
The City will also provide a referral process for any person who believes they have been denied
access to housing because of their race, sex, marital status, ancestry, national origin, color,
familial status or disability. In the event a complaint is received, the City will refer the party to a
fair housing service provider for follow up and work with the complainant to resolve the issue.
Quantified Objective: Active contract with fair housing services provider
Funding Source: General Fund
Responsible Agency: City Manager
Implementation Time Frame: Ongoing, 2021-2029. Website update by December 2022.
Program 22: Fair Housing Training for Staff
At least one City staff member will attend an on-line fair housing certification training class on an
annual basis. These classes are typically three-hour sessions in which participants are informed
and educated about federal and California fair housing laws, compliance, and illegal housing
practices. The trainings cover prohibited and best practices, including language guidance for
advertising housing for sale or for rent, and protected classes under federal and California law.
In addition, the City will regularly evaluate the need for multi-lingual services, including
translation of material on its website into other languages. It will also continue to implement its
reasonable accommodations ordinance and monitor data on persons with disabilities in the city
to ensure that barriers to mobility are eliminated to the greatest extent possible.
Quantified Objective: Annual staff training
Funding Source: General Fund
Responsible Agency: City Manager
Implementation Time Frame: Initiate in 2022 and continue annually through 2029
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Program 23: Written Procedures for SB 35 Projects
As required by State law, the City will prepare written procedures and application materials for
projects seeking to use SB 35. Affordable multi-family housing development on the Rancho Del
Mar site would be potentially eligible. The procedures would follow the provisions established
by the Affordable Housing Overlay Zone, and include the objective standards and application
procedures identified when that zone was adopted. Once completed, the information will be
included as a PDF link on the Planning and Community Services Department website for easy
access.
Quantified Objective: Posted information on SB 35, including application
form
Funding Source: General Fund
Responsible Agency: Planning and Community Services Department
Implementation Time Frame: Complete by December 31, 2022
Program 24: Updating of Linked Files on Planning and Community Services
Department Landing Page
AB 1483 requires that every city post current information on fees, zoning standards, design
guidelines, processes and procedures, nexus studies and other pertinent information on its
website. Although Rolling Hills complies with this requirement today, reorganization of the
material could provide greater clarity and easier access to this information. For example, the
website could include a link to the RHCA design guidelines, as well as updated flow charts and
graphics showing approval processes. As noted under Program 7.2, the website also should
include dedicated information about Accessory Dwelling Units (ADUs) and the steps residents
can take to add an ADU on their property.
Quantified Objective: Reorganized and updated Planning and Community
Services Department website
Funding Source: General Fund
Responsible Agency: Planning and Community Services Department
Implementation Time Frame: Complete by December 31, 2023
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6.3 Summary of 2021-2029 Quantified Objectives
Table 6.1 provides quantified objectives for housing construction, rehabilitation, and
conservation by income group. The new construction objectives align with the RHNA numbers
that appear earlier in the Housing Element. The rehabilitation objective aims to assist 10 very
low-income senior households over the eight year period. The conservation and preservation
objectives correspond to the approximate number of households in Rolling Hills by income
group based on Census data. The objectives aim to preserve housing for 100 percent of these
households. There are no housing units in Rolling Hills that are at risk of conversion from
affordable to market-rate.
Table 6.1: Quantified Objectives by Income Group for Rolling Hills (20 21-2029)
Income Category New
Construction Rehabilitation Conservation/
Preservation
Extremely Low [1] 7 5 25
Very Low 13 5 45
Low 9 45
Moderate 11 25
Above Moderate 5 500
Total Housing Units 45 10 640
Source: SCAG Adopted Regional Housing Needs Determinations (November 2012)
[1] City’s RHNA for “Very Low” income is 20 units. This has been allocated proportionally to “Extremely Low” and “Very
Low” based on Table 3.8, which indicates the current proportion of “Very Low” income households in these two groups.
Extremely low income households represent 35% of the “very low” total.
Table 6.2 summarizes the 24 Housing Element programs listed in this chapter. It includes a
quantified objective and timeframe for each program, as presented above.
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Table 6.2: Housing Element Action Plan Summary
# Program Timing Quantified Objective
1 Prepare Annual Progress Report on
Housing Element implementation
Annually, by April 1 One Report per year
2 Facilitate affordable housing on Rancho
Del Mar Housing Opportunity site
• Annual meeting with
School Superintendent
• Subdivision by 2024
16 lower-income units by
2029
3 No net loss monitoring/ other housing
opportunities
Continuous, through
2029. Address in
Annual Report.
No net loss of housing
capacity for duration of
planning period
4 Add definitions of transitional,
supportive, employee housing and
residential care facilities to Municipal
Code
December 2022 Council action adopting
definitions and
identification of permitted
uses
5 Adopt density bonus provisions in
Municipal Code
December 2022 Council action adopting
density bonus provisions
6 Accessory Dwelling Unit production,
monitoring, and production
• Updated ADU
ordinance by 10/15/22
• ADU Roster in 2021
• Annual ADU survey,
starting in 2022
• Pre-approved plans in
2024
• ADU incentives in
2023
• Annual monitoring
program (2023)
40 ADUs by 2029,
including at least 13 ADUs
affordable to lower income
households
7 Accessory Dwelling Unit Outreach,
Education, and Information
• First biennial mailing
by end of 2022
• Website update by
6/23
• Update of design
guidelines by 2024
• Outreach mailer to 639
households
• ADU website landing
page
• ADU section added to
RHCA Guidelines
8 Assist senior and disabled households • Website update by
6/23
• Housing assistance
during 2021-2029
Assist 10 lower income
senior households with
age in place retrofits
9 Assist extremely low income households • Prepare inventory of
ELI units by 2024
7 ADUs affordable to ELI
households
10 Support regional efforts to end
homelessness
Ongoing • Participate in point-in-
time surveys
• Attend one mtg a year
11 Permit streamlining Ongoing Compliance with Permit
Streamlining Act
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# Program Timing Quantified Objective
12 Facilitate communication with affordable
housing service providers, developers,
and advocates
By December 2022 • Convene at least one
meeting a year
13 Shared housing By December 2022 • Provide information on
website, plus print media
resources
14 Sewer feasibility studies and Phase I
construction
Phase I construction
(serving City Hall) by
2024
• Sewer extension to City
Hall/ Tennis Courts
• Feasibility study for
sewer extension
15 Consider participation in Urban County
CBDG Program
By 2023 Staff report and Council
discussion
16 Code enforcement Ongoing 100% follow up
17 Reduce home energy costs By 2023 Website update
18 Facilitate new construction and home
improvements
Ongoing 5 market-rate single family
homes (including 3 already
approved)
19 Remediate geologic hazards Ongoing Geologic studies for new
development
20 Fair housing program administration Develop fair housing
compliance program by
December 2022
Fair Housing Planning
Memo
21 Fair housing outreach Website update by
December 2022
• Contract with fair
housing service provider
• Website links or landing
page
22 Fair housing training for City staff Initiate in 2022 Annual training for at least
one staff member
23 Prepare written instructions for SB 35
applications
Complete by December
31, 2022
Guidance memo and
application form
24 Update Planning and Community
Services website
Complete by December
31, 2023
Updated website
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Appendix A: Affirmatively Furthering Fair Housing Analysis A-1
Appendix A:
Affirmatively Furthering Fair Housing (AFFH) Evaluation
Overview
In 2018, the Governor signed Assembly Bill 686, adding a requirement that local housing
elements address each community’s obligation to “affirmatively further fair housing.” AB 686
defined this is as:
“taking meaningful actions, in addition to combatting discrimination, that overcome
patterns of segregation and foster inclusive communities that restrict access to
opportunity based on protected characteristics. Specifically affirmatively
furthering fair housing means taking meaningful actions that, taken together,
address significant disparities in housing needs and in access to opportunity,
replacing segregated living patterns with truly integrated and balanced living
patterns, transforming racially and ethnically concentrated areas of poverty into
areas of opportunity, and fostering and maintaining compliance with civil rights
and fair housing laws.”
In April 2021, the California Department of Housing and Community Development issued
its formal guidance memo on how local governments should address this new
requirement in their housing elements. The guidance memo indicates the ways in which
the AFFH mandate affects outreach and community engagement, data collection and
analysis, the site inventory, identification and prioritization of “contributing factors,” and
the goals, policies, and programs of the housing element. It also includes data sources
and other resources for local governments.
Chart A-1 summarizes the AFFH mandate; the requirements are extensive. As a result,
the City of Rolling Hills has provided this appendix to address the mandatory components
rather than including this information in the body of the Housing Element. The findings of
this assessment have informed the policies and programs in the Housing Element.
There are limitations to the analysis presented here. Rolling Hills is a small community,
comprised of a single Census Tract Block Group. It is affluent and homogenous and does
not have pockets of poverty or notable disparities between its neighborhoods. Many of
the AFFH maps developed by HCD simply affirm this, rather than revealing spatial
patterns within the city limits. The underlying goal, which is to reduce impediments to fair
housing in the city and improve housing opportunities for lower-income households,
remains relevant.
In addition, Rolling Hills does not participate in the federal CBDG program as a member of
the Los Angeles County Urban County designation. As such, it is not directly covered by
the Analysis of Impediments to Fair Housing Choices prepared by the County Community
Development Commission and Housing Authority. Some of the findings of the County
Analysis are cited here, as they apply more broadly to the Palos Verdes Peninsula (Rolling
Hills Estates and Rancho Palos Verdes are both members).
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Appendix A: Affirmatively Furthering Fair Housing Analysis A-2
Chart A-1: Summary of AB 686 Requirements
Source: HCD, April 2021
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Appendix A: Affirmatively Furthering Fair Housing Analysis A-3
The remainder of this report provides the data that is generally referred to as the AFFH analysis.
This includes trends and patterns related to segregation, racially or ethnically concentrated
areas of poverty, disparities in access to opportunity (including persons with disabilities), and
disproportionate housing needs. Unless otherwise indicated, all maps in this chapter were
prepared using the AFFH data viewer from the California Department of Housing and
Community Development.
Duty of All Public Agencies to Affirmatively Further Fair Housing
Federal law already requires that federal agencies administer programs in a way that
affirmatively furthers fair housing. This also extends to all local governments receiving funds
from the federal government. AB 686 further extended the obligation to all public agencies in
the State of California. This mandate applies to administration of all programs and activities
relating to housing and community development. The statute requires an examination of
policies, programs, rules, practices, and activities, and where necessary, changes to promote
more inclusive communities.
Outreach
The City of Rolling Hills has worked to engage all economic segments of the community in the
Housing Element Update process. This included conducting more than 11 housing-focused
public meetings on Zoom in 2020 and 2021, delivering newsletters with information on the
Housing Element to every household in the city, and providing housing-related surveys (both
paper and electronic) to every housing unit in Rolling Hills. By reaching out to every household
in the city, Rolling Hills has engaged its lower income residents in the process.
Meetings have been held in the evenings to facilitate participation. The public was invited to
participate in each meeting as “panelists” rather than “attendees,” giving them equal footing to
staff and Councilmembers/ Commissioners rather than the more limited opportunities offered by
webinars. Drafts of the Housing Element were made available at City offices and on-line, with at
least 30 days provided between the release of the Draft and action by the City Council.
Site Inventory
AB 686 requires that a jurisdiction identify sites throughout the community in a manner that is
consistent with its duty to affirmatively further fair housing. The sites identified by the City must
work to replace segregated living patterns with integrated living patterns. Rolling Hills has done
this by focusing on Accessory Dwelling Units (ADUs) to meet its housing needs, rather than by
zoning scattered sites throughout the city for multi-family housing. By definition, ADUs provide
an effective way to achieve economic integration as they enable low and very low income
households to live throughout the community rather than in segregated living patterns.
As noted throughout the Housing Element, the City currently has no multi-family housing units—
thus, the designation of the Rancho Del Mar property as an affordable housing opportunity zone
would not constitute a “concentration” of poverty. As the only site in the city that has sewer and
storm drainage, flat buildable land, road and transit access, and relatively few natural hazards, it
is the only suitable site in the city for multi-family housing (see Chapter 4). Placing multi-family
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Appendix A: Affirmatively Furthering Fair Housing Analysis A-4
housing elsewhere in Rolling Hills---on hazardous sites prone to landslides and wildfires, without
public street access or sewer facilities—would be inconsistent with the objectives of AB 686.
Fair Housing Enforcement
Fair housing enforcement is presently handled on a case-by-case basis. The State of California
has an Office of Fair Housing and Equal Opportunity (FEHO) that enforces the Fair Housing Act
and other civil rights authorities that prohibit discrimination. In the event a fair housing
complaint is received by the City, the involved party would be referred to FEHO for investigation.
There are no pending lawsuits, enforcement actions, judgements, settlements, or findings
related to fair housing and civil rights in Rolling Hills. There are currently no local fair housing
laws in the City, but Rolling Hills complies with all applicable state and federal laws. These
include:
• The federal Fair Housing Act, Title VIII of the Civil Rights Act of 1968, as amended by the
Fair Housing Amendments Act of 1988, 42 U.S.C. §§ 3601 et seq., which the City complies
with by ensuring that housing is available to all persons without regard to race, color,
religion, national origin, disability, familial status, or sex.
• The federal Americans with Disabilities Act (ADA), which the City complies with through its
building code, permit review procedures, and reasonable accommodation procedures
• The California Fair Employment and Housing Act, which the City complies with through its
protocols for hiring, decision-making, staff training, advertising, and legal counsel
• Government Code Section 65008 and 11135, which guide the City’s procurement protocols,
provide preferential treatment for affordable housing, provide equal access to housing
assistance, and ensure that multi-family housing is treated fairly relative to single family
housing
• Government Code Section 8899.50, which specifies AFFH requirements
• Government Code Section 65913.2, which precludes excessive subdivision standards
• Government Code Section 65302.8, which precludes certain types of municipal growth
control laws (the City has none)
• Government Code Section 65583, which includes the requirement to have a housing
element
• Housing Accountability Act, which is implemented through the City’s development review
and zoning procedures
HCD’s AFFH data viewer reports that there were zero (0) fair housing enforcement and outreach
inquiries in Rolling Hills between 2013 and 2021. The City is unaware of any fair housing cases
that may have occurred without being formally reported, and has not received complaints or
inquiries from residents. The City is likewise unaware of any Section 8 housing choice vouchers
in use within Rolling Hills, or any instance of a prospective applicant being denied the
opportunity to use a voucher within the city.
Due to the small size of the City’s staff, there is not a formal fair housing training program and
there is limited expertise on fair housing issues. An action program in this Element directs the
City to provide fair housing training to staff, and to improve web-based and print media
resources to inform residents of their rights and obligations under the Fair Housing Act. Fair
housing information will also be included in the City’s newsletter.
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Appendix A: Affirmatively Furthering Fair Housing Analysis A-5
Integration and Segregation
Race and Ethnicity
Chapter 3 of the Housing Element provides an overview of the racial composition of Rolling Hills
and the surrounding region. In addition, Table A-1 below shows race and ethnicity data for
Rolling Hills and the region (in this case Los Angeles County) for 2010 and 2020.
Relative to Los Angeles County and the greater Los Angeles region, Rolling Hills has a higher
percentage of White and Asian residents, and a lower percentage of Black and Hispanic
residents. This is also true of the other cities on the Palos Verdes Peninsula. Rolling Hills has
have seen an increase in Asian and multi-racial residents over the last 20 years, but the
aggregate Black and Hispanic population is 8.3 percent compared to a countywide figure of 55.6
percent. The percentage of residents who are two or more races more than doubled in Rolling
Hills between 2010 and 2020, which is a much faster rate of increase than the county as a
whole. However, given the city’s small population, even a few households can cause
percentages to shift noticeably. The most significant change is that the number of White, Non-
Hispanic households in the city declined from 74.1 percent to 64.9 percent over the decade.
Countywide, this percentage dropped from 27.8 percent to 25.6 percent, a smaller rate of
decrease.
Table A-1: Population Share by Race and Ethnicity, Rolling Hills and Los Angeles County
Percent of Residents by Race
in Rolling Hills
Percent of Residents by Race
in Los Angeles County
2010 2020 2010 2020
White Non-Hispanic 74.1% 64.9% 27.8% 25.6%
Hispanic/Latino 5.5% 7.0% 47.7% 48.0%
Black 1.5% 1.3% 8.3% 7.6%
Native American 0.0% 0.1% 0.2% 0.2%
Asian 16.2% 20.4% 13.5% 14.7%
Native Hawaiian/
Pacific Islander 0.1% 0.1% 0.2% 0.2%
Other 0.2% 0.7% 0.3% 0.6%
Two or More Races 2.4% 5.6% 2.0% 3.1%
Sources: US Decennial Census, 2010 and 2020.
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Appendix A: Affirmatively Furthering Fair Housing Analysis A-6
Since the City is comprised of a single Census tract block group, this data is most useful on a
regional basis. Census tracts located several miles to the east and north of Rolling Hills, in
Lomita, and in the San Pedro and Wilmington neighborhoods of Los Angeles, are more diverse.
Some of the Census tracts on the Palos Verdes Peninsula have larger percentages of Asian
residents, making them majority non-White.
Figure A-2 shows the “diversity index” for Census tract block groups in and around Rolling Hills.
The index is an indicator of racial and ethnic diversity within a given geographic area. It
considers both race and ethnicity (Hispanic or Non-Hispanic). The higher an area’s number, the
more diverse it is. The index ranges from zero (no diversity) to 100 (complete diversity). An
area’s diversity is 100 when the population is evenly divided into different race/ethnic groups.
The Table indicates an index of 48.4 for Rolling Hills, indicating it is somewhat diverse. The
rating is comparable to many other census tracts on the Palos Verdes Peninsula. Some tracts in
Rolling Hills Estates and Rancho Palos Verdes are more diverse, while several tracts in Palos
Verdes Estates are less diverse. The diversity index is considerably higher in the more
urbanized tracts in San Pedro and the Harbor neighborhoods to the east.
Persons with Disabilities
Chapter 3 of the Housing Element provides information on the number of people with disabilities
by disability type in Rolling Hills. Roughly 10.6 percent of the city’s population has one or more
disabilities compared to 9.9 percent in Los Angeles County as a whole. The higher local
percentage is likely a result of the older population in Rolling Hills, where the median age is 55
compared to the County average of 36.5. This is further supported by the data shown in Table
A-2, which indicates that the percentage of residents with a hearing disability and an ambulatory
disability is higher in Rolling Hills than in the county as a whole. Conversely, a smaller
percentage of Rolling Hills residents have cognitive disabilities, vision disabilities, and self-care
limitations.
Figure A-3 shows census tract maps for Rolling Hills and the surrounding area indicating the
percentage of residents who are disabled. As Figure A-3 indicates, Rolling Hills appears within
the 10-20 percent interval on the map, which is comparable to the percentage in Rancho Palos
Verdes, Lomita, and the San Pedro and Wilmington neighborhoods in Los Angeles. Most of the
other Census tracts in the vicinity, including those comprising the majority of Rolling Hills
Estates, Palos Verdes Estates, and Torrance, are in the less than 10 percent interval. However,
the difference is marginal, with Rolling Hills being less than one percentage point above the 10
percent threshold. Given that the population of Rolling Hills is significantly older than the county
as a whole, the rate of disability in the city is relatively low. Compared to the disabled population
in the region at large, the city’s disabled residents have greater access to medical care and
supportive services as a result of higher household incomes and the generational wealth
accrued through home ownership and equity.
The special housing needs of persons with disabilities are addressed in Section 3.3.2 of the
Housing Element.
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Appendix A: Affirmatively Furthering Fair Housing Analysis A-7
Table A-2: Percentage of Residents with a Disability, Rolling Hills and Los Angeles County
Percent of Residents
in Rolling Hills
Percent of Residents
in Los Angeles County
2010 2020 2010 2020
Total with a Disability N/A 10.6% 9.3% 9.9%
Hearing N/A 3.7% 2.3% 2.5%
Vision N/A 1.3% 1.8% 2.0%
Cognitive N/A 2.1% 3.6% 4.1%
Ambulatory N/A 6.9% 5.2% 5.8%
Self-Care N/A 2.3% 2.6% 3.0%
Independent Living N/A 5.0% 4.1% 5.6%
Sources: US Decennial Census, American Community Survey, Five Year Averages for 2010 and 2020. ACS 2010 indicates no data
for Rolling Hills (“X”).
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Appendix A: Affirmatively Furthering Fair Housing Analysis A-8
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Appendix A: Affirmatively Furthering Fair Housing Analysis A-9
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Appendix A: Affirmatively Furthering Fair Housing Analysis A-10
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Appendix A: Affirmatively Furthering Fair Housing Analysis A-11
Familial Status
The federal Fair Housing Act prohibits discrimination on the basis of familial status. This refers
to the presence of children in a household, regardless of the relationship of the child to the adult
members of the household. It also includes pregnant women and persons in the process of
obtaining legal custody of a child. Housing that is exclusively reserved for seniors is exempt
from these requirements.
Examples of familial status discrimination include refusing to rent to someone because they
have a child or are a single parent, evicting a tenant if they have a child, or requiring families
with children to live in a specific part of a multi-family building. Advertising that prohibits
children also is prohibited.
Relative to Los Angeles County as a whole, Rolling Hills has about the same percentage of
married couples with children but much lower percentages of single parent households. The
2015-2019 ACS indicated there are five single parent female households with children in Rolling
Hills. Despite the small number, single parent households may have special needs due to
having only one income, as well as greater needs for child care and other supportive services
(see Housing Element Section 3.3.4). These obstacles can limit net income and prevent most
single parents from being able to live in Rolling Hills.
Table A-3 shows familial status in Rolling Hills relative to Los Angeles County. The table
compares the percentage of households in different categories, including families, married
couples, other households, and non-families (including persons living alone).
Table A-3: Population by Familial Status, Rolling Hills and Los Angeles County
Percent of Total
in Rolling Hills
Percent of Total in
Los Angeles County
2010 2020 2010 2020
Family Households 81.9% 78.7% 67.3% 66.4%
Married Couples (75.2%) (68.5%) (44.5%) (44.8%)
With children
under 18 at home 30.1% 17.8% 21.6% 18.8%
Without children
under 18 at home 45.1% 50.7% 22.9% 26.0%
Other Families (6.7%) (10.2%) (22.9%) (21.5%)
With children
under 18 at home 2.8% 3.1% 11.2% 8.8%
Without children
under 18 at home 2.9% 7.1% 11.7% 12.7%
Non-family Households 18.1% 21.3% 32.7% 33.6%
Sources: American Community Survey, Five Year Averages for 2010 and 2020. All percentages refer to the percentage of total
households in Rolling Hills in the listed category. Because the categories are “nested”, the numbers add up to more than 100
percent.
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Appendix A: Affirmatively Furthering Fair Housing Analysis A-12
Relative to Los Angeles County as a whole, Rolling Hills has a much higher percentage of
married couples. However, the percentage of married couples with children at home is about
the same as the countywide average, and has declined substantially since 2010. More than half
of the city’s households are married couples with no children living at home, compared to 26
percent countywide. Only 10 percent of the city’s households are “other” families (mostly single
parent households), which is less than half the countywide average. Rolling Hills also has a far
smaller percentage of non-family households than Los Angeles County, representing 21 percent
of the city compared to 34 percent countywide. The city’s demographics are indicative of a
relatively stable, older population with smaller households than the county as a whole.
Figure A-4 shows familial status in Rolling Hills and surrounding areas. As the map indicates,
the entire Palos Verdes Peninsula is in the same category as Rolling Hills, which corresponds to
80 percent or more of all children living in married couple households. The rate is considerably
lower in adjacent cities in Los Angeles County but is still at least 60 percent in most of the South
Bay cities. Rates below 60 percent occur in some of the census tracts in the Harbor area of Los
Angeles, including San Pedro. Rates below 60 percent are also found beyond the South Bay, in
locations such as Compton, Inglewood, Carson, Northern and Central Long Beach, and South
Central Los Angeles. These are generally lower resource areas, with higher rates of poverty
and unemployment, and lower rates of home ownership.
Income Level
Activities funded by federal community development and housing programs are typically
designed to benefit low- and moderate-income (LMI) persons. For example, activities qualify for
Community Development Block Grant (CDBG) funding if they benefit the residents of a primarily
residential area where at least 51 percent of the residents are low- and moderate-income.
Accordingly, HCD has used Census income data to map these areas by Census block group.
This is shown in Figure A-5.
The Figure illustrates that there are no LMI areas in Rolling Hills or in any of the adjacent
communities on the Palos Verdes Peninsula. Fewer than 25 percent of Rolling Hills’ residents
are LMI. While there are a few block groups in Rancho Palos Verdes that are 25-50 percent,
none exceed 51 percent. There are multiple LMI block groups in San Pedro and the Harbor
neighborhoods east of the Palos Verdes Peninsula. There are also LMI areas in Lomita and
Torrance to the north.
Figure A-6 shows median income by Census block group. The Palos Verdes Peninsula is one of
the most affluent parts of Los Angeles County, with Rolling Hills among the highest income
census tracts in the County.
Figure A-7 shows median income for a larger geographic area, including most of the urbanized
part of Los Angeles and Orange Counties. At the regional level, the Palos Verdes Peninsula
stands out as an affluent area with incomes above $100,000. The Beach cities of Manhattan,
Hermosa, and Redondo Beaches are also in this category, as are numerous census tracts on the
west side of Los Angeles, the base of the San Gabriel Mountains, and Orange County. The
lower income areas are generally located in central and south Los Angeles County, East Los
Angeles, the southeast part of the San Fernando Valley, and the older suburbs in Orange
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Appendix A: Affirmatively Furthering Fair Housing Analysis A-13
County. Many of these areas include high concentrations of persons of color who historically
faced discrimination in the housing market.
Comparative income data between the city and region is shown in Table A-4. As the table
indicates, Rolling Hills has a substantially higher income profile than the county, with well over
half of its population earning over $200,000 a year, compared to 11 percent in the county as a
whole. By contrast, only 15 percent of the city’s households earn less than $50,000 a year,
compared to 36 percent countywide. However, it is notable that the percentage of households
in Rolling Hills earning less than $25,000 a year grew from 4.5 percent of the population in 2010
to 6.4 percent in 2020. This is likely due to the growing number of households aging in place
and living on fixed incomes. Countywide, the percentage of households in this category
declined over the decade, from 24 percent to 18 percent.
Table A-4: Household Share by Income, Rolling Hills and Los Angeles County
Percent of Residents by Income
in Rolling Hills
Percent of Residents by Income
in Los Angeles County
2010 2020 2010 2020
Less than $10,000 1.5% 1.5% 6.8% 5.5%
$10,000-$14,999 0.7% 2.7% 6.1% 4.6%
$15,000-$24,999 2.3% 2.2% 11.1% 7.8%
$25,000-$34,999 4.8% 4.7% 9.7% 7.6%
$35,000-$49,999 2.5% 4.5% 13.5% 10.7%
$50,000-$74,999 4.9% 3.3% 17.4% 15.8%
$75,000-$99,999 4.9% 3.5% 11.7% 12.3%
$100,000-$149,999 14.1% 12.0% 12.8% 16.3%
$150,000-$199,999 11.0% 12.0% 5.3% 8.2%
$200,000 or More 53.3% 53.6% 5.5% 11.1%
Median Income $219,688 $250,000+ $52,684 $71,358
Sources: American Community Survey, Five-Year Averages, 2010 and 2020
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Appendix A: Affirmatively Furthering Fair Housing Analysis A-14
Racially and Ethnically Concentrated Areas of Poverty (R/ECAP) and Affluence
Racially/ethnically concentrated areas of poverty –or R/ECAPs—are census tracts identified by
HUD with a majority non-White population (greater than 50 percent) and poverty rates that
exceed 40 percent or are three times the average tract poverty rate for the metropolitan area,
whichever is lower. Figure A-8 shows the location of R/ECAP areas in southern Los Angeles
County, including the City of Los Angeles.
The largest concentration of R/ECAP areas in the County are in and around Downtown Los
Angeles, the neighborhoods south of Downtown, and a few tracts in the Harbor area and Long
Beach. There are no R/ECAP areas on the Palos Verdes Peninsula.
HCD also has identified “racially concentrated areas of affluence” (RCAAs). These are areas
that exhibit both high concentrations of White residents and high concentrations of wealth. With
a population that is 70 percent White, Non-Hispanic and a median income of over $250,000, all
of Rolling Hills is considered an RCAA. Large areas of Rancho Palos Verdes, Rolling Hills
Estates, and Rancho Palos Verdes also meet the RCAA criteria. Other parts of Los Angeles
County considered to be RCAAs include Malibu, Santa Monica, Bel Air/ Brentwood, Westwood,
Beverly Hills, and adjacent parts of the West Side, as well as La Canada-Flintridge and several
other outlying communities.
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Appendix A: Affirmatively Furthering Fair Housing Analysis A-15
Figure A-4:
Familial Status
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Appendix A: Affirmatively Furthering Fair Housing Analysis A-16
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Appendix A: Affirmatively Furthering Fair Housing Analysis A-17
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Appendix A: Affirmatively Furthering Fair Housing Analysis A-18
425
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Appendix A: Affirmatively Furthering Fair Housing Analysis A-19
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Appendix A: Affirmatively Furthering Fair Housing Analysis A-20
Historic Context
Like many communities in Southern California, Rolling Hills reflects cultural and social norms of
the era in which the city was founded and initially developed. These norms predated the Fair
Housing Act and civil rights movement and included practices that excluded certain racial and
ethnic groups from purchasing property.
As Table A-5 indicates, Rolling Hills is almost exclusively comprised of single family homes.
Even between 2010 and 2020, the composition of the City’s housing stock did not change
significantly. In Los Angeles County, fewer than half of the housing units are single family
detached homes and more than one-third are in multi-family buildings. The county as a whole
has seen the share of multi-family units go up over time. By contrast, the California Department
of Finance reports that 99.9 percent of the dwelling units in Rolling Hills are single family homes.
Table A-5: Housing Units by Type, Rolling Hills and Los Angeles County
Number/Percent of Total
in Rolling Hills
Number/Percent of Total
In Los Angeles County
2010 2020 2010 2020
Single Family Detached 715
99.9%
718
99.9%
1,717,448
49.9%
1,732,045
48.2%
Single Family Attached 0 0 228,560
6.6%
234,107
6.5%
2-4 units 0 0 282,178
8.2%
295,700
8.2%
5+ units 1(*)
0.01%
1(*)
0.01%
1,156,648
33.6%
1,270,425
35.4%
Mobile Homes 0 0 58,253
1.7%
58,297
1.6%
TOTAL 716 719 3,443,087 3,590,574
Source: California Dept of Finance Table E-5, 2010 and 2020.
Note: (*) The State’s data indicates that there is a building with five or more units in Rolling Hills. This is incorrect, as there are no
multi-family units in Rolling Hills at this time.
The history of Rolling Hills is linked to broader early 20th Century efforts to develop the 16,000-
acre Palos Verdes Peninsula as a master planned community. Prior to 1910, the entire area was
farm and ranchland. Several development concepts were proposed in the 1910s and 20s,
including a plan to divide the peninsula into large estates (Vanderlip, 1914) and the “Palos
Verdes Project,” which eventually became the City of Palos Verdes Estates. Long before Rolling
Hills was subdivided, the Peninsula had gained a reputation as the “Riviera of America” and was
renowned as an exclusive and beautiful place to live.1
1 Morgan, Delane. The Palos Verdes Story, 1982
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Appendix A: Affirmatively Furthering Fair Housing Analysis A-21
A.E. Hanson became manager of the Palos Verdes Corporation in 1931. He laid out the
boundaries of a development named Rolling Hills, just beyond the boundaries of the Palos
Verdes Project. The community was initially marketed to residents of Los Angeles and Beverly
Hills as 10 to 50 acre “dude ranches.”2 In 1936, it was reimagined as an equestrian community
of one- to five-acre homesites. The initial development included 100 homesites on 600 acres.
All homes were required to be one-story ranches, painted white, a requirement that remains in
place today. The Covenants, Codes, and Restrictions (CC&Rs) were a strong part of the
community’s appeal, as they assured maintenance and uniformity throughout the years.
Rolling Hills was subdivided by a single large owner. In that respect, it is more akin to a large
residential subdivision, rather than a traditional city or town with multiple land uses, developers,
and housing types. Moreover, its first generation of housing consisted of modest one-story
ranch-style homes, including homes smaller than 2,000 square feet. Multi-family housing was
excluded from the community to retain its rural, equestrian character and to recognize what was
then a remote and rugged location with no services. As a community of small horse ranches
with no sewer system, high fire danger, and private streets, construction of multi-family housing
would not have made economic sense.
As the Palos Verdes Peninsula was built out at suburban densities in the 1950s and 60s, Rolling
Hills retained its very low density zoning. Some of the adjacent cities on the Peninsula added
multi-family housing, but the established lot pattern in Rolling Hills and its CC&Rs made this
infeasible. In this respect, the CC&Rs had an exclusionary impact on the community. The City
incorporated in 1957 to further protect its very low-density character. As this became a rarer
commodity in southern Los Angeles County, real estate values increased substantially. Much of
the original 1930s and 40s era housing stock was replaced with newer, larger housing with
many more amenities. The city became a “location of choice” and became less affordable.
These changes were largely economic and driven by the dynamics of the private real estate
market. They occurred after the passage of the Fair Housing Act and the era of redlining.
However, the conditions were compounded by historic inequities in access to capital among
racial monitories and a legacy of discriminatory lending practices in the United States. Housing
opportunities for lower income households have not historically existed in the city. The city’s
identity and history is rooted in its low density, rural character and equestrian heritage.
Fair housing solutions that reflect the City’s history and character can and should be pursued.
These include creating housing opportunities on the recently rezoned Rancho Del Mar site, and
encouraging greater production of accessory dwelling units in the community. They also
include enforcement of fair housing laws and increased awareness of fair housing rights and
practices, as well as the history of housing practices in California.
2 Rolling Hills General Plan Land Use Element, 1990
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Appendix A: Affirmatively Furthering Fair Housing Analysis A-22
Access to Opportunity
California HCD and the California Tax Credit Allocation Committee (TCAC) convened a task
force to advance fair housing through research and policy recommendations. One of the
products of this effort was a series of “opportunity maps” that identify resource levels across the
state. The intent of these maps is to improve the eligibility of “high resource areas” for low-
income housing tax credit funding. Improving access to these funds makes it more viable to
build affordable housing in these areas.
The opportunity maps depict composite data on environmental conditions (vulnerability to
pollution, etc.), economic conditions (poverty, job proximity, home values), and educational
conditions (graduation rates, math and reading proficiency, etc.). HCD has made these maps
available through its AFFH data viewer. Conditions in Rolling Hills are depicted in Figures A-9
through A-12. On all of these maps, each census tract is assigned a value based on its level of
resources. The higher the value, the more positive the outcome.
TCAC Environmental Outcomes
In this context, environmental conditions refers to environmental health and exposure to man-
made hazards such as vehicle exhaust, industrial emissions, and cancer-causing chemicals. It
does not refer to natural environmental hazards such as wildfire and landslides.
Figure A-9 indicates that outcomes in Rolling Hills are positive, as the community does not have
industrial land uses or major pollution sources. Rolling Hills has an environmental score of 0.97,
which is close to the highest possible score of 1.0. All of the Census tracts on the Palos Verdes
Peninsula have scores of 0.75 or greater. Rolling Hills Estates also receives a 0.97 rating, while
Rancho Palos Verdes varies from 0.82 to 0.98. Just two miles east of the city limits, near the
Phillips 66 refinery, the environmental score is 0.03. Refineries and heavy industrial uses along
the 110 Freeway and in the Port of Los Angeles vicinity result in low environmental rankings in a
number of Census tracts around San Pedro and Wilmington. Scores are also below 0.50 around
the Zamperini Airfield in Torrance, and in parts of Downtown Long Beach.
The City also is in the highest-ranking category using the Cal EnviroScreen maps and is highly
ranked on the Public Health Alliance of Southern California “Healthy Places Index.”
Environmental outcome values are also high in the other Peninsula cities. Exposure to
environmental hazards is much higher along the freeways and in the Harbor area, where
industrial uses and refineries are more prevalent.
TCAC Economic Outcomes
Figure A-10 shows economic outcomes in southern Los Angeles County. This is generally a
measure of wealth and access to jobs. Rolling Hills and all of the Peninsula cities are in the
highest category, reflecting high rates of home ownership, high home values, and high incomes.
The census tracts to the east have more diverse ratings, with low ratings in Northwest San
Pedro and Wilmington.
The TCAC Opportunity Score for Rolling Hills is 0.86, which is in the highest of the four quartiles
shown on the opportunity map. Neighboring census tracts in Rolling Hills Estates and Rancho
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Appendix A: Affirmatively Furthering Fair Housing Analysis A-23
Palos Verdes have comparable scores, generally ranging from 0.75 to 0.95. Just to the east, in
the Harbor neighborhoods of Los Angeles, the economic index is as low as 0.04 in some census
tracts. Areas of strongly positive and much less positive economic outcomes exist in close
proximity in this area, a legacy of historic land use and development patterns. To the north of
Rolling Hills, the City of Torrance has economic opportunity scores that are comparable to the
Palos Verdes Peninsula, despite a more moderate-income profile. Torrance is predominantly
White and Asian, while the Harbor neighborhoods are primarily Latino, an indication that race
and ethnicity have influenced economic opportunity in the area.
TCAC Educational Outcomes
Educational outcomes are shown in Figure A-11. Rolling Hills is in highest quartile, with positive
educational outcomes. The City’s score is 0.96, on a scale of zero to 1.0. This reflects the
community’s high wealth and access to education. Adjacent neighborhoods in Rolling Hills
Estates and Rancho Palos Verdes have identical scores, while scores in the beach cities to the
north are even higher. Conversely, scores step down in several bands moving to the east, with
the third quartile just east of Rolling Hills, then the second quartile, and then the lowest quartile
in San Pedro roughly four miles east. Low outcomes also appear in Wilmington and the
neighborhoods around the Port of Los Angeles.
Transportation
Public transportation to and from Rolling Hills is poor and there is no transit service at all within
the city limits. The Palos Verdes Peninsula Transit Authority operates buses along Palos Verdes
Road North, which serve the northern edge of the city and provide service to the Peninsula’s
commercial centers as well as San Pedro. Connecting service is available along those routes to
other transit systems (including the Metro Silver Line in San Pedro), providing connections to
Los Angeles and other regional destinations. However, given the distance and travel time, these
are not generally viable means of transport to workplaces. US Census data indicates that zero
percent (0.0%) of the city’s residents use public transit to commute to work.
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Appendix A: Affirmatively Furthering Fair Housing Analysis A-24
Composite Opportunity Map
Figure A-12 is a composite of the TCAC analysis, taking the three above variables into
consideration. The Figure affirms what is shown in Figures A-9, -10, and -11. Rolling Hills is a
high-resource, high opportunity area, with positive environmental health indicators, positive
economic outcomes for its residents, and access to quality education. Because of the city’s
small size, these opportunities are homogenously distributed across the community. The same
conditions are found in the other Palos Verdes Peninsula neighborhoods, some of which have
even higher composite scores than Rolling Hills.
Figure A-12 provides a more regional perspective than Figures A-9, -10, and -11. The pattern
immediately evident on this map is that the coastal communities of Los Angeles County are
almost all in the highest resource category. There is a swath of moderate and low resource
neighborhoods extending from Downtown Los Angeles southward to the Port of Los Angeles.
Areas extending from Central LA southward are highlighted on the map as having high
segregation and poverty rates, corresponding with the lowest level of opportunity. Moving
further east, the pattern becomes more diffuse, with a patchwork of high, moderate, and low
resource areas extending toward the San Gabriel Valley and Orange County.
The high opportunity ranking given to Rolling Hills was part of SCAG’s rationale for assigning the
city a large allocation in the 6th Cycle RHNA. The base number of units assigned to the city by
SCAG was calibrated upward based on their “social equity adjustment,” resulting in Rolling Hills’
45 units (compared to six units in 2013-2021). This reflects several mandated objectives of the
RHNA methodology, including promoting socio-economic equity and balancing disproportionate
household income distribution across the region.
As indicated earlier in this analysis, the Rancho Del Mar School site provides the best location to
improve access to opportunity and affirmatively further fair housing within Rolling Hills. The site
has the potential to improve economic outcomes for lower income households by providing
affordable housing in a high-resource area.
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Disproportionate Housing Needs
“Disproportionate housing needs” refer to conditions in which members of a protected class
within a defined geographic area experience much higher housing needs than the population at
large.3 Following HCD guidance, the analysis to identify disproportionate needs considers cost
burden, overcrowding, and substandard housing conditions. Much of this data also is contained
in the Housing Element Needs Assessment (Chapter 3), but the focus here is on extremely low-
income residents, tenure, and persons of color. As noted in earlier sections of this Appendix,
the analysis for Rolling Hills is hampered by the small size of the community and the fact that it
contains only one Census Block Group. The margin of error for American Community Survey
(ACS) data for the city is high, and the number of residents in protected classes is small. Where
available, maps are used to compare data for Rolling Hills with data for surrounding
communities.
Tenure and Tenure by Race
Table A-6 shows tenure in Rolling Hills and Los Angeles County as a whole. Relative to the
region, Rolling Hills has a much higher rate of homeownership. The rate exceeded 95 percent in
2020, compared to 46 percent regionally. As in the County, the percentage of renters increased
slightly between 2010 and 2020, but the number remains very small.
Rates of home ownership often vary by race and ethnicity. Regionally and nationally, the rate of
home ownership is substantially lower for Black/African-American households than it is for White
households. This is not the case in Rolling Hills. The 2015-2019 ACS indicates that 100 percent
of the Hispanic, Black, and multi-racial households in the city are homeowners. For White
households, 95 percent are homeowners and 5 percent are renters. Among Asian households,
98 percent are homeowners and 2 percent are renters.
Table A-6: Housing Tenure in Rolling Hills and Los Angeles County
Percent of Households
in Rolling Hills
Percent of Households
in Los Angeles County
2010 2020 2010 2020
Owners 96.9% 95.1% 46.9% 46.0%
Renters 3.1% 4.9% 53.1% 54.0%
Sources: American Community Survey Five-year averages for 2010 and 2020
3 The protected classes are race, color, religion, national origin, sex, familial status, and disability.
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Cost Burden
As noted in Chapter 3, a household is considered cost burdened if more than 30 percent of its
income is spent on housing (including utilities). Figures A-13 and A-14 depict the incidence of
cost burden for owners and renters in Rolling Hills and surrounding communities. Table 3.9 (in
Chapter 3) indicates the percent of income spent on housing for homeowners with a mortgage,
homeowners without a mortgage, and renters. Roughly 31 percent of the city’s households are
considered cost-burdened, but most have above moderate incomes.
The US Department of Housing and Urban Development publishes data on the number of
households that are cost-burdened in each community using federally-defined income
categories. This is referred to as the CHAS (Comprehensive Housing Affordability Strategy)
data. According to the CHAS 2014-2018 data, there are 100 low- and very low-income
households in Rolling Hills (i.e., earning 80 percent or less of the areawide median income
[AMI]). These households include 83 who were cost-burdened, including 65 who were defined
as being “severely” cost-burdened (spending more than half their incomes on housing).
CHAS data indicates that 78 of the cost-burdened lower-income households were homeowners
and the remainder were renters. The relatively high number of cost-burdened low-income
homeowners is likely associated with retired seniors on fixed incomes, who must still pay
property taxes, utilities, insurance, HOA dues and other housing costs—even after their
mortgages are paid off. These expenses may be several thousand dollars a month. In fact, the
CHAS data indicates that there are 25 extremely low-income households in Rolling Hills (earning
less than 30% of AMI), all of whom are homeowners. The most recent available CHAS data
indicates that there are no extremely low-income renters in the city.
CHAS data identifies 10 very low-income renter households in the city (30-50% of AMI), along
with 30 very low-income owners. Seventy-five percent of these households pay more than 30%
of their incomes on rent.
As illustrated in Figures A-13 and A-14, the incidence of cost burden is somewhat lower in
Rolling Hills than it is in adjacent communities, including those on the Palos Verdes Peninsula.
Figure A-13, which is based on American Community Survey (ACS) data for 2015-2019,
identifies Rolling Hills as being in the 20-40% overpayment interval for homeowners. In other
words, between 20 and 40 percent of its owner-occupied households spend more than 30
percent of their incomes on housing. The city is surrounded on all sides by census tracts with
rates in the 40-60% interval. This is not an indication that homes in Rolling Hills are more
affordable, but rather a reflection of the length of residency and the large number of
homeowners in Rolling Hills who have no mortgages. About 37 percent of the city’s
homeowners have lived in their homes for over 30 years. Rates of homeowner overpayment are
higher in the San Pedro area of Los Angeles, several miles east of Rolling Hills and in lower
income census tracts throughout Central Los Angeles County. On the other hand, the rate in
Rolling Hills is comparable to many cities in the county, including Torrance, Carson, Palos
Verdes Estates, and the Beach cities to the north.
Figure A-14, which is also based on ACS data for 2015-2019, identifies Rolling Hills as also
being in the 20-40% overpayment interval for renters. However, this is based on a sample of a
very small demographic, since there are only 27 renter households in the entire city. As Figure
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A-14 indicates, the rate of overpayment is significantly higher in the portion of Rancho Palos
Verdes located immediately east of the city, and in the portion of Rolling Hills Estates located
immediately west of the city. There are also nearby tracts with overpayment rates that are less
than 20 percent. On a regional basis, the percentage of renter overpayment in Rolling Hills is
low. Most tracts in Los Angeles, Long Beach, and the larger suburban cities have rates in the 40
to 60 percent range. Rolling Hills renters tend to be more affluent, and are typically renting
single family homes rather than apartments.
Cost-burden data is also shown in Table A-7 below. As the table indicates, most extremely low-
income households in Rolling Hills were considered severely cost-burdened in both 2010 and
2020. Most lower income homeowners and many lower income renters (i.e., those earning 80
percent of areawide median or lower) were also cost-burdened. Rates of cost-burden were
even higher in Rolling Hills than in the county as a whole. However, the data for Rolling Hills in
Table A-7 is based on a very small number of households, leading to a high statistical margin of
error (for instance there are only 10 lower income renter households in the city). At a
countywide level, about 63 percent of all low-income homeowners and 75 percent of all low-
income renters are cost-burdened.
Table A-7: Percentage of Cost-Burdened Households, Rolling Hills and Los Angeles
County
Percent of Households
in Rolling Hills (*)
Percent of Households
in Los Angeles County
2008-2012 2014-2018 2008-2012 2014-2018
Cost-burdened households earning less than 80% AMI (low income)
Owners
Paying > 30% 78.8% 86.7% 66.3% 63.1%
Paying > 50% 61.2% 66.7% 44.3% 40.2%
Renters
Paying >30% 100.0% 80.0% 73.3% 75.1%
Paying > 50% 0% 40.0% 43.0% 44.5%
Cost-burdened households earning less than 30% AMI (extremely low income)
Owners
Paying > 30% 100.0% 76.0% 74.7% 75.4%
Paying > 50% 100.0% 60.0% 62.4% 63.0%
Renters
Paying > 30% 100.0% 0% 82.4% 81.7%
Paying > 50% 0% 0% 70.4% 70.2%
Sources: CHAS HUD User website, data for 2008-2012 and 2014-2018. Data for Rolling Hills indicates 4 lower income renter
households in 2008-2012 and 10 lower income renter households in 2014-2018
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Overcrowding
As noted in Chapter 3, a household is considered overcrowded it the housing unit it occupies
has more than one person per room, excluding kitchens and bathrooms. As noted on page 3-
11, only one percent of the city’s households meet this definition. There are no households in
the city that meet the definition of “severe” overcrowding, which is more than 1.5 persons per
room. Moreover, the data indicates that none of the renter-occupied households in the city
were overcrowded. There were six owner-occupied units with more than one person per room.
Figure A-15 shows this information spatially, illustrating that units on the Palos Verdes Peninsula
are generally not overcrowded. All of the tracts in all four Peninsula cities have overcrowding
rates below 8.2 percent, which is the statewide average. Units in the more urbanized areas to
the east, with higher percentages of renters and smaller housing units, are more likely to be
overcrowded. Tracts in the Wilmington and San Pedro areas have rates exceeding 20 percent
in some cases. Further north, tracts in South Central Los Angeles, Compton, Southgate,
Lynwood, Compton, and other more diverse and lower income communities have higher rates
of overcrowding.
Table A-8 shows household overcrowding in Rolling Hills and the region.
Table A-8: Overcrowded Households, Rolling Hills and Los Angeles County
Percent of Households
in Rolling Hills
Percent of Residents
in Los Angeles County
2010 2020 2010 2020
Owner Households
Less than 1.0
persons per room 99.5% 99.4% 93.9% 94.3%
1.01-1.50 persons
per room 0.5% 0.6% 4.6% 4.1%
1.51-2.00 persons
per room 0 0 1.1% 1.1%
2.01 or more
persons per room 0 0 0.3% 0.5%
Renter Households
Less than 1.0
persons per room 100.0% 100.0% 82.4% 84.0%
1.01-1.50 persons
per room 0 0 9.8% 8.5%
1.51-2.00 persons
per room 0 0 5.2% 5.3%
2.01 or more
persons per room 0 0 2.6% 2.2%
Sources: American Community Survey Five-Year averages for 2010 and 2020
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Table A-8 confirms that rates of overcrowding are much lower in Rolling Hills than in Los
Angeles County, with no overcrowded rental units and only 0.5 percent of the owner-occupied
units meeting the Census definition of overcrowding. Moreover, the data indicates almost no
change between 2010 and 2020. By contrast, the countywide data shows that about 6 percent
of owner-occupied units and 16 percent of rental units are considered overcrowded. In most
cases, the percentages did not change significantly between 2010 and 2020.
Housing Problems
The HUD CHAS data indicates how many households in each community experience one of four
specific housing problems—these problems are (a) lack of a complete kitchen; (b) lack of
complete plumbing facilities; (c) overcrowding; and (d) severe cost burden (paying more than 50
percent of income on housing). According to CHAS data for 2014-2018, there are about 110
owner-occupied households in Rolling Hills and four renter households in Rolling Hills with one
or more of these problems. Since all housing units in the city have kitchens and baths, and only
six are overcrowded, the primary problem experienced is a severe housing cost burden. The
CHAS data indicates there are 105 owner-occuped households with a severe housing cost
burden. Most of these are lower-income senior households
Figure A-16 shows this data on a regional level. The rate of housing problems is higher in
Rolling Hills than it is in the other Palos Verdes Peninsula cities, due to the high percentage of
senior homeowners living on fixed incomes and paying substantial portions of their incomes on
housing. However, the city’s rate is comparable to other affluent areas on the west side of Los
Angeles and is lower than in the neighborhoods and communities immediately south and
immediately east of Los Angeles.
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Displacement Risk
Figure A-17 illustrates “sensitive communities” in the southern half of Los Angeles County.
These are communities with relatively high risks of displacement due to rising rents and a lack of
tenant protection. None of the Palos Verdes Peninsula cities are shown as vulnerable. On the
other hand, most of the tracts in the City of Los Angeles, including the San Pedro and
Wilmington communities, are shown as vulnerable. The entire South-Central area of Los
Angeles is vulnerable, as are nearby communities such as Compton, Inglewood, and Hawthorne.
As depicted on Figure A-17, vulnerable communities are communities in which at least 20
percent of the population is low income and two or more of the following conditions are present:
• Renters are over 40% of all households
• People of color are 50% or more of the population
• Share of severely cost-burdened very low income renters is above county median
• Rents have been increasing at faster rate than county median
• Larger than average gap between local rents and rents in surrounding tracts
These conditions are not present in Rolling Hills.
Figure A-17: Sensitive Communities
Census tracts in
purple are
designated as
“vulnerable” due
to displacement
risk
ROLLING HILLS
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Due to the very high percentage of home ownership, Rolling Hills does not face displacement
risk. Displacement may occur due to other reasons, such as an aging household unable to
maintain their property or afford the modifications needed to age in place.
Homelessness
Homelessness in Rolling Hills is addressed in Section 3.4.8 of the Housing Element (Chapter 3).
As indicated there, the annual point-in-time count for Los Angeles residents identified no
unhoused residents in the city in 2016, 2017, 2018, 2019, or 2020. Figure A-18 shows the
spatial extent of homelessness at a regional level based on data provided by the County of Los
Angeles. The table shows that there were three unhoused residents per square mile in all four
of the Palos Verdes Peninsula cities. The density is highest in Downtown Los Angeles, Venice,
and various neighborhoods on LA’s West Side and South Central areas. Some of these areas
have more than 500 unhoused residents per square mile. The relatively low densities on the
Palos Verdes Peninsula reflect the absence of shelter facilities, supportive services, non-
residential land, and public lands where outdoor camping might occur.
Other Populations with Special Needs
Chapter 3 of the Housing Element identifies special needs populations in Rolling Hills. The
principal special needs group is older adults, with one-third of the city’s population over 65. As
noted in Section 3.3.1, 56 percent of the households in Rolling Hills include at least one person
who is 65 or older. Most of the persons with disabilities and all of the extremely low income
households in the city are seniors. Rolling Hills has a very small number of single parents and
large households, and it does not have farmworkers.
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Other Relevant Factors
The State’s guidance for AFFH requires that other relevant factors contributing to fair housing
issues be evaluated as part of this analysis. As explained in the next section, the principal
contributing factor is that Rolling Hills was developed as an equestrian community in which
multi-family residential uses were not permitted. The city’s single family character was
reinforced by minimum lot size requirements (one acre) and a (now repealed) prohibition on
Accessory Dwelling Units which made it difficult for low and moderate income persons to afford
housing in the community. These requirements effectively limited the rental housing supply to
very expensive single family homes and resulted in a tenure pattern in which more than 97
percent of the households in the city are homeowners.
Governmental spending on affordable housing and the implementation of housing programs is
severely limited by the small size of the city (fewer than 700 homes), the lack of any tax-
generating land uses other than housing, the high cost of land and construction, and severe
environmental hazards in the community. Historically, there have no instances of transportation
or infrastructure improvements causing the displacement of lower income households. As
documented in Chapter 5 of the Housing Element, there are no public streets in the city and
almost no properties served by sanitary sewers. This has been an impediment to the
development of multi-family housing.
The high cost of housing in Rolling Hills has historically precluded low- and moderate-income
households from living in the city, unless they were home care providers, domestic employees,
persons renting a room, family members, or seniors without a mortgage. Additionally, lending
practices historically favored White borrowers, making the city less diverse than the county and
region. This has changed in the past few decades and Rolling Hills has become more racially
diverse. However, the city has not become economically diverse.
Based on Census (ACS 2015-2019) data, there are not significant differences in the rates of
home ownership among different race and ethnic groups in Rolling Hills. As shown in Table A-9,
the data indicates that all Black and Latino households in the city are homeowners, and that all
renter households in the city are White or Asian. However, the findings are based on sample
data and the sample sizes are very small. The greater takeaway is that housing in the city
continues to be affordable only to very high income households.
Table A-9: Rolling Hills Home Ownership Rates by Race/Ethnicity
Race/Ethnicity Owners Renters Total % Owners
White, Non-Hispanic 360 8 368 98%
Asian, Non-Hispanic 101 16 117 86%
Black, Non-Hispanic 9 0 9 100%
Hispanic/Latino 28 0 28 100%
Two or more races 35 3 38 92%
Source: American Community Survey, 2015-2019 (2022)
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Local Data and Knowledge
HCD’s guidance for the AFFH analysis indicates that cities should use local data and knowledge
to analyze fair housing issues, including information obtained through community participation
or consultation. The regional demographic data help show spatial patterns but do not expressly
explain why problems exist. An additional screen of local insights is necessary to complement
federal and state data sources.
While there is no specific local data on fair housing, the circumstances behind the spatial
patterns shown throughout this analysis are mostly self-evident. The city was master planned
more than 80 years ago as a low-density equestrian community with large parcels marketed to
prospective homeowners. Rental housing was not included in these plans and CC&Rs were
drafted and enforced to maintain single family character. The lack of sewers, risk of wildfire and
landslides, and absence of public streets created further disincentives for multi-family housing,
while also increasing construction costs. More recently, the high cost of land has made
affordable housing construction economically infeasible, which will continue to be an
impediment in the future.
Rolling Hills is also an entirely residential community. There are no private businesses in the city
limits, except for a handful of home-based occupations. Employment is associated with the
PVPTA maintenance yard, the Rancho Del Mar school building, the Fire Station, and the City
Hall/ Rolling Hills Community Association buildings, which collectively employ just over 100
people. Housing demand is not generated by businesses within the city. There are no
underused commercial sites to be repurposed for housing, since there have never been
commercial land uses in the city.
Rolling Hills does generate demand for services that create jobs, including low-income jobs.
Local homeowners provide employment for caregivers and home health care workers, au pairs
and home child care providers, landscapers and domestic workers, personal assistants, and
those in the construction trades. Housing for this workforce has been largely unavailable in the
city, although some of these employees may live on-site and are considered part of the primary
household.
Local data and knowledge supports a fair housing strategy that is heavily focused on housing
this population in ADUs, potentially at reduced rents. The service industry population is
generally more racially and ethnically diverse than the city at large. Providing additional ADU
and JADU opportunities would help contribute to the State’s integration and equity goals while
improving access to housing in a high-resource area. It can also reduce commuting and
associated congestion and greenhouse gas emissions.
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Distribution of Proposed Housing Sites
This section of the AFFH analysis evaluates the City’s site inventory to ensure that the
distribution of sites does not exacerbate patterns of segregation, access to opportunity, and
disproportionate housing needs. The site inventory must be consistent with each community’s
duty to affirmatively further fair housing.
Rolling Hills presents a unique situation in this regard, as the entire city consists of just one
census block group. Data for this one tract indicates that the entire city is in the highest
resource category. The land use pattern is homogenous and consistent in all parts of the city,
and there are no observable disparities in housing condition, demographics, or income at the
neighborhood level.
Additionally, the city’s lower income RHNA is 29 units. While the State mandate calls for
distributing opportunities on multiple sites in each city, the economics of affordable housing
development make this impractical in Rolling Hills. The City is more likely to see affordable units
developed on a single site capable of supporting a critical mass of at least 16 units than on
multiple sites capable of accommodating a few units each.4 The City will distribute affordable
opportunities through a strategy that relies on its housing opportunity site and about a dozen
accessory dwelling units (ADUs) on scattered sites.
The development of affordable housing on the Rancho Del Mar site furthers the goals of AB 686
by providing a viable opportunity for affordable housing in a very high resource area. This
opportunity did not exist prior to 2020 when the site was rezoned. Moreover, the City has
adopted provisions to allow the development “by right” creating a path to expedited approval.
As documented in Chapter 4, this is the only viable site in Rolling Hills for higher density housing
given the lack of sewer and a public road system. It is also one of the few sites that is accessible
to transit and evacuation routes.
Meeting the remaining lower income need for affordable units through ADUs is a practical,
effective way to meet the intent of AB 686 while dispersing opportunities across a large
geographic area. By definition, ADUs distribute affordable housing opportunities across the
community rather than concentrating them in a single location. They are also responsive to very
real opportunities in Rolling Hills, resulting from large house sizes, numerous accessory
buildings, a large number of one- and two-person households, and an aging population. The
City’s new ADU program has a demonstrated track record of success, with nine units permitted
in 2021. Continued efforts to support ADUs will allow Rolling Hills to achieve AFFH goals in a
way that is realistic, practical, responsive to local conditions, and produces real results.
4 While the base density for the Rancho Del Mar site is 16 units, the City requires that the site be developed with 100% affordable
housing. Thus, it will be eligible for an 80% State density bonus which would enable 29 units in total.
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Identification and Prioritization of Contributing Factors
“Contributing factors” are the underlying forces that create, contribute to, perpetuate, or
increase the severity of fair housing issues. In its AFFH Guidance Memo (2021), HCD has
identified eight contributing factor topic areas, including general outreach, fair housing
enforcement and outreach capacity, segregation and integration, racially and ethnically
concentrated areas of poverty, disparity in access to opportunity, disparity in access for persons
with disabilities, disproportionate housing needs and displacement risks, and the site inventory.
Under each of these topic areas, the Guidance memo lists individual issues which can
potentially be addressed by a Housing Element action.
AB 686 requires that the City strategically prioritize the contributing factors and develop
programs that mitigate these factors through its goals, policies, and actions. . HCD generally
groups these actions into the following four categories:
• Housing Mobility Strategies, which consist of removing barriers to housing in areas of
opportunity
• New Housing Choices and Affordability, which include strategies to promote more
housing supply and choices in areas of high opportunity and outside areas of
concentrated poverty
• Place-based strategies to Encourage Community Conservation and Revitalization, which
include approaches to conserve and improve assets in areas with concentrated poverty
and lower opportunities
• Protecting Residents from Displacement, which includes strategies to preserve housing
choices and affordability for residents within low and moderate opportunity areas.
Given that Rolling Hills is a high-resource, high-opportunity area, all of the City’s AFFH strategies
fall in the first two of these categories.
Following is an assessment of factors that could contribute to fair housing issues in Rolling Hills,
along with strategies that mitigate these factors.
Priority 1: Address Disparities in Access to Opportunity
Contributing Factors:
• Land Use and Zoning Laws
• Lack of Public Investment in Services and Amenities
The City’s highest AFFH priority is to address disparities in access to opportunity. These
disparities have been created primarily by land use and zoning laws, coupled with economic
conditions and environmental hazards that precluded multi-family housing in Rolling Hills.
The City historically has had no rental housing and no housing opportunities for lower and
moderate income households. It has begun to remove land use and zoning barriers by allowing
and encouraging accessory dwelling units, promoting home sharing, rezoning land for multi-
family and special needs housing, and supporting public investments in infrastructure that will
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facilitate future housing development. The 2021-2029 Housing Element identifies additional
steps the City will take to mitigate this contributing factor.
Specific Programs (described in Chapter 6) aimed at mitigating land use and zoning as a
contributing factor include:
• Program 2 supporting the development of affordable multi-family housing on the
Rancho Del Mar Housing Opportunity Site
• Program 4 adding definitions of transitional and supportive housing to the Municipal
Code, to clarify that these uses are subject to the same standards that apply to the other
residential uses in each zoning district
• Program 5 adopting a density bonus ordinance
• Program 6 creating incentives for ADUs
• Program 7 promoting community education on ADUs
• Program 12 supporting outreach to affordable housing service providers and
developers
• Program 13 supporting a shared housing program
Specific Programs (described in Chapter 6) aimed at mitigating lack of public investment in
services and amenities as a contributing factor include:
• Program 14 calling for sewer feasibility studies and phase one construction of a
sanitary sewer system that would serve City Hall and the community tennis courts and
potential future expansions
• Program 15 calling for potential participation in the CDBG Urban County program,
which could provide a public funding source for infrastructure and housing
improvements
This contributing factor is also mitigated by the designation of the Rancho Del Mar site for multi-
family housing, since this is the only site in the city that has sanitary sewers and access to a
public street. As noted throughout the Housing Element, most of Rolling Hills does not sewer or
public street access.
All of the above programs fall into the “New Housing Choices and Affordability” category, as
they promote more housing supply and choices in areas of high opportunity.
Priority 2: Increase Fair Housing Outreach, Education and Enforcement Capacity
Contributing Factors:
• Lack of local private fair housing outreach and enforcement
The second AFFH priority area is to improve fair housing outreach, education, and enforcement
capacity. While public agencies do not directly control the actions of private property owners
related to fair housing, they can influence outcomes. Rolling Hills has limited staff (6 FTEs) and
a severely constrained budget, no tax-generating commercial land uses, and limited revenue to
fund new programs. The capacity to do pro-active outreach and enforcement of fair housing
complaints is constrained. As a result, owners seeking to rent property may be unaware of fair
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housing laws and discriminatory practices. Likewise, tenants (or prospective tenants) may be
unaware of their rights and may face discrimination without awareness of the opportunity for
recourse. At present, there is not a formal private fair housing outreach and enforcement
program and resources for such a program are limited.
Specific Programs (described in Chapter 6) aimed at increasing fair housing outreach,
education, and enforcement include:
• Program 20 recommends that the City increase its capacity for fair housing outreach,
education, and enforcement. This would include education to those choosing to rent
their homes or ADUs regarding state and federal laws on discrimination and the
acceptance of housing vouchers.
• Program 21 calls for increased information on fair housing on the City’s website,
including a dedicated landing page with fair housing information and links to fair housing
resources.
• Program 22 calls for fair housing training for City staff.
All of the applicable strategies to address this priority fall are in the “Housing Mobility” category,
in that they are aimed at removing barriers in a high opportunity area.
Priority 3: Disparities in Access for Persons with Disabilities
Contributing Factors:
• Lack of assistance for housing accessibility modifications
• Lack of affordable in-home or community-based supportive services
As noted earlier in this Appendix and in Chapter 3 of the Housing Element, more than one-third
of Rolling Hills residents are over 65 and most of the City’s households include at least one
person over 65. This demographic has the highest rate of disability in the city, primarily
associated with mobility limitations. Sight and hearing impairments and cognitive impairments
also may affect older adults. As a rural community with very large lots and no public
transportation, persons with these limitations and impairments may face housing challenges as
well as other challenges such as the ability to evacuate in an emergency.
Specific Programs (described in Chapter 6) aimed at reducing disparities in access for persons
with disabilities include:
• Programs 6 and 7 supporting ADU development, including units for live-in caregivers
and health care providers
• Program 8 to assist senior and disabled households, including home retrofits for aging
in place. This also includes housing resources for persons with developmental
disabilities.
• Program 12 supporting home sharing, especially for senior and disabled households
All of the above programs fall into the “New Housing Choices and Affordability” category, as
they promote better choices in high opportunity areas.
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Appendix A: Affirmatively Furthering Fair Housing Analysis A-47
Summary
Table A-10 summarizes AFFH priorities, contributing factors, fair housing issues, and applicable
housing programs.
Table A-10: Fair Housing Priorities, Issues, Contributing Factors and Strategies
Priority Fair Housing
Issue
Contributing
Factors
Program
Category
Relevant Program (see Chapter 6)
1 Disparities to
Access in
Opportunity
• Land Use and
Zoning Laws
New
Housing
Choices and
Affordability
• Program 2: Affordable multi-family housing
development on Rancho Del Mar site
• Program 4: Definitions of transitional and
supportive housing in the Municipal Code,
• Program 5: Density bonus ordinance
• Program 6: ADU incentives
• Program 7: ADU education and outreach
• Program 12: outreach to housing service
providers
• Program 13 supporting a shared housing
program
• Lack of Public
Investment in
Services and
Amenities
• Program 14: sewer feasibility studies
• Program 15: CDB Urban County Program
2 Fair Housing
Outreach,
Education,
and
Enforcement
• Lack of local
private fair
housing
outreach and
enforcement
Housing
Mobility
• Program 20: Increase capacity for fair
housing outreach, education, enforcement
• Program 21: Increased fair housing
information on City’s website
• Program 22: Fair Housing training for staff
3 Disparities in
Access for
Persons with
Disabilities
• Lack of
assistance for
housing
accessibility
modifications
• Lack of
affordable in-
home or
community-
based
supportive
services
New
Housing
Choices and
Affordability
• Program 6: ADU incentives
• Program 7: ADUs outreach for live-in
caregivers and health care providers
• Program 8: Assistance to senior and
disabled households
• Program 12: Home sharing
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Appendix A: Affirmatively Furthering Fair Housing Analysis A-48
Summary of Fair Housing Issues and Additional Fair Housing Concerns
According to the California Code of Regulations, a land use practice has a discriminatory effect
where it actually or predictably results in a disparate impact on a group of individuals, or creates,
increases, reinforces, or perpetuates segregated housing patterns, based on membership in a
protected class. Such practices may still be lawful--however, the State has determined that they
should be mitigated to the extent that they increase, reinforce, or perpetuate segregated
housing patterns. In this context, the State has found that single family zoning itself has had
unintended (and in some cases, intended) discriminatory effects. In response, the legislature
has taken steps requiring local governments to accommodate additional housing units on single
family zoned sites.
Rolling Hills has adopted regulations permitting accessory dwelling units and is currently
considering legislation reflecting recently adopted SB 9. Both of these measures provide
potential opportunities for rental housing, smaller units, and more affordable units that did not
previously exist in the city. New ADU production and affordability programs affirmatively further
fair housing and promote new housing opportunities throughout the community.
Strategies to enhance mobility (i.e., transit access to Rolling Hills), preserve existing affordable
housing, and protect residents from displacement are less applicable in Rolling Hills. However ,
the City’s policies and programs do aim to address disparities and create new affordable
housing opportunities in high-resource areas. The City has required that any multi-family
construction be affordable to low and very low income households, ensuring opportunities for
economic diversification rather than further concentration of affluence. Allowing market-rate
multi-family housing would only exacerbate existing concentrations of affluence and run counter
to the purpose and intent of AB 686.
Rolling Hills also has made fair housing outreach and education a priority, not only for Rolling
Hills residents but for those who may seek to move to Rolling Hills in the future. Current efforts
will be expanded in the future by making more information available and strengthening
communication with fair housing service providers.
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APPENDIX B: Supplemental Analysis of the PVUSD Site Page B-1
APPENDIX B
Analysis of Palos Verdes Unified School District (PVUSD) Site
(APN 7569-022-900)
The intent of this Appendix is to provide supplemental analysis supporting the designation of the
Palos Verdes Unified School District (PVUSD) site as an opportunity site for “by right” affordable
housing in the City of Rolling Hills. This analysis was requested by the State Department of
Housing and Community Development to demonstrate the site’s capacity to provide 16 multi-
family units at a density of 20 units per acre. Land use regulations supporting such
development are required to meet the City’s 6th Cycle affordable housing allocation. Based on
existing land uses, access, infrastructure, topography and hazards, land ownership, and site
utilization, the City has determined that this represents the most viable site in Rolling Hills for
such development.
The 31-acre property is also known as the Rancho Del Mar site, as it is home to Rancho Del Mar
High School, a small continuation school with an enrollment of 32 students in 2021. The Beach
Cities Learning Center (17 students) also occupies a portion of the school building. Excluding
the adjacent playing fields and lawn, the school campus occupies just six percent of the 31-acre
site. The only other active use on the property is a Palos Verdes Peninsula Transit Authority
maintenance facility. A majority of the site is vacant.
Location and Surroundings
The PVUSD site is located at 38 Crest Road. Figure B-1 provides an aerial photo of the site to
provide context, orientation, and an overview of adjacent uses. Figure B-2 is an assessor parcel
map. Its exact area is 31.14 acres, including a 3.56-acre street internal to the site that provides
access to Crest Road, at a point outside the controlled access entryway to the Rolling Hills (but
within the city limits). The net acreage of the site without the street is 27.58 acres.
The site is oblong in shape, with a panhandle area at its western edge that extends to the Crest
Road access point. Excluding this panhandle area, the site extends roughly 2,600 feet from east
to west and averages more than 600 feet from north to south. Within this area are numerous
flat, graded surface areas with no structure coverage and minimal programmed activities.
The City of Rancho Palos Verdes lies immediately south and west of the site. The area to the
south is developed with single family homes at densities of 2-3 units per acre. This area is
roughly 80 to 100 feet higher in elevation than the site itself, as there is a graded downslope
between the residential neighborhood and the school property (the downslope is on the school
property). Residential uses also abut the west side of the site, with densities around 3-4 units
per acre.
There are no road or driveway connections between the PVUSD site and the Rancho Palos
Verdes neighborhoods to the south and west. A 15’ riding and hiking trail easement exists along
the southern and western edges of the site but it is undeveloped. The difference in topography
reduces the potential for visual impacts associated with future development.
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APPENDIX B: Supplemental Analysis of the PVUSD Site Page B-2
The entire northern perimeter of the site is defined by the Crest Road right-of-way. There are
large lot homes on the northern side of Crest Road, set back more than 100 feet from the
School District property line and more than 200 feet from the improved area of the PVUSD site.
The area to the north is well buffered not only by large setbacks and Crest Road, but also by an
internal street on the PVUSD property. Effectively, there are two streets between homes in
Rolling Hills and the developable area—Crest Road, and the parallel internal street within the
PVUSD site.
On its eastern edge, the site is abutted by large lot residences. The home closest to the site is
heavily screened from the PVUSD site by vegetation, as well as a private tennis court between
the residence and the property line. The residence itself is more than 200 feet from the PVUSD
ballfield and more than 550 feet from the school.
The site context creates effective buffering from adjacent uses, mitigating land use compatibility
concerns such as privacy, noise, and visual impacts. At the same time, the site is easily
accessible from Crest Road and is outside of the gated area of the city. A fire station is located
1,000 feet to the east, and major shopping facilities and services are located just over a mile
away in the City of Rancho Palos Verdes. Crest Road is one of Rolling Hills’ major thoroughfares
and one of the few “through-streets” that bisects Rolling Hills and connects the city to adjacent
cities and regional highways.
History of the Site and Current Uses
The site was initially home to Cresta Elementary School, which was constructed in 1960. A
School District warehouse and maintenance facility was part of the original campus. The school
closed in the early 1980s and was repurposed as Rancho Del Mar Continuation High School,
which opened in 1986. At the time, there were discussions between the City and the School
District to rezone the property and sell the site for residential development. However, Rancho
Del Mar has remained on the site for the last 35 years. Given the value of the land and the low-
intensity and limited extent of the existing use, residential development remains viable, even if
the school does not relocate.
The Rancho Del Mar Campus consists of three one-story buildings totaling 20,000 square feet of
floor area. Figure B-3 shows the campus layout, as well as six photos of the school and adjacent
areas. The campus consists of an L-shaped building (divided by a breezeway) with eight
classrooms, a rectangular building with a classroom, multi-purpose room restroom, and
custodial area, and a small building facing the parking lot with the main office. Classrooms at
the school are open to the exterior and there are no interior hallways. The PVUSD shares its
classroom and administrative facilities with the Beach Cities Learning Center. The Learning
Center has 17 students aged 11-18 with emotional, behavioral, and learning challenges.
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Appendix B: Supplemental Analysis of the PVUSD Site Page B-3
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Appendix B: Supplemental Analysis of the PVUSD Site Page B-4
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Appendix B: Supplemental Analysis of the PVUSD Site Page B-5
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Appendix B: Supplemental Analysis of the PVUSD Site Page B-6
Rancho del Mar itself serves students ages 16-18 who were unsuccessful in a traditional high
school setting. Students are referred to the school for a myriad of reasons, including poor
attendance, personal crisis, behavioral issues, or other factors creating a high risk of drop-out.
Enrollment at Rancho del Mar has been steadily declining and was just 32 students in the 2020-
21 school year. Enrollment was 79 students in 2014-15, 72 students in 2015-16, 69 students in
2016-17, 58 students in 2017-18, 47 students in 2018-19, and 46 students in 2019-20. There
are also six teachers on site and three other personnel.
Thus, the combined enrollment (Beach Cities and Rancho Del Mar) is fewer than 50 students on
a 31-acre site. By contrast, Palos Verdes Peninsula High School and Palos Verdes High School
enroll roughly 2,300 and 1,700 students respectively, on sites of similar size. Sale of the school
property could generate significant revenue for the School District. Sale of a portion of the
property also is possible, as the site is configured in such a way that easily facilitates its
subdivision.
A comprehensive structural evaluation of the school was completed in 2016 as part of the
PVUSD Facilities Master Plan. Beach Cities Learning Center likewise prepared a facility
condition status report in 2019 as part of its annual reporting requirements. Both evaluations
found the building(s) to be in good condition. The buildings were last renovated in 2008. The
2016 evaluation called for resurfacing the parking area, upgrading the HVAC system, and
upgrading the electrical system. Total capital needs were estimated at $1.9 million. All utilities
were found to be in good condition, and drainage issues were minimal.
The school campus is adjoined by an approximately 100-space parking lot on its north and east
sides. To the west of the buildings, there is a large flat lawn area. To the east, there is an
athletic field area that includes a basketball court and ballfield. The 2016 facility evaluation
determined that the Floor Area Ratio of the school campus was just 0.03, as it defined the
campus area as being 15.2 acres (including athletic fields, lawns, and other open areas on the
perimeter of the site). The square footage of floor space per student is well below District
averages.
Beyond the 15.2-acre area associated with the school, the PVUSD has leased approximately 4.5
acres of the site (roughly 15 percent of the 31 acres) to the Palos Verdes Peninsula Transit
Authority. The PVPTA facilities include maintenance buildings and administrative offices and are
self-contained in the west central part of the site. The Housing Element analysis presumes this
part of the site will not be available for development and that the transit district will remain a
long-term tenant. However, the PVPTA site could potentially be sold and redeveloped in the
future, leased to a new third party, or repurposed by the School District.
Potential Development Areas
Figure B-4 shows potential development areas on the Rancho Del Mar site. These are
summarized below:
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Appendix B: Supplemental Analysis of the PVUSD Site Page B-7
• Area 1 is located between the transit facility and the school campus. It is an unimproved,
almost completely flat rectangular area of 1.6 acres. Its dimensions are approximately
250 x 300, with 250 feet of frontage along the internal access street. The site is well
situated for multi-family development and has no visible physical constraints.
• Area 2 is located immediately adjacent to the school and is 1.0 acre. The dimensions
are approximately 200 x 200, with a “stem” area providing access to the interior street.
The area is currently an unimproved lawn with a few mature trees. It is almost
completely flat and has no physical development constraints. The site could easily
support up to 16 to 20 multi-family units at a density of 20 units per net acre.
• Area 3 is the school itself, which occupies roughly 1.75 acres including parking,
landscaped areas, courtyards, and classroom buildings. This option would be most
viable if the school relocates and the site is sold, as co-location of a school and multi-
family housing or emergency shelter would be unlikely. However, certain special needs
housing types (such as housing for teachers) would be viable in this setting.
• Area 4 includes the area east of the school. It includes approximately three acres of
level ground, with 0.5 acres of parking, a two-acre ballfield serving the school, and other
paved areas used for basketball and recreation. There are several areas within the three
acres where 16-20 units could be built without impacting use of the site for parking and
school recreation.
• Area 5 includes approximately four acres and is located west of the PVPTA facility. It is
regarded by the City as the best location on the 31-acre site for multi-family housing, as
it would have the least impact on the school campus and transit facility. It is also the
largest of the five areas and the most buffered from adjacent development. There are a
number of extant foundations on the site from prior uses, and internal roadways that are
not in use. The area has gently sloping terrain and has not been improved for school
use, parking, or recreation, as the other portions of the site have.
Figures B-5 through B-7 provide a bird’s eye view of each of the five areas.
Physical Constraints to Site Development
Approximately nine acres of the 31-acre site consists of a graded slope along the south side of
Altamira Canyon. This area is shown in Figure B-8. The slope exceeds 30 percent, making it
poorly suited for development. The sloped areas also have the potential for landslides and other
seismic stability issues, which limit their suitability for further grading and construction. The
sloped area is not considered suitable for multi-family development or special needs housing. It
occupies roughly 29 percent of the site, all of which has been excluded from consideration in
the definition of Areas 1-5 above.
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Appendix B: Supplemental Analysis of the PVUSD Site Page B-8
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Appendix B: Supplemental Analysis of the PVUSD Site Page B-9
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Appendix B: Supplemental Analysis of the PVUSD Site Page B-10
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Appendix B: Supplemental Analysis of the PVUSD Site Page B-11
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Appendix B: Supplemental Analysis of the PVUSD Site Page B-12
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Appendix B: Supplemental Analysis of the PVUSD Site Page B-13
The central portion of the site has historically been used for general maintenance activities, first
by PVUSD and more recently by PVPTA. A search of the California State Water Resources
Control Board (SWRCB) GeoTracker data base identified two leaking underground storage
tanks (LUST sites) at this location. The sites were determined to contain gasoline and
hydrocarbons resulting from leaking underground storage tanks. Both sites have been cleaned
per SWRCB standards and are now designated by the SWCRB as "complete” and “case
closed.”
As noted elsewhere in the Housing Element, the City of Rolling Hills—including the PVUSD
site—has been designated as a Very High Fire Hazard Severity Zone by the State of California.
Rolling Hills is implementing a Community Wildfire Protection Plan to mitigate this hazard and is
implementing vegetation management measures and programs to make structures more
resilient. In the event of a housing proposal on this site, the need for an emergency-only access
connection between the existing access road and Crest Road would be assessed.
An analysis of infrastructure and utilities on the site conducted as part of the Housing Element
found no constraints associated with redeveloping this site with residential uses or special needs
housing. The site is used less intensively now than when it was actively used as an elementary
school and school maintenance facility. Water, drainage, and wastewater facilities are adequate
to support the number of units contemplated by the Housing Element.
Importantly, this is one of the only sites in the City of Rolling Hills that has access to a public
sewer system. As such, it is much more conducive to multi-family housing that sites elsewhere
in the city that are served by private septic systems.
Regulatory Constraints to Site Development
Prior to December 2020, the PVUSD opportunity site was subject to a range of planning and
regulatory constraints that limited the feasibility of multi-family housing. The site has historically
had a General Plan designation of Very Low Density Residential and a zoning designation of
RAS-2 (Residential Suburban 2-acre minimum lot size), which effectively limited uses to existing
community facilities or new large-lot residential development. While Accessory Dwelling Units
(ADUs) could conceivably be incorporated in new homes, the site would not have met State
requirements for the Housing Element.
In February 2021, the City of Rolling Hills amended its General Plan and zoning regulations to
allow multi-family housing and other special needs housing types “by right” on the PVUSD
property, subject to specific development standards. As noted elsewhere in the Housing
Element, the amendments included:
• Amending the Land Use Element of the General Plan to create the Rancho Del Mar
Housing Opportunity Overlay. The Land Use Element now explicitly states that multi-
family housing and emergency shelter are permitted by right in this area, subject to
objective development standards. The number of units on the site is based on a transfer
of the allowable General Plan density to a clustered area where 16 to 20 units could be
added.
• Amending the Rolling Hills Municipal Code (Zoning Regulations) to create the Rancho
Del Mar Housing Opportunity Overlay, and to map this Overlay on the entire PVUSD site.
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Appendix B: Supplemental Analysis of the PVUSD Site Page B-14
The Overlay establishes a minimum density of 20 units per acre and a maximum density
of 24 units per acre. Affordable housing is permitted “by right” subject to objective
development standards defined in the Ordinance. The Ordinance identifies the area
west of the PVPTA site as the location for future housing.
• Amending the Zoning Regulations to allow emergency shelter on the property by right,
subject to specific development standards specified in the Code.
• Amending the Zoning Regulations to allow single room occupancy (SRO) units on the
site, with a conditional use permit.
Other Constraints to Site Development
Development of multi-family housing, emergency shelter, or SRO uses on the PVUSD site could
occur either:
• by the School District itself (on its own or through a public-private partnership)
• through a long-term lease; or
• through sale of all or part of the property
The City has met with the School District and reviewed Board Policies and Codes. Current
policies accommodate all of these options—and that there are no prohibitions or limitations on
multi-family and special needs housing. Moreover, the School District has expressed interest in
developing housing for teachers in the past; such units would meet income criteria for low or
very low income units. There are ample opportunities for such housing on the property that
would not impact operations at either Rancho Del Mar School or PVPTA. Rancho Del Mar is a
logical location for these activities, given the size of the site and its significant underutilization.
The District is less likely to pursue development of an emergency shelter or SRO on its own, as
these are not as clearly mission-aligned. However, it could sell or lease property to a third party
who could develop these uses. SROs and emergency shelters would be unlikely to co-locate in
the school building or on the 1.75-acre school footprint area, given the possibility for use
conflicts. However, the 31-acre PVUSD property is large enough to accommodate multiple
uses. There are developable areas on the site that are 1,500 feet away from the school. The
District has already set a precedent by leasing a large portion of this site to a transit agency; it
could do the same for a social service agency or another agency providing a public benefit
service to the community.
Like most School Districts in California, the sale or lease of PVUSD property is subject to action
by the School Board. Section 3280 of the Board’s Policies allows the Superintendent or
designee to study the existing and projected use of facilities to ensure the efficient utilization of
space. A Board Committee is typically created prior to the sale of land (although teacher
housing is specifically exempted by Board policy from any Committee requirements). A Board
vote is required to approve the sale or lease terms. There are also requirements for how the
proceeds of a sale or lease may be used.
Once property is sold, the School District Board has no land use or decision-making authority
over a site. Thus, the District could sell all or part of the PVUSD site to a non-profit housing
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A D O P T I O N D R A F T
Appendix B: Supplemental Analysis of the PVUSD Site Page B-15
developer, for-profit housing developer, social service provider, or other third party who could
develop housing “by right” without further oversight by the Board or City Council. Subdivision
of the property would be required, creating a new legal parcel on which housing could be
developed.
Given its large size, the most likely scenario is only that a portion of the site would be sold,
rather than the entire site. In effect, the Housing Element is creating a unique opportunity for
the District to sell a vacant or underutilized subarea on its 31-acre site to a third party, who can
then produce teacher housing, senior housing, affordable family housing, or another type of
housing that meet local needs.
There are a number of examples of successful small affordable housing projects in the Los
Angeles region that meet the density and height criteria established for this site. For example,
Habitat for Humanity is currently developing a 10-unit affordable two-story townhome project in
Long Beach on a 0.5-acre site. Similar two-story projects by Habitat have been developed in
Lynwood, Burbank, Bellflower, and Downey.
In the event that the Rancho Del Mar School itself is closed in the future, the building could be
sold and repurposed for other uses. Once sold, the floor space could be reconfigured for
alternative uses, including special needs housing. The project would be subject to the objective
standards prescribed by the zoning regulations (covered elsewhere in this Housing Element),
but approval of the development would be ministerial.
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Appendix B: Supplemental Analysis of the PVUSD Site Page B-16
/intentionally blank/
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Appendix C: Accessory Dwelling Unit (ADU) Survey Findings Page C-1
APPENDIX C:
Accessory Dwelling Unit Survey Analysis
In Fall 2020, the City of Rolling Hills surveyed its residents to determine the viability of
Accessory Dwelling Units (ADUs) as a future affordable housing strategy. The survey was
formatted as an 11 x 17 folded sheet printed double-sided (four 8.5 x 11 pages) and was mailed
via the US Postal Service to approximately 700 addresses in the city. Return postage was
provided so the survey could be easily returned. Residents had roughly one month to complete
and return the survey. An option was provided to reply electronically via SurveyMonkey.
Approximately 190 surveys were returned, for a response rate of 27 percent.1 Another seven
surveys were received by SurveyMonkey, bringing the total response rate to 28 percent. The
survey represents the views and experiences of more than one in four Rolling Hills households.
This is a high response rate and is indicative of the community’s strong interest in the subject.
Demographic information about the respondents was collected as part of the survey.
Respondents tended to be older than Rolling Hills residents as a whole and were mostly long-
time residents. About two-thirds of the respondents were 65 or older and 25 percent were 50-
64. By contrast, about 42 percent of the City’s adult residents are over 65 and 36 percent are
50-64. About 42 percent of the respondents had lived in Rolling Hills for more than 30 years
and only 20 percent had lived in the city for less than 10 years. By contrast, about 27 percent of
all residents have lived in Rolling Hills for more than 30 years and 31 percent have lived in the
city for less than 10 years.
The distribution of respondents by household size was close to the citywide average.
Approximately 65 percent lived in one and two person households, which is similar to the
citywide average. Only seven percent lived in households with five or more residents, which is
just below the citywide average. Of the 194 respondents who indicated their housing tenure,
192 were owners and two were renters. This is equivalent to one percent of the respondents,
whereas renters represent about five percent of Rolling Hills households.
Figure C-1 compares demographics for the survey respondents and residents in the city as a
whole.
Responses to the survey was completely anonymous. Respondents were given the option of
phoning the City if they had questions or wanted more information about ADUs.
1 This estimated return rate was based on 700 households. In August 2021, Census data indicated there were 637
households in the City, so the actual return rate was 31 percent.
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Appendix C: Accessory Dwelling Unit (ADU) Survey Findings Page C-2
Figure C-1: Demographics of Survey Respondents Relative to All Rolling Hills Residents
0
10
20
30
40
50
Less than 10 yrs 10-20 yrs 20-30 yrs 30+ yrs
Length of Residency in Rolling Hills
Survey Respondents All Rolling Hills Residents
0
10
20
30
40
50
60
1 Person 2 Persons 3 Persons 4 Persons 5 Persons 6+ Persons
Household Size
Survey Respondents All Rolling Hills Residents
0
10
20
30
40
50
60
70
20-35 35-49 50-64 65+
Percent by Age Group
Survey Respondents All Rolling Hills Residents
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Appendix C: Accessory Dwelling Unit (ADU) Survey Findings Page C-3
Suitability of the Property for an ADU
Question 1 asked respondents to indicate if their property contained an ADU or other habitable
spaces which could potentially be used as an ADU. Respondents were asked to check “all
choices that apply,” so the results are not additive.
Thirteen of the respondents indicated they had a legally permitted ADU on their properties with
a separate kitchen, bath, and entrance. Some of these units may have been legally created in
2018-2020 after the City adopted its ADU Ordinance, but some likely already existed and are
legally classified as guest quarters.
Thirty-four respondents, or roughly 25 percent of the total, indicated they had a secondary
building on their properties with an indoor kitchen, bathroom, heat and plumbing. This included
guest houses/ casitas, pool houses, habitable barns, and similar features that could be
considered potential ADUs even if they are not used for habitation by another household. Ten
respondents indicated they had a second kitchen in their homes. Eighteen said they had
another space in their home that could “easily be converted” to a separate dwelling or junior
ADU. While some respondents may have counted the same space twice, roughly half indicated
they had spaces on their properties with the potential to be used as an ADU or JADU. This is
further supported by the responses to Question 2 below.
Current Use of ADUs and Spaces Suitable as ADUs
Question 2 asked how the spaces described in Question 1 were being used. Only three of the
respondents indicated they were renting ADUs to a paying tenant. Seven indicated that the
space was used by a caregiver or domestic employee, while eleven had a family member or
long-term occupant living on the property. Collectively, this represents 21 units, or just over 10
percent of the respondent households. The remainder of the respondents with potential ADU
space indicated they used these spaces for house guests or their own families, or that the space
was unoccupied or used as storage.
The survey findings indicate that ADUs (or “unintended” ADUs such as guest houses) already
represent a component of the Rolling Hills housing supply. The survey suggests that there is
potential to expand the number of permitted ADUs in the future, even without any new
construction. About 15 percent of the respondents (30 in total) indicated they had potential
ADU space on their properties that was vacant or used for storage.
Respondents were asked the square footage of the spaces they were describing. Figure C-2
shows the distribution. More than 100 responses were received, with a median size of about
600 square feet.
Respondents who had rented ADUs on their properties were given the option of reporting the
rent that was being charged. Two of the three households who indicated they had a paying
tenant replied. The monthly rents charged for these units were $950 in one case and $1,500 in
another. Based on HCD income limits for Los Angeles County, the $950 unit would be
considered affordable to a very low-income household of one or more persons. The $1,500 unit
would be considered affordable to a low-income household of one or more persons. These
474
A D O P T I O N D R A F T
Appendix C: Accessory Dwelling Unit (ADU) Survey Findings Page C-4
units are presumed to have been created or legalized between 2018 and 2020, following
adoption of the ADU ordinance.
Figure C-2: Square Footage of Spaces Reported by Respondents as Potential ADUs on their Properties,
Including Guest Houses
Income Characteristics of Households in Occupied Units
Those who indicated their ADU (or “unintended” ADU/ guest house/ secondary space) was
occupied by someone who was not part of their household were asked to describe the number
of residents and total income of the occupants. The numeric HCD 2020 income limits (dollar
amounts) and number of persons in the household were used so that the occupants could be
easily identified using HCD’s income categories.
There were 12 responses to this question, or about six percent of all surveys returned. This
presumably includes the small number of units that are rented as ADUs, plus those occupied by
caretakers, domestic employees, and other long-term occupants. The distribution by HCD’s
income categories is shown below:
Household Size and Income of Households Occupying Formal or Unintended ADUs
Income 1 person 2 person 3 person 4 person 5 person 6+ person TOTAL
Extremely
Low 1 1 2
Very Low 2 2
Low 1 1
Moderate/
Above Mod 1 4 1 1 7
TOTAL 5 4 1 1 0 1 12
0
5
10
15
20
25
30
>300 301-450 451-650 651-800 801-1000 1000+Number of UnitsSquare Footage
475
A D O P T I O N D R A F T
Appendix C: Accessory Dwelling Unit (ADU) Survey Findings Page C-5
The data indicates that roughly half of the survey respondents’ ADUs (including those which
may be unpermitted and used “informally” on a long-term basis) provided housing for low, very
low, and extremely low income households.
Interest in Developing an ADU
Question 4 asked respondents if they might be interested in developing an ADU if they didn’t
currently have one. There were 164 responses to this question, with 24 percent indicating
“Yes” and 15 percent indicating “Maybe.” Another 40 percent indicated “No” and 14 percent
indicated “Probably Not.” The responses are profiled in Figure C-3 below.
Figure C-3: Level of Interest in ADU development (N=164)
The chart above suggests that more than half of the City’s residents are not interested in
developing an ADU on their properties, and another quarter are undecided or not interested at
this time. To flesh out possible barriers, Question 4 included a follow up asking why
respondents were not interested. The responses suggest it is primarily a lifestyle choice rather
than the result of regulatory or cost barriers. About one-third (51) listed the loss of privacy as a
factor, and another one-third (48) indicated they didn’t want to deal with tenants. The number of
respondents listing the “permitting process” as a factor was relatively small (27 out of 164) and
the percentage listing “cost” as a factor (24 out of 164) was even smaller. About 10 percent of
the respondents cited lack of space as their reason.
Location of Possible ADUs
Those who expressed some interest in adding an ADU were asked where they might locate the
ADU on their properties. The responses can potentially help inform local programs that facilitate
ADUs in particular locations. There were 85 responses, representing more than 40 percent of
No (65)
40%
Probably Not
(23)
14%
Not Sure (11)
7%
Maybe, but not
now (25)
15%
Yes (40)
24%
Question: If you don’t have a
legal ADU on your property,
would you consider developing
one? (164 replies)
476
A D O P T I O N D R A F T
Appendix C: Accessory Dwelling Unit (ADU) Survey Findings Page C-6
the total survey respondents. Conversion of an existing accessory building (such as a guest
house or barn) was the most commonly selected choice (38 responses), followed by a new
detached structure (21 responses) and conversion of existing space in the house (6 responses).
Only one respondent indicated they would build an addition to their home. Nineteen of the
respondents were not sure where they might locate an ADU. Again, a majority (about 115) were
not interested in adding an ADU.
The responses suggest stronger demand for traditional ADUs than Junior ADUs, given the large
number of respondents indicating they would built or convert an accessory structure, rather
than use space within their own homes.
Likely Use of Future ADUs
Respondents were asked how they would use an ADU on their property if they developed one in
the future. The responses to this question are important, as the objective of the program is to
create rental housing opportunities or opportunities for on-site care givers. Using the ADU as a
home office or space for occasional house guests would not accomplish State-mandated
housing program goals. Figure C-4 shows the responses to the question.
Figure C-4: Likely Use of Future ADUs (N=192)
The responses indicate that roughly one-third would use the ADU for another household,
including 16 who suggested they would rent it to a tenant and 48 who suggested they would use
it for a domestic employee or caregiver. The latter statistic is particularly important, as it
suggests a potential resource for health care workers, elder care professionals, construction and
landscape workers, and others who may work in Rolling Hills but lack the financial resources to
live here. Nearly a third of the respondents indicated they would use the ADU for a family
For rent to a tenant
(16)
8%
For a family
member
(60)
31%
For
myself
(18)
9%
For an employee or
caregiver (48)
24%
For occasional
visitors (50)
25%
Other (5)
3%
Question: If you had a legal
ADU on your property, how
would you most likely use it?
(192 replies)
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A D O P T I O N D R A F T
Appendix C: Accessory Dwelling Unit (ADU) Survey Findings Page C-7
member. The family member could be an extension of their own household or a relative or
relatives living independently as a separate household. It is worth noting that only a quarter of
the respondents indicated they would use the ADU for occasional visitors—historically, this has
been the intended use of guest houses in the city.
Use of ADUs as Affordable Housing
Respondents were asked if they would consider limiting the rent on an ADU so that the unit was
affordable to a lower income household. The question specifically asked if the respondent
would consider a deed restriction that maintained the rent at a reduced rate (such as $1,200/
month for a two-person household) to help the City meet its State-mandated affordable housing
requirements. Of the 194 surveys returned, 25 indicated they would consider this and another
20 indicated they might consider this (“maybe”). This represents nearly one-quarter of the total
respondents. Another one-quarter indicated they would need more information before deciding.
About 35 percent indicated they would not consider a lower income affordability restriction and
15 percent did not respond.
Figure C-5 shows the responses to this question. The data suggests that an “affordable” ADU
program could generate sufficient participation for the City to meet its entire lower-income
housing allocation through ADUs.
Figure C-5: Viability of ADUs to Meet Very Low Income Housing Assignment (N=194)
For the 98 respondents who answered “Yes”, “Maybe,” or “Need More Information”, the survey
asked a follow-up question, which is the maximum length of time the respondent would consider
acceptable for an affordability deed restriction. Two respondents did not reply, but the other 96
provided the answers below:
• 20 would consider a 5-year term
• 2 would consider a 10-year term
Yes (25)
13%
Maybe
(20)
10%
Need More Info
(53)
27%
No (68)
35%
Didn't reply (28)
15%
Question: If you
had a legal ADU
on your property,
would you
consider a deed
restriction that
maintained the
rent at a reduced
rate to help the
City meet its
State-mandated
affordable
housing
requirements?
478
A D O P T I O N D R A F T
Appendix C: Accessory Dwelling Unit (ADU) Survey Findings Page C-8
• 3 would consider a 20-year term
• 17 would consider a deed restriction that ended when they sold the house
• 59 were not sure or answered “other”
The responses suggest that long-term deed restrictions (10 or 20 years) and affordability
contracts that “run with the land” would have limited participation. Residents are more open to
short-term arrangements such as five-year affordability terms, and flexible arrangements that
would not encumber the resale of their homes. This is an important consideration in the event a
program is established.
Incentives
The final question in the survey asked respondents to select from a menu of possible incentives
that might make a rent-restriction on an ADU more acceptable to them. Respondents were
invited to select as many of the choices as they wanted. The most frequently selected options
are shown in descending order in Figure C-6 below:
Figure C-6: Ranking of Potential Affordable ADU Incentives
The most frequently selected option was “nothing.” However, 55 respondents indicated that fee
waivers or reductions would be an incentive, and 50 said expedited permitting would be an
incentive. Many respondents were also supportive of the idea of rent-restricted ADUs serving
local essential service workers such as fire-fighters and teachers. The least popular incentive
was assistance in finding a tenant.
0
10
20
30
40
50
60
Question: What
incentives might
make a rent
restriction more
attractive to you?
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A D O P T I O N D R A F T
Appendix C: Accessory Dwelling Unit (ADU) Survey Findings Page C-9
Other Comments
The survey provided an opportunity for residents to make general open-ended comments on
ADUs and housing issues in Rolling Hills, as well as the factors the City should consider as new
ADU policies and regulations are developed. Feedback was provided by 52 of the respondents.
This is summarized below.
Most of the open-ended comments expressed negative views about ADUs and their potential
impacts on the character of Rolling Hills, as well as concerns with State housing mandates and
the erosion of local land use control. Numerous concerns were raised about safety, security,
and privacy. There were also concerns expressed about noise, parking, traffic, evacuation
capacity, and impacts on the community’s rural, equestrian feel. Some respondents expressed
concerns that they would not be able to choose their own tenants if they created an ADU or
would be penalized if they created an ADU but did not rent it. Questions were also raised about
property tax impacts, septic system impacts, and whether tenants would pay association dues
and have access to RHCA facilities.
There were also supportive comments, particularly from persons interested in creating ADUs for
aging parents, or for themselves to age in place while renting out their primary home. Several
respondents indicated an interest in renting space to a care giver. One respondent suggested
prioritizing rentals to employees of the RHCA. Some respondents expressed their support for
the idea of using the school property to meet affordable housing needs rather than relying on
ADUs.
Survey
A copy of the survey mailed to residents follows this page.
480
A D O P T I O N D R A F T
Appendix C: Accessory Dwelling Unit (ADU) Survey Findings Page C-10
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A D O P T I O N D R A F T
Appendix C: ADU Survey Report Page C-11
City of Rolling Hills Accessory Dwelling Unit Survey
October 2020
Dear Resident:
Please take a few minutes to complete this survey about
Accessory Dwelling Units (ADUs) in Rolling Hills. Your
responses will help us understand community goals and
concerns and will be used to develop new policies for
consideration by the Rolling Hills Planning Commission and
City Council.
State law requires that all cities and counties allow ADUs,
provided they meet certain standards. Some of the
potential benefits of ADUs include rental income for
homeowners, on-site living space for caregivers or
household employees, and accommodation of extended
family (adult children, parents, etc.). ADUs can also help
residents “age in place,” particularly as homeowners need
more care or assistance.
The City’s objective in carrying out this survey is to
determine the level of interest in ADUs among Rolling Hills
residents and evaluate their potential to meet local housing
needs. Like all cities in California, Rolling Hills is required by
State law to provide for its “fair share” of the region’s
housing needs, including low- and very low-income
households. ADUs provide a way to do that without
significantly changing the character or appearance of the
community. Some communities even provide special
incentives for homeowners who rent ADUs at reduced rates
to very low-income households, including household
employees and local essential service employees.
The deadline for returning your survey is November 20,
2020. Please use the enclosed postage-paid envelope to
return the survey to City Hall by this date. If you would
prefer to complete the survey on-line, please visit
www.surveymonkey.com//rollinghillsADUsurvey.
Please do not include your name or address on the survey as
the intent is for all responses to be anonymous. If you have
questions about the survey or about ADUs in Rolling Hills,
please call Meredith Elguira at (310) 377-1521.
What are ADUs and JADUs?
Accessory Dwelling Units (ADUs) are
sometimes referred to as “in-law
apartments” or “second units.” They are
small independent dwelling units that exist
on single family properties, either in a
detached structure or as part of the
primary structure with a separate
entrance. ADUs include a bedroom or
sleeping area, a bathroom, and cooking
facilities.
Rolling Hills has adopted specific zoning
standards for ADUs as required by state
law. The maximum allowable size is 850
square feet for a studio or one-bedroom
and 1,000 square feet for a two bedroom.
Other standards also apply.
Junior Accessory Dwelling Units (JADUs)
are a type of ADU created by converting
existing living space inside a single-family
home (usually a bedroom) to a separate
living space. They have a maximum size
of 500 square feet. JADUs may have their
own kitchenette or bathroom, or they may
share the facilities in the primary
residence.
State law allows a property to have both
an ADU and a JADU if certain
requirements are met.
482
A D O P T I O N D R A F T
Appendix C: ADU Survey Report Page C-12
Thank you for taking the time to complete the survey!
Accessory Dwelling Unit Survey
1. Does your property include any of the following features? (circle all that apply)
A. A legally permitted Accessory Dwelling Unit (ADU) with kitchen, bath, and separate entrance?
B. A guest house, pool house, casita, barn or other outbuilding that has heat and plumbing?
_____ Check here if the space has a kitchen or other cooking facilities
C. A space inside your house with a separate entrance from outside and independent living quarters,
including a bedroom/ sleeping area and bathroom?
_____ Check here if the space also has its own kitchen or cooking facilities
D. Another space within your house that could easily be converted into an accessory dwelling unit?
2. If you circled one of the choices above, how is the space currently used? (If you circled more
than one choice, please provide a response for each applicable space on your property. Use
the blank line to the right of each choice below to describe the space you’re referring to).
A. It is occupied by a tenant paying rent ____________________________________
B. It is occupied by a family member or long-term visitor who is not part of my household ___________
C. It is occupied by a caretaker or household employee(s) ____________________________________
D. It is used occasionally by guests or visitors ____________________________________
E. My own household uses the space ____________________________________
F. The space is currently not occupied by anyone, or is used for storage ___________________________
G. Not applicable
2A. About how large is the space of each applicable feature from Question 1 (in square feet)?
(please skip question if not applicable)
__________________ ___________________ _________________
2B. If rent is collected for the space, what is the monthly amount? (if multiple spaces are
rented, please indicate the rent for each area). (Please skip question if not applicable)
__________________ ___________________ _________________
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A D O P T I O N D R A F T
Appendix C: ADU Survey Report Page C-13
3. If you have space on your property occupied by a household other than your own, please circle
the category in the table below that most closely matches their annual income based on the
number of persons in their household, if you know that amount. Recent data from the US Census
indicates that 16 percent of Rolling Hills households have annual incomes below $50,000. ADUs (or
potential ADUs) may provide a resource for these households. If Question 3 does not apply to your
property, please skip to Question 4.
Number of Persons in the Household (for other occupants only, not your own household)
1 2 3 4 5 6 Annual Income $23,700 or less $27,050 or less $30,450 or less $33,800 or less $36,550 or less $39,250 or less
$23,700-
$39,450
$27,050-
$45,050
$30,450-
$50,700
$33,800-
$56,300
$36,550-
$60,850
$39,250-
$65,350
$39,450-
$63,100
$45,050-
$72,100
$50,700-
$81,100
$56,300-
$90,100
$60,850-
$97,350
$65,350-
$104,550
$63,100 or
more
$72,100 or
more
$81,100 or
more
$90,100 or
more
$97,350 or more $104,550 or
more
4. If you don’t currently have a legal ADU on your property, would you consider developing one?
(circle one answer)
No Probably Not Not Sure/ Neutral Maybe, but not at
this time Yes
4A. If you answered A, B, or C, what are the reasons? (Circle All that Apply)
No Interest Cost Loss of Privacy Permitting
Process
Don’t Want to
Deal with
Tenants
No Space
Other (please explain below)_____________________________________________________
____________________________________________________________________________
5. If you decided to build an ADU on your property, where would it be located? (circle one)
New
detached
structure
on my
property
Conversion of an
existing accessory
building on my
property (e.g., guest
house, barn, etc.)
An addition
to my house
Conversion of space
already within the
footprint of my house
Not sure
I would not add
an ADU on my
property
6. If you had a legally approved ADU on your property, how would you most likely use it? (circle one)
For rent to
a tenant For a family member
For myself
For a household
employee of caregiver
For occasional
visitors
Other
484
A D O P T I O N D R A F T
Appendix C: ADU Survey Report Page C-14
7. If you had a legally approved ADU on your property, would you consider a deed restriction that
maintained the rent at a reduced rate (for example $1,200/month, which is considered the
threshold for an “affordable” housing unit for a two person very low income household) to help
the City meet its State-mandated affordable housing requirements? (circle one)
A. Yes
B. Maybe
C. I would need more information first
D. No
7A. If your answer to Question 7 was A-C, what would be the maximum length of time you would
consider for the rent restriction? (circle one)
A. Five years
B. 10 years
C. 20 years
D. Until I sell the house
E. Not Sure
F. Other _______________________
7B: What incentives might make a rent restriction more attractive to you? (circle all that apply)
A. No parking requirement
B. Reduced (or no) permit fees
C. Expedited permit processing
D. Assistance in finding a tenant
E. Rent supplement for the tenant
F. Local tenant (e.g., school teacher,
fire fighter, child care worker)
G. Senior tenant
H. Low-interest financing to create the ADU
I. Permission to build a unit larger
than 1,000 square feet
J. Nothing
K. Other _______________________
8. To ensure that we are hearing from a cross-section of the community, please tell us a little about you:
How Long Have You
Lived in Rolling Hills?
Less than 10 years
10-19 years
20-29 years
More than 30 years Circle one choice in each box Are you a Homeowner
or a Renter?
Homeowner
Renter
Age
Under 35
35-49
50-64
65+
How Many People Are
in Your Household?
1 4
2 5
3 6 or more
9. Please share any concerns you may have about ADUs in Rolling Hills, or factors you’d like us to
consider as new ADU policies and regulations are developed:
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Agenda Item No.: 10.B
Mtg. Date: 05/17/2022
TO:HONORABLE CHAIR AND MEMBERS OF THE PLANNING
COMMISSION
FROM:JOHN SIGNO, DIRECTOR OF PLANNING & COMMUNITY SERVICES
THRU:ELAINE JENG P.E., CITY MANAGER
SUBJECT:
ZONING CASE 21-16: REQUEST FOR APPROVAL FOR A SITE PLAN
REVIEW FOR GRADING AND CONSTRUCTION OF A NEW RETAINING
WALL; CONDITIONAL USE PERMIT FOR A RECREATIONAL GAME
COURT; AND VARIANCE TO EXCEED THE MAXIMUM PERMITTED
LOT DISTURBANCE FOR A PROPERTY LOCATED AT 18 EASTFIELD
DRIVE (LOT 69-A-EF) (RICH)
DATE:May 17, 2022
BACKGROUND:
Zoning, Location, and Lot Description
The property located at 18 Eastfield Drive is zoned RAS-1 and has a net lot area of 68,826
square feet (1.58 acre). On December 17, 1996, the Planning Commission approved a Site
Plan Review request for a new single-family residence and other improvements to replace an
existing residence on the subject property. On July 21, 1998, the Planning Commission
approved a Conditional Use Permit to construct a cabana and modification to the 1996 Site
Plan Review approval for additional grading. On June 14, 2005, the Planning Commission
approved a Site Plan Review for grading and construction of a stable and corral, a Conditional
Use Permit to convert an existing stable into a recreation room, and a variance to exceed the
maximum permitted disturbed area on the lot.
The lot is developed with a 5,265-square-foot single-family residence and a 1,284-square-foot
garage. There are three existing building pads on site with approximately 50 feet difference in
elevation. The highest point is located closest to the roadway easement on the western
portion of the property; the lowest portion is located in the eastern portion of the lot near the
existing stable and corral. The existing residence and garage are located on the Pad 1, which
is 26,083 square feet and located closest to the roadway easement; Pad 2 is 12,342 square
feet in the middle of the property and contains a swimming pool, pool house, and garden. Pad
486
3, in the rear portion of the property, is 7,439 square feet and includes the existing stable and
corral and proposed recreational game court.
DISCUSSION:
Applicant Request
The applicant is requesting a site plan review for overall grading of 886 cubic yards and
construction of a 1,697-square-foot recreational game court, pond, potting shed, chicken coop,
hardscape, and landscape. All grading will be balanced on site. A Conditional Use Permit is
requested for the construction and use of the recreational game court, which is intended to be
used as a pickleball court.
In 2005, a variance was approved to allow lot disturbance up to 48.4%, which exceeds the
maximum allowed of 40%. The current application further increases lot disturbance by 1.5%
for a total of 49.9%.
The applicant proposes to regrade the downward slope adjacent to the pool patio level to
flatten the pad and be more useful for agricultural purposes. A chicken coop, potting shed, and
landscaping are included in the proposal. A pathway will be provided to access the lower slope
leading to the existing barn and stable and proposed recreational game court. The proposed
project includes grading that will improve drainage flow.
Code Enforcement
A code enforcement case was opened in 2020 in regards to expired permits for additions, an
open lattice patio cover, detached stable, basement, storage room, and grading. The current
condition of the site shows grading work that has been started and trenches that have been
dug to install piping. The retaining walls for the recreational game court have already been
constructed and will be modified to meet the requirements of the Municipal Code. The existing
wall will be lowered one-foot three-inches and a second wall will be installed in front to create
a terraced effect.
Conditional Use Permit (CUP)
Per Rolling Hills Municipal Code (RHMC) Section 17.16.040(A)(5), a Conditional Use Permit is
required for a recreational game court subject to the conditions in RHMC Section 17.16.210(A)
(7). The applicant is requesting approval of a Conditional Use Permit for the proposed 1,697-
square-foot recreational game court in the rear portion of the property next to the stable and
corral.
Variance to further exceed lot disturbance
As mentioned, the Planning Commission approved a Variance in 2005 to exceed the
maximum allowed lot disturbance of 40% up to 48.4%. The current application includes
additional disturbance of 1.5%, bringing the total to 49.9%. The applicant is requesting
approval of a variance to regrade landscaped areas and flatten Pad 2, which includes a flower
garden, potting shed, and chicken coop. The area for the recreational game court was
previously graded and disturbed with construction of the stable and corral.
487
MUNICIPAL CODE COMPLIANCE
Area of Disturbance
The property has been previously disturbed due to development of residence, swimming pool,
pool house, stable, and corral. Additional disturbance of 1.5% will bring the total disturbed
area to 49.9% of the net lot area, or 34,355 square feet.
Access to Stable, Corral, and Recreational Game Court
The stable, corral, and proposed recreational game court will be accessed via a 12-foot-wide
path along the western property line.
Lot Coverage
The proposed structural coverage on the lot will be 12,377 square feet, or 18% of the net lot
area, which meets the lot coverage limitation of 20% maximum. The recreational game court
further increases the lot coverage by 2.5%. The proposed total coverage including structures
and flatwork will be 21,085 square feet or 30.6% of the net lot area, which also meets the lot
coverage limitation of 35% maximum.
Environmental Review
The proposed project has been determined to not have a significant effect on the environment
and is categorically exempt from the provisions of CEQA pursuant to Section 15303 (New
Construction or Conversion of Small Structures) of the CEQA Guidelines, which exempts
accessory structures including a recreational game court and appurtenant structures.
Public Participation
Staff received an email from a neighbor in support of the project. The email is included as an
attachment.
CRITERIA FOR SITE PLAN REVIEW
17.46.050 - Required Site Plan Review findings.
1. The Commission shall be required to make findings in acting to approve, conditionally
approve, or deny a site plan review application.
2. No project which requires site plan review approval shall be approved by the
Commission, or by the City Council on appeal, unless the following findings can be
made:
3. The project complies with and is consistent with the goals and policies of the general
plan and all requirements of the zoning ordinance;
4. The project substantially preserves the natural and undeveloped state of the lot by
minimizing building coverage. Lot coverage requirements are regarded as maximums,
and the actual amount of lot coverage permitted depends upon the existing buildable
area of the lot;
5. The project is harmonious in scale and mass with the site, the natural terrain and
surrounding residences;
6. The project preserves and integrates into the site design, to the greatest extent possible,
488
existing topographic features of the site, including surrounding native vegetation, mature
trees, drainage courses and land forms (such as hillsides and knolls);
7. Grading has been designed to follow natural contours of the site and to minimize the
amount of grading required to create the building area;
8. Grading will not modify existing drainage channels nor redirect drainage flow, unless
such flow is redirected into an existing drainage course;
9. The project preserves surrounding native vegetation and mature trees and supplements
these elements with drought-tolerant landscaping which is compatible with and
enhances the rural character of the community, and landscaping provides a buffer or
transition area between private and public areas;
10. The project is sensitive and not detrimental to the convenient and safe movement of
pedestrians and vehicles; and
11. The project conforms to the requirements of the California Environmental Quality Act.
12. If all of the above findings cannot be made with regard to the proposed project, or cannot
be made even with changes to the project through project conditions imposed by City
staff and/or the Planning Commission, the site plan review application shall be denied.
CRITERIA FOR APPROVAL OF CONDITIONAL USE PERMIT
17.42.050 Basis for approval or denial of Conditional Use Permit.
The Commission (and Council on appeal), in acting to approve a conditional use
permit application, may impose conditions as are reasonably necessary to ensure the project
is consistent with the General Plan, compatible with surrounding land use, and meets the
provisions and intent of this title. In making such a determination, the hearing body shall find
that the proposed use is in general accord with the following principles and standards:
1. That the proposed conditional use is consistent with the General Plan;
2. That the nature, condition and development of adjacent uses, buildings and structures
have been considered, and that the use will not adversely affect or be materially
detrimental to these adjacent uses, building or structures;
3. That the site for the proposed conditional use is of adequate size and shape to
accommodate the use and buildings proposed;
4. That the proposed conditional use complies with all applicable development standards of
the zone district;
5. That the proposed use is consistent with the portions of the Los Angeles County
Hazardous Waste Management Plan relating to siting and siting criteria for hazardous
waste facilities;
6. That the proposed conditional use observes the spirit and intent of this title.
CRITERIA FOR APPROVAL OF A VARIANCE
17.38.050 Required Variance findings .
In granting a variance, the Commission (and Council on appeal) must make the following
findings:
1. That there are exceptional or extraordinary circumstances or conditions applicable to the
property that do not apply generally to other properties in the same vicinity and zone;
2. That such variance is necessary for the preservation and enjoyment of substantial
property rights possessed by other properties in the same vicinity and zone but which is
489
denied the property in question;
3. That the granting of such variance will not be materially detrimental to the public welfare
or injurious to properties or improvements in the vicinity;
4. That in granting the variance, the spirit and intent of this title will be observed;
5. That the variance does not grant special privilege to the applicant;
6. That the variance is consistent with the portions of the County of Los Angeles Hazardous
Waste Management Plan relating to siting and siting criteria for hazardous waste
facilities; and
7. That the variance request is consistent with the general plan of the City of Rolling Hills.
FISCAL IMPACT:
None.
RECOMMENDATION:
Adopt Resolution No. 2022-05 approving a Site Plan Review for grading and construction of a
new recreational game court, retaining wall, hardscape, landscape, and appurtenant
structures; Conditional Use Permit for use of a recreational game court; and Variance to
exceed the maximum permitted lot disturbance in Zoning Case No. 21-16.
ATTACHMENTS:
Vicinity Map - 18 Eastfield Dr.pdf
Development Table (ZC 21-16).pdf
Email from Sam Galletti 050922.pdf
RICH RESIDENCE - FINAL SUBMITTAL FOR PLANNING - reduced.pdf
Previously Approved Resolutions - 18 Eastfield Dr.pdf
490
City of Rolling Hills 2 PORTUGUESE BEND ROAD ROLLING HILLS, CA 90274
TITLE
VICINITY MAP
CASE NO.
Zoning Case No. 21-16
Site Plan Review, Conditional Use Permit, Variance
OWNER Rich
ADDRESS 18 Eastfield, Rolling Hills 90274 SITE
491
Development Table Zoning Case No. 21-16
(18 EASTFIELD DRIVE)
Site Plan Review, Conditional Use
Permit and Variance
PAD 1 PAD 2 PAD 3
TOTAL
RAS- 2 Zone Setbacks
Front: 50 ft. from front easement line
Side: 35 ft. from side property line
Rear: 50 ft. from rear easement line
Single family
residence,
garage (SF)
Swimming
Pool, Pool
House (SF)
New Stable
and corral (SF)
Pad/Net Lot Area
Existing:
26,083
Proposed:
0
Total:
26,083
Existing:
7,317
Proposed:
5,025
Total:
12,342
Existing:
6,213
Proposed:
1,226
Total:
7,439
68,826
Residence 5,265 5,265
Garage 1,284 1,284
Swimming Pool/Spa 722 722
Pool Equipment 233 233
Guest House
Stable (min. 450 SF) 479 479
Corral (existing; min. 550 SF) (1,006) (1,006)
Recreation Court 1,697 1,697
Attached Covered Porched 377 353 730
Potting Shed 140 140
Aviary 76 76
Chicken Coop 83 83
Water Features, Etc. 294 294
Other 1,374 1,374
Total Structure Area 8,300 1,548 2,529 12,377
Structural Coverage (20%
maximum)
18%
Grading (balanced on site) 443 CY cut
443 CY fill
886 CY
Total Flatwork 8,708
Total Structural and Flatwork 21,085
Total Lot Coverage (35%
maximum)
30.6%
Building Pad Coverage
(Policy: 30% maximum)
31.8% 12.5% 29.9%
Disturbed Area (40% maximum; up
to 60% with slopes less than 3:1)
No Change Increase Increase 34,355
49.9%
492
1
John Signo
From:Sam Galletti <sgalletti@greatamericansfd.com>
Sent:Monday, May 9, 2022 6:56 AM
To:John Signo
Subject:18 Eastfield Drive, Rolling Hillsc CA 90274 (Rich) Zoning Case No 21-16
Dear John,
My name is Salvatore (Sam) Galletti. My wife and I own and live at 6 Outrider Road, Rolling Hills CA 90274. I received
the notice of public hearing for 18 Eastfield Drive, Rolling Hills in my mail over the weekend.
I am absolutely in favor of the improvements to the property located at 18 Eastfield Drive. As one of only a few property
owners that have unobstructed visual access to the lot improvements, I believe it will add great value to the overall view
from my yard and property. Joe has been a great neighbor and has always maintained an excellent landscape. I cannot
say the same for properties that are located specifically in between his lot and mine where we see mostly dead and
unhealthy growth of weeds that should be considered a fire hazard at the least. It would seem rightfully fair that Mr.
Rich is allowed to move forward with his improvements.
Please feel free to share this email letter with the planning commission.
Regards,
Sam Galletti
President
Southwind Foods / Great American Seafood Imports Co.
323‐262‐8222 Office
323‐842‐7192 Mobile
www.southwindfoods.com
Please check our product catalog‐
http://productcatalog.southwindfoods.com/2020/welcome/
493
THESE DRAWINGS AND SPECIFICATIONS, AS AN INSTRUMENT OF SERVICE ARE THE PROPERTY OF GREGORY W GEORGE, LANDSCAPE ARCHITECT, AND SHALL NOT BE COPIED IN PART OR IN WHOLE WITHOUT WRITTEN PERMISSION GREGORY W GEORGE, LANDSCAPE ARCHITECT. WRITTEN DIMENSIONS TAKE PREFERENCE OVER SCALED DIMENSIONS AND SHALL BE VERIFIED ON THE JOB SITE AND ANY DISCREPANCY SHALL BE BROUGHT TO THE ATTENTION OF GREGORY W GEORGE, LANDSCAPE ARCHITECT, AND/OR THE ENGINEER OF RECORD PRIOR TO COMMENCEMENT OF WORK
for mail:
318 Avenue I, #154
Redondo Beach, California 90277
310.686.5202studioGWG@gmail.com
LA6230
RICHRESIDENCE18 EASTFIELDROLLING HILLS,CALIFORNIA 90274PUBLISH VERSION / file name:
Rich_Joe_Landscape Plan_04.pln
PRINT DATE 5/2/22
SHEET TITLE
Cover Sheet
General Notes
GN-1
DESIGN DEVELOPMENT
PROGRESS PRINT
Studio GWG
LANDSCAPE ARCHITECTURE
ARCHITECTURE
PROJECT MANAGEMENT
PLANNING
/Users/studiogwg/Dropbox/#StudioGWG Projects/Rich, Joe/Rich_Joe_Landscape Plan_04.pln/Users/studiogwg/Dropbox/#StudioGWG Projects/Rich, Joe/Rich_Joe_Landscape Plan_04.pln
PUBLISH VERSION
CONSULTANTS
SHEET INDEX
GN-1
LA-100.E1
LA-100.E2
LA-100.E3
LA-101.1
LA-101.2
LA-110.1
LA-201.1
LA-202.1
LA-401.1
Cover Sheet General Notes
Existing Survey- Full Property
Existing Survey- Rear Property
Exist'g Conditions Photos Composite Survey Composite …
Site Plan / Vicinity Map Grading Plan Schem…
Site Plan Coverage Calculations
Rear Yard Landscape Site Section
Illustrative Landscape Plan
MWELO
Garden Accesssories IMAGERY
GRAPHIC SYMBOLS
1
A1
1
A1
1
ROOM100ROOM NAME
ROOM NUMBER
KEY NOTE
ELEVATION NUMBER
SHEET NUMBERDETAIL NUMBERSHEET NUMBER
WINDOW NUMBER
DOOR NUMBER
ARCHITECTURAL SYMBOLS
CENTER LINE
PROPERTY LINE
SPOT ELEVATION
EXISTING GRADE
NEW GRADE
HOUSE SEWER
SANITARY SEWER
GAS LINE
ELECTRICAL LINE E
SS
HS
ABBREVIATIONS
AIR-CONDITIONING A/C
ACOUSTICAL ACOUS.
ABOVE FINISH FLOOR A.F.F.
ALUMINUM ALUM.
AT @
BUILDING BLDG.
BRUSHED BR.
CEMENT CEM.
CEILING CLG.
CLEAR OPENING CL.OPNG.
CONSTRUCTION NOTE C.N.
COLUMN COL.
CONCRETE CONC.
CONTINUOUS CONT.
CONTRACTOR CONTR.
CERAMIC TILE C.T.
DETAIL DTL.
DRINKING FOUNTAIN D.F.
DIAMETER DIA.
DIMENSION DIM.
DOOR DR.
DISHWASHER DW.
DRAWING DWG.
ELEVATION ELEV.
ELECTRICAL ELEC.
ELEVATOR ELEVAT.
EXISTING EXIST.
FLOOR DRAIN F.D.
FIRE EXTINGUISHER F.E.
FIRE HOSE CABINET F.H.C.
FINISH FACE F.F.
FINISH FIN.
FLOOR FLR.
FLORESCENT FLOUR.
FACE OF STUD F.O.S.
FABRIC WALL COVERING F.W.C
GAUGE GA.
GALVANIZED GAL.
GARBAGE DISPOSAL GD.
GLASS GL.
GRANITE TILE G.T.
GYPSUM BOARD GYP. BD.
HARDWOOD HDWD.
HARDWARE HDWR.
HOLLOW METAL H.M.
HEIGHT HGT.
HEATING,VENTILATION H.V.A.C
LAVATORY LAV.
MAXIMUM MAX.
METAL MTL.
MANUFACTURER MFG.
MINIMUM MIN.
MARBLE TILE M.T
MULLION MUL.
MICROWAVE MW.
NOT IN CONTRACT N.I.C
NOT TO SCALE N.T.S.
OVER ALL O.A.
ON CENTER O.C.
W00
D00
+000.00'
G
RICH RESIDENCE
18 EASTFIELD
ROLLING HILLS , CALIFORNIA 90274
494
THESE DRAWINGS AND SPECIFICATIONS, AS AN INSTRUMENT OF SERVICE ARE THE PROPERTY OF GREGORY W GEORGE, LANDSCAPE ARCHITECT, AND SHALL NOT BE COPIED IN PART OR IN WHOLE WITHOUT WRITTEN PERMISSION GREGORY W GEORGE, LANDSCAPE ARCHITECT. WRITTEN DIMENSIONS TAKE PREFERENCE OVER SCALED DIMENSIONS AND SHALL BE VERIFIED ON THE JOB SITE AND ANY DISCREPANCY SHALL BE BROUGHT TO THE ATTENTION OF GREGORY W GEORGE, LANDSCAPE ARCHITECT, AND/OR THE ENGINEER OF RECORD PRIOR TO COMMENCEMENT OF WORK
for mail:
318 Avenue I, #154
Redondo Beach, California 90277
310.686.5202studioGWG@gmail.com
LA6230
RICHRESIDENCE18 EASTFIELDROLLING HILLS,CALIFORNIA 90274PUBLISH VERSION / file name:
Rich_Joe_Landscape Plan_04.pln
PRINT DATE 5/2/22
SHEET TITLE
Existing Survey-
Full Property
LA-100.E1
DESIGN DEVELOPMENT
PROGRESS PRINT
Studio GWG
LANDSCAPE ARCHITECTURE
ARCHITECTURE
PROJECT MANAGEMENT
PLANNING
/Users/studiogwg/Dropbox/#StudioGWG Projects/Rich, Joe/Rich_Joe_Landscape Plan_04.pln/Users/studiogwg/Dropbox/#StudioGWG Projects/Rich, Joe/Rich_Joe_Landscape Plan_04.pln
PUBLISH VERSION
CONSULTANTS
PROJECT BOUNDARY
PROJECT DESCRIPTION
LANDSCAPE RENOVATION AND ADDITION OF RE-GRADING OF NEW LANDSCAPE TERRACE
THESE SURVEYS ARE FOR OVERALL PROJECT SIZE AND SCALE REFERENCE
ACCESSIBLE EQUESTRIAN TRAIL
TOPOGRAPHICALLY INA
C
C
E
S
S
I
B
L
E
E
Q
U
E
S
T
R
I
A
N
T
R
A
I
L
TOPOGRAPHICALLY INA
C
C
E
S
S
I
B
L
E
E
Q
U
E
S
T
R
I
A
N
T
R
A
I
L
ACCESSIBLE EQUESTRIAN TRAIL
AERIAL SURVEY OF ADJACENT PROPERTIES
REFER TO SITE PLAN FOR DIMENSIONING TO OFF SITE BUILDINGS
495
THESE DRAWINGS AND SPECIFICATIONS, AS AN INSTRUMENT OF SERVICE ARE THE PROPERTY OF GREGORY W GEORGE, LANDSCAPE ARCHITECT, AND SHALL NOT BE COPIED IN PART OR IN WHOLE WITHOUT WRITTEN PERMISSION GREGORY W GEORGE, LANDSCAPE ARCHITECT. WRITTEN DIMENSIONS TAKE PREFERENCE OVER SCALED DIMENSIONS AND SHALL BE VERIFIED ON THE JOB SITE AND ANY DISCREPANCY SHALL BE BROUGHT TO THE ATTENTION OF GREGORY W GEORGE, LANDSCAPE ARCHITECT, AND/OR THE ENGINEER OF RECORD PRIOR TO COMMENCEMENT OF WORK
for mail:
318 Avenue I, #154
Redondo Beach, California 90277
310.686.5202studioGWG@gmail.com
LA6230
RICHRESIDENCE18 EASTFIELDROLLING HILLS,CALIFORNIA 90274PUBLISH VERSION / file name:
Rich_Joe_Landscape Plan_04.pln
PRINT DATE 5/2/22
SHEET TITLE
Existing Survey-
Rear Property
LA-100.E2
DESIGN DEVELOPMENT
PROGRESS PRINT
Studio GWG
LANDSCAPE ARCHITECTURE
ARCHITECTURE
PROJECT MANAGEMENT
PLANNING
/Users/studiogwg/Dropbox/#StudioGWG Projects/Rich, Joe/Rich_Joe_Landscape Plan_04.pln/Users/studiogwg/Dropbox/#StudioGWG Projects/Rich, Joe/Rich_Joe_Landscape Plan_04.pln
PUBLISH VERSION
CONSULTANTS
PROJECT BOUNDARY
PROJECT DESCRIPTION
LANDSCAPE RENOVATION AND ADDITION
OF RE-GRADING OF NEW LANDSCAPE TERRACE
EXISTING ROAD
ACCESS TO BARN
EXISTING BARN
EXISTING
CHICKEN COOP
AND VEGETABLE
GARDEN
PAD # 2
PAD # 3
PAD # 1
496
THESE DRAWINGS AND SPECIFICATIONS, AS AN INSTRUMENT OF SERVICE ARE THE PROPERTY OF GREGORY W GEORGE, LANDSCAPE ARCHITECT, AND SHALL NOT BE COPIED IN PART OR IN WHOLE WITHOUT WRITTEN PERMISSION GREGORY W GEORGE, LANDSCAPE ARCHITECT. WRITTEN DIMENSIONS TAKE PREFERENCE OVER SCALED DIMENSIONS AND SHALL BE VERIFIED ON THE JOB SITE AND ANY DISCREPANCY SHALL BE BROUGHT TO THE ATTENTION OF GREGORY W GEORGE, LANDSCAPE ARCHITECT, AND/OR THE ENGINEER OF RECORD PRIOR TO COMMENCEMENT OF WORK
for mail:
318 Avenue I, #154
Redondo Beach, California 90277
310.686.5202studioGWG@gmail.com
LA6230
RICHRESIDENCE18 EASTFIELDROLLING HILLS,CALIFORNIA 90274PUBLISH VERSION / file name:
Rich_Joe_Landscape Plan_04.pln
PRINT DATE 5/2/22
SHEET TITLE
Exist'g Conditions Photos
Composite Survey
Composite Topography
LA-100.E3
DESIGN DEVELOPMENT
PROGRESS PRINT
Studio GWG
LANDSCAPE ARCHITECTURE
ARCHITECTURE
PROJECT MANAGEMENT
PLANNING
/Users/studiogwg/Dropbox/#StudioGWG Projects/Rich, Joe/Rich_Joe_Landscape Plan_04.pln/Users/studiogwg/Dropbox/#StudioGWG Projects/Rich, Joe/Rich_Joe_Landscape Plan_04.pln
PUBLISH VERSION
CONSULTANTS
930930935 935940 940945 945950 950955 955960 960965 965970970970 970970
975 975980980CONC
FF 981.36
BLDG
BLDGCONC
POOL969.99976.60969.74969.91970.10970.31970.29976.48961.71955.39965.42977.89972.49976.26954.61957.62959.93936.84938.13945.08931.78935.09937.60937.44933.73948.02938.30963.05958.39961.44967.56970.637
7 7 7 7
7
E E E E E
E
EEEEEE
E
E
E
r
r
xY
Ä
30.0'
11.4'
30.0'30.0'SPASWIMMING POOL
(982.58)FS (981.36)FF
(983.93)TW(982.43)FS
(983.92)TW(982.44)FS
(978.6)
(977.1)
(968.4)(971.3)
(960.9)
(960.8)
(975.2)(976.6)
(978.6)
(982.29)FS
(981.18)TW(978.4)
(986.9)
(988.26)FS
(985.74)FS
(983.98)FS
(982.42)FS
(981.51)FS
(984.36)FS
(985.10)FS
(984.98)FS
(984.34)FS
(984.37)FS
(985.06)FS
(986.99)FS
(988.17)FS
(983.83)FS
(984.14)FS
(983.95)FS
(983.99)FS
(984.45)FS
(985.13)FS
(983.61)FS
(983.69)FS(983.85)FS
(984.07)FS
(983.48)FS
(983.77)FS
(983.77)FS
(983.84)FS
(983.76)FS
(981.70)FF
(981.71)FS(983.66)FS
(982.97)FS
(982.19)FS
(983.5)
(981.0)
(977.4)
(981.1)
(979.75)TW(977.98)FS
(979.07)TW(978.37)TW
(979.1)
(979.1)
(978.3)
(975.2)
(977.84)TW
(977.9)
(977.8)
(981.14)FS
(973.0)
(974.2)
(973.0)
(977.9)
(977.2)
(975.0)
(974.1)
(972.4)
(980.06)FS
(969.79)FF
(978.56)TW(980.29)TW
(972.40)FS(976.55)FS
(970.83)FS
(971.58)TW(971.1)
(976.44)FS (972.45)FS
(977.88)FS
(972.50)FS
(970.88)TW
(970.58)FS
(970.03)FS (970.05)FS
(970.02)FS
(969.83)FS
(969.90)FS
(969.91)FS
(981.27)FS
(981.76)FS
(975.2)
(979.4)
(977.4)(974.1)
(973.6)
(959.5)
(969.59)FS
DIRT
DIRT
DIRT
GRASS
TRASHENCLOSURE
GATE EDGE OF ROAD
DIRT
DIRT
DIRT
DIRT
GRASS
CHIMNEY
BIRDCAGE
LANDSCAPING
GARAGE C
C
930930930935935940
940945945950950950 955955955 960960960965 965965970 970975980926927928929931931932932933933934934936936937937938938939939941941942942943943944944946946947947948948948949949949951951951 952952952 953953953 954954954 956956956957957957958958958959959959961961961 962962962963 963963964964964966966966967967967968968968969969969971 971972972
973973
974976977978979981
EASTFIELDDRIVECLN73°47'59"W 529.25'
S79°44'27"E 558.79'N12°02'45"E 110.00'N67°37'36"W30.00'S19°28
'00
"E
75.43
'N70°32'00"E30.00'R=225.00'Δ=36°02'31"L=141.54'LOT 69RS 58/6-10
LOT 68RS 58/6-10
LOT 70RS 58/6-10
OUTRIDER
ROAD
963.50
0 10 20
Scale 1" = 20' - 0"
30 40
NORTH
6,549 sq ft
N
SCALE: 1" = 20'
1 Existing Conditions - Composite Survey With Current Photos of Site
LA-100.E3
PHOTO #1
AT NORTH DRIVEWAY LOOKING
TOWARDS FRONT DOOR AREA AND
NORTH GARAGE
PHOTO #3
AT HOUSE LOOKING TO POOL AREA
1
2
PHOTO #4
AT ROADWAY LOOKING TO
HOUSE
PHOTO #5
AT WALKWAY LOOKING TO BARN AND
PROPOSED PICKLE BALL COURT
PHOTO #6
AT PROPOSED PICKLE BALL COURT
LOOKING AT CONSTRUCTED WALL
PHOTO #7
LOOKING TOWARDS EXIST'G BARN
PHOTO #8
LOOKING TOWARDS EXIST'G STORM
WATER RUNOFF RIP RAP
PHOTO #9
AT CORNER OF EXIST'G BARN
LOOKING TOWARDS CORNER AT
BACK OF PROPERTY
PHOTO #10
AT CORNER OF EXIST'G BARN
LOOKING UP THE SLOPE ALONG
PROPERTY LINE TOWARDS POOL
AREA
PHOTO #11
AT POOL DECK LOOKING SOUTH AT
ADJACENT PROPERTY'S VIEW OF
SUBJECT PROPERTY
PHOTO #12
AT AVIARY LOOKING SOUTH
TOWARDS UPPER LAWN AREA
PHOTO #13
LOOKING AT AVIARY TOWARDS POOL
AREA
PHOTO #14
AT REAR HOUSE CORNER BY AVIARY
LOOKING TOWARDS FRONT YARD
PHOTO #15
AT FRONT HOUSE CORNER LOOKING
TOWARDS REAR ALONG PROPERTY
LINE SIDE YARD AREA
PHOTO #16
AT FRONT HOUSE CORNER LOOKING
TOWARDS FRONT DRIVEWAY AREA
3 4
PHOTO #2
AT SOUTH DRIVEWAY LOOKING
TOWARDS SOUTH GARAGE AND
SOUTH DRIVEWAY
5 6 7
8
910
1112
13141516
497
THESE DRAWINGS AND SPECIFICATIONS, AS AN INSTRUMENT OF SERVICE ARE THE PROPERTY OF GREGORY W GEORGE, LANDSCAPE ARCHITECT, AND SHALL NOT BE COPIED IN PART OR IN WHOLE WITHOUT WRITTEN PERMISSION GREGORY W GEORGE, LANDSCAPE ARCHITECT. WRITTEN DIMENSIONS TAKE PREFERENCE OVER SCALED DIMENSIONS AND SHALL BE VERIFIED ON THE JOB SITE AND ANY DISCREPANCY SHALL BE BROUGHT TO THE ATTENTION OF GREGORY W GEORGE, LANDSCAPE ARCHITECT, AND/OR THE ENGINEER OF RECORD PRIOR TO COMMENCEMENT OF WORK
for mail:
318 Avenue I, #154
Redondo Beach, California 90277
310.686.5202studioGWG@gmail.com
LA6230
RICHRESIDENCE18 EASTFIELDROLLING HILLS,CALIFORNIA 90274PUBLISH VERSION / file name:
Rich_Joe_Landscape Plan_04.pln
PRINT DATE 5/2/22
SHEET TITLE
Site Plan / Vicinity Map
Grading Plan
Schematic Drainage Plan
LA-101.1
DESIGN DEVELOPMENT
PROGRESS PRINT
Studio GWG
LANDSCAPE ARCHITECTURE
ARCHITECTURE
PROJECT MANAGEMENT
PLANNING
/Users/studiogwg/Dropbox/#StudioGWG Projects/Rich, Joe/Rich_Joe_Landscape Plan_04.pln/Users/studiogwg/Dropbox/#StudioGWG Projects/Rich, Joe/Rich_Joe_Landscape Plan_04.pln
PUBLISH VERSION
CONSULTANTS
930930935 935940 940945 945950 950955 955960 960965 965970970970 970970
975 975980980CONC
FF 981.36
BLDG
BLDGCONC
POOL969.99976.60969.74969.91970.10970.31970.29976.48961.71955.39965.42977.89972.49976.26954.61957.62959.93936.84938.13945.08931.78935.09937.60937.44933.73948.02938.30963.05958.39961.44967.56970.637
7 7 7 7
7
E E E E
E
E
EEEEEE
E
E
E
r
r
x
Y
Ä
1,006 sq ft
981.00 FS
973.30 FGHOUSE TERRACE
970.15 FG
977.50 FS
974.00 FG970.25 FS973.00 FG978.00 FG978.00 FG971.00 FG
964.25 FS
+/- 974.54 FG
964.50 FS
964.00 FS
964.25 FS
963.75 FS
964.50 FG
964.50 FG
24" MAX HEIGHT ROCK RUBBLE WALL (HEIGHT VARIES)
W/ 6" PERFORATED DRAINLINE
MAINTAIN GRADE ELEVATION
@ SEPTIC MAN HOLE
EROSION CONTROL
PROPERTY OUTLET TO CANYON
PROVIDE 5' X 5' X 12" DEPTH GABION MATTRESS
BELOW EXIST'G ENERGY DISSIPATOR
EXISTING
BARN
964.00 FS
966.00 FG981.00 FS
976.00 TW
971.00 BW978.00 FG
979.00 FG
971.00 FS
973.00 FS967.00 FG
966.50 BW
958.00 BW
HP
RAKE WALL WITH GRADE-
WALL HEIGHT 6" MINIMUM ABOVE FINISHED GRADE
8" CURB AT EDGE OF GRAVEL ROAD - AS REQUIRED
PICKLE BALL COURT SURFACE
1696.50 SQ FT IMPERVIOUS ADDITONAL
RAKE WALL WITH GRADE-
WALL HEIGHT 6" MINIMUM ABOVE FINISHED GRADE
962.80
FS
973.25 TW
967.50 TW
967.25 TW
973.25 TW
969.00 TW
960.50 TW
EXISTING POOL DECK DRAINAGE SYSTEM TO REMAIN
EXISTING POOL DECK DRAINAGE SYSTEM TO REMAIN 969.75 FS967.25
FS
969.75 FG
969.50 FG966.75 FS
963.80 FS
969.60 FG
968.25
FS
966.30 FS 58'-0"29'-3"23'-0"38'-8"34'-4"18'-7"182'-3
"154'-0"51'-2"7
6
'
-
0
"
479 sq ft
5,614 sq ft 9509559602.5 : 1 SLOPE
PROPOSED
CHICKEN COOP
83 SF
PROPOSED
10X14
POTTING
SHED
EXIST'G POOL HOUSE
SUMMER KITCHEN
EXIST'G
AVIARY
BRIDGE
974.40 FS
938938937 ROADWAY WALL936.50 TW934.00 BW937939940941942943944945946947948949950951952953954955956957958959960933935 936NEW FENCE &
GATE
938.25941COURT
937.85 FS
937.60 FG945944
951.50
TW 949948947946945949944943942948.50
TW
946.50
TW
942.50
TW951942.01942.25945.75946.07949.13949.69952.49950951952.67952953954.20954954.56959
955950949948947946945944943951952953954955956.09
956.45
957.98
956957958958.54
958.99
959.20 959.10
960961.75961.99964.54967.20964.75GRASS
STEPS
10%
GRADE
964.70 FS
ALIGN W/ WALKWAY
.04
.04
.04
.04
.04
.04
.04
.03
NOTES & KEY
STAIR TREADS
6" RISER
14" TREADS W/ 1% DRAINAGE
DRAINAGE
16" MINIMUM CATCH BASIN
ATRIUM GRATE
FINISH SURFACE / FLUSH GRATE
PERFORATED DRAINAGE LINE W/ GEOSYNTHETIC FILTER CLOTH
EASEMENT LINE INDICATION
EXIST'G
PATIO
926927PROPOSED
FLOWER
GARDEN
PROPOSED
FLOWER
GARDEN
PROPOSED
POND
CONSTRUCTED WALL PERMITTED AFTER BUILTPAD #1 PAD #2 PAD #3
GRADING KEY
CUT
FILL
443. cubic yards
443. cubic yards
EXIST'G
RIP-RAP
PAD #2
PAD #2
9
3
5
WALL
937.00 TW
934.75 BW
940.00 TW
937.80 BW
940.00 TW
938.40 BW
940.00 TW
937.80 BW
941.00 TW
939.80 BW
940.00 TW
938.40 BW
942.00 TW
939.80 BW
942.80 TW
939.80 BW
REMOVE 1'-3" FROM
TOP OF WALL
BEDROCK TO BE
EXPOSED
941.00 TW
939.80 BW
940.00 TW
939.80 BW
NEW 30" HIGH MAX.
STACK STONE WALL
W/ PLANTER
EXISTING WALL
MAX EXPOSED
HEIGHT 30"937936TENNIS COURT
AND
CABANA
GARAGEGUEST
HOUSE
RESIDENCE DISTANCE TO THE
OUT BUILDING &
STABLE CITY BOUNDARY963963
961
965
971
INV
955
956
957
958
959
960
954966967967968968969969 964966967968974965964963962961969970966
967
968
969
965
964
963 966967968969970 965963962961960959958962
973.25 WL972 INV
975 WL
973 INV
970
ROCK STAIRS
DOWN SLOPE
960.50 BW
963.00 TW974.00 FG975.00 FG
977.00 FG
EXIST'G
CORRAL
CONVERGE NEW DG PATH INTO EXIST'G PATH
976.00 FG
973972936936
971
N
SCALE: 1" = 10'
1 Site Plan / Vicinity Map / Grading & Schematic Drainage Plan
LA-101.1
498
THESE DRAWINGS AND SPECIFICATIONS, AS AN INSTRUMENT OF SERVICE ARE THE PROPERTY OF GREGORY W GEORGE, LANDSCAPE ARCHITECT, AND SHALL NOT BE COPIED IN PART OR IN WHOLE WITHOUT WRITTEN PERMISSION GREGORY W GEORGE, LANDSCAPE ARCHITECT. WRITTEN DIMENSIONS TAKE PREFERENCE OVER SCALED DIMENSIONS AND SHALL BE VERIFIED ON THE JOB SITE AND ANY DISCREPANCY SHALL BE BROUGHT TO THE ATTENTION OF GREGORY W GEORGE, LANDSCAPE ARCHITECT, AND/OR THE ENGINEER OF RECORD PRIOR TO COMMENCEMENT OF WORK
for mail:
318 Avenue I, #154
Redondo Beach, California 90277
310.686.5202studioGWG@gmail.com
LA6230
RICHRESIDENCE18 EASTFIELDROLLING HILLS,CALIFORNIA 90274PUBLISH VERSION / file name:
Rich_Joe_Landscape Plan_04.pln
PRINT DATE 5/2/22
SHEET TITLE
Site Plan Coverage
Calculations
LA-101.2
DESIGN DEVELOPMENT
PROGRESS PRINT
Studio GWG
LANDSCAPE ARCHITECTURE
ARCHITECTURE
PROJECT MANAGEMENT
PLANNING
/Users/studiogwg/Dropbox/#StudioGWG Projects/Rich, Joe/Rich_Joe_Landscape Plan_04.pln/Users/studiogwg/Dropbox/#StudioGWG Projects/Rich, Joe/Rich_Joe_Landscape Plan_04.pln
PUBLISH VERSION
CONSULTANTS
930930935 935940 940945 945950 950955 955960 960965 965970970970 970970
975 975980980CONC
FF 981.36
BLDG
BLDGCONC
POOL969.99976.60969.74969.91970.10970.31970.29976.48961.71955.39965.42977.89972.49976.26954.61957.62959.93936.84938.13945.08931.78935.09937.60937.44933.73948.02938.30963.05958.39961.44967.56970.637
7 7 7 7
7
E E E E E
E
EEEEEE
E
E
E
r
r
xY
Ä
30.0'
11.4'
30.0'30.0'SPASWIMMING POOL
(982.58)FS (981.36)FF
(983.93)TW(982.43)FS
(983.92)TW(982.44)FS
(978.6)
(977.1)
(968.4)(971.3)
(960.9)
(960.8)
(975.2)(976.6)
(978.6)
(982.29)FS
(981.18)TW(978.4)
(986.9)
(988.26)FS
(985.74)FS
(983.98)FS
(982.42)FS
(981.51)FS
(984.36)FS
(985.10)FS
(984.98)FS
(984.34)FS
(984.37)FS
(985.06)FS
(986.99)FS
(988.17)FS
(983.83)FS
(984.14)FS
(983.95)FS
(983.99)FS
(984.45)FS
(985.13)FS
(983.61)FS
(983.69)FS(983.85)FS
(984.07)FS
(983.48)FS
(983.77)FS
(983.77)FS
(983.84)FS
(983.76)FS
(981.70)FF
(981.71)FS(983.66)FS
(982.97)FS
(982.19)FS
(983.5)
(981.0)
(977.4)
(981.1)
(979.75)TW(977.98)FS
(979.07)TW(978.37)TW
(979.1)
(979.1)
(978.3)
(975.2)
(977.84)TW
(977.9)
(977.8)
(981.14)FS
(973.0)
(974.2)
(973.0)
(977.9)
(977.2)
(975.0)
(974.1)
(972.4)
(980.06)FS
(969.79)FF
(978.56)TW(980.29)TW
(972.40)FS(976.55)FS
(970.83)FS
(971.58)TW(971.1)
(976.44)FS (972.45)FS
(977.88)FS
(972.50)FS
(970.88)TW
(970.58)FS
(970.03)FS (970.05)FS
(970.02)FS
(969.83)FS
(969.90)FS
(969.91)FS
(981.27)FS
(981.76)FS
(975.2)
(979.4)
(977.4)(974.1)
(973.6)
(959.5)
(969.59)FS
DIRT
DIRT
DIRT
GRASS
TRASHENCLOSURE
GATE EDGE OF ROAD
DIRT
DIRT
DIRT
DIRT
GRASS
CHIMNEY
BIRDCAGE
LANDSCAPING
GARAGE C
C
930930930935935940
940945945950950950 955955955 960960960965 965965970 970975980926927928929931931932932933933934934936936937937938938939939941941942942943943944944946946947947948948948949949949951951951 952952952 953953953 954954954 956956956957957957958958958959959959961961961 962962962963 963963964964964966966966967967967968968968969969969971 971972972
973973
974976977978979981
EASTFIELDDRIVECLN73°47'59"W 529.25'
S79°44'27"E 558.79'N12°02'45"E 110.00'N67°37'36"W30.00'S19°28
'00
"E
75.43
'N70°32'00"E30.00'R=225.00'Δ=36°02'31"L=141.54'LOT 69RS 58/6-10
LOT 68RS 58/6-10
LOT 70RS 58/6-10
OUTRIDER
ROAD
963.50
0 10 20
Scale 1" = 20' - 0"
30 40
NORTH
26,083
6,549 sq ft
1,006 sq ft
12,342
7,439
479 sq ft
5,614 sq ft
EXIST'G
PATIO
PAD #1 PAD #2 PAD #3
PAD #2
PAD #2
PAD #1 CITY BOUNDARYN
SCALE: 1" = 20'
2 Composite Survey Overlay - Site Plan - Building Pad Coverage Calculations
LA-101.2
PAD SUMMARY
PAD #1 26,083 SQ FT
PAD #2 12,342 SQ FT
PAD #3 7,439 SQ FT
499
THESE DRAWINGS AND SPECIFICATIONS, AS AN INSTRUMENT OF SERVICE ARE THE PROPERTY OF GREGORY W GEORGE, LANDSCAPE ARCHITECT, AND SHALL NOT BE COPIED IN PART OR IN WHOLE WITHOUT WRITTEN PERMISSION GREGORY W GEORGE, LANDSCAPE ARCHITECT. WRITTEN DIMENSIONS TAKE PREFERENCE OVER SCALED DIMENSIONS AND SHALL BE VERIFIED ON THE JOB SITE AND ANY DISCREPANCY SHALL BE BROUGHT TO THE ATTENTION OF GREGORY W GEORGE, LANDSCAPE ARCHITECT, AND/OR THE ENGINEER OF RECORD PRIOR TO COMMENCEMENT OF WORK
for mail:
318 Avenue I, #154
Redondo Beach, California 90277
310.686.5202studioGWG@gmail.com
LA6230
RICHRESIDENCE18 EASTFIELDROLLING HILLS,CALIFORNIA 90274PUBLISH VERSION / file name:
Rich_Joe_Landscape Plan_04.pln
PRINT DATE 5/2/22
SHEET TITLE
Rear Yard Landscape Site
Section
LA-110.1
DESIGN DEVELOPMENT
PROGRESS PRINT
Studio GWG
LANDSCAPE ARCHITECTURE
ARCHITECTURE
PROJECT MANAGEMENT
PLANNING
/Users/studiogwg/Dropbox/#StudioGWG Projects/Rich, Joe/Rich_Joe_Landscape Plan_04.pln/Users/studiogwg/Dropbox/#StudioGWG Projects/Rich, Joe/Rich_Joe_Landscape Plan_04.pln
PUBLISH VERSION
CONSULTANTS
PAD #3
EXISTING STABLE AND TURNOUT AREA LEVEL
NEW LAWN TERRACE LEVEL
W/ EXISTING AVIARY BEHIND
PAD #1
EXISTING HOUSE TERRACE LEVEL
NEW PICKLE BALL COURT
WITH NEW WALLS
PAD #2
POOL LEVEL
W/ POOL HOUSE AND SPA
11'-6"REMOVE 1'-3" FROM TOP OF
EXISTING WALL 930
936937.80938.40
942.80
954.50956
957958
962.25
937.60
941 940 NEW LOWER
WALL HT
NEW GARDEN TERRACE LEVEL
W/ POTTING SHED & CHICKEN COOP
PROPERTY
LINE
&
CITY
BOUNDARY
EXISTING SLOPE FOR NEW ORCHARD
NEW PATH
GRADE FILL
5'-0" MAXIMUM FILL DEPTH
GRADE CUT
3'-6" MAXIMUM GRADE CUT
GRADE CUT
MAXIMUM 2'-6"
NEW STAIRS
NEW
POTTING SHED
NEW CHICKEN COOP
EXIST'G
POOL HOUSE
EXIST'G
AVIARY
964.25 NEW GARDEN PAD
SCALE: 1" = 10'
1 Rear Yard Landscape Site Section
LA-110.1
500
THESE DRAWINGS AND SPECIFICATIONS, AS AN INSTRUMENT OF SERVICE ARE THE PROPERTY OF GREGORY W GEORGE, LANDSCAPE ARCHITECT, AND SHALL NOT BE COPIED IN PART OR IN WHOLE WITHOUT WRITTEN PERMISSION GREGORY W GEORGE, LANDSCAPE ARCHITECT. WRITTEN DIMENSIONS TAKE PREFERENCE OVER SCALED DIMENSIONS AND SHALL BE VERIFIED ON THE JOB SITE AND ANY DISCREPANCY SHALL BE BROUGHT TO THE ATTENTION OF GREGORY W GEORGE, LANDSCAPE ARCHITECT, AND/OR THE ENGINEER OF RECORD PRIOR TO COMMENCEMENT OF WORK
for mail:
318 Avenue I, #154
Redondo Beach, California 90277
310.686.5202studioGWG@gmail.com
LA6230
RICHRESIDENCE18 EASTFIELDROLLING HILLS,CALIFORNIA 90274PUBLISH VERSION / file name:
Rich_Joe_Landscape Plan_04.pln
PRINT DATE 5/2/22
SHEET TITLE
Illustrative Landscape
Plan
LA-201.1
DESIGN DEVELOPMENT
PROGRESS PRINT
Studio GWG
LANDSCAPE ARCHITECTURE
ARCHITECTURE
PROJECT MANAGEMENT
PLANNING
/Users/studiogwg/Dropbox/#StudioGWG Projects/Rich, Joe/Rich_Joe_Landscape Plan_04.pln/Users/studiogwg/Dropbox/#StudioGWG Projects/Rich, Joe/Rich_Joe_Landscape Plan_04.pln
PUBLISH VERSION
CONSULTANTS
1,006 sq ft
479 sq ft
5,614 sq ft
ORCHARD
PUMPKIN
PATCH
SQUASH
GARDEN
PAD #1 PAD #2 PAD #3
PAD #2
PAD #2
EXISTING LANDSCAPE
EXISTING LANDSCAPE
TURF
TURF
TURF
STAIRS
HEDGE LINE
TREES
Code Botanical Common Plant Type Water Size Quantity
AGO FLE Agonis flexuosa 'Jervais Bay After Dark'After Dark Peppermint Tree Tree Low, Medium 24" Box TBD
ALB JUL Albizia julibrissin Silk Tree Tree Low 24" Box 7
ARB MAR Arbutus 'Marina'Marina Strawberry Tree Tree Low 24" Box 3
CHO SPE Ceiba speciosa Silk Floss Tree Tree Low, Medium 24" Box 10
COT COG Cotinus coggygria Smoke Bush Tree Low 15 Gallon TBD
FEI SEL Feijoa sellowiana Pineapple Guava Tree Low 15 Gallon 7
LAG NAT Lagerstroemia indica 'Natchez'Natchez Crape Myrtle Tree Low 24" Box 11
SHRUBS
Code Botanical Common Plant Type Water Size Quantity
CAL HAE Calliandra haematocephala Pink Powder Puff Shrub Low, Medium 15 Gallon 19
CIS PUR Cistus x purpureus Purple Rockrose Shrub Very Low, Low 5 Gallon 100
ECH FAS Echium candicans Pride Of Madeira Shrub Low 15 Gallon 26
LAN TRA Lantana camara 'Trailing Yellow'Trailing Lantana Yellow Shrub Very Low, Low 1 Gallon 100
PHO DDI Phormium 'Black Adder'Black Adder Flax Shrub Low, Medium, Extra in Summer 5 Gallon 30
SAL LEU Salvia leucophylla Purple or Gray Sage Shrub Very Low 5 Gallon 50
GROUND COVERS
Code Botanical Common Plant Type Water Size Quantity
ERI KAR Erigeron karvinskianus Santa Barbara Daisy, Mexican Daisy Ground cover Low, Extra in Summer 1 Gallon 500
MYO PAR Myoporum parvifolium Ground Cover Myoporum Ground cover Low, Extra in Summer Flat 200
SED RUB Sedum confusum Stonecrop Ground cover Low 4" Pots (16 / Flat)TBD
SUCCULENTS
Code Botanical Common Plant Type Water Size Quantity
ALO ARB Aloe arborescens Tree Aloe Succulent Very Low 5 Gallon 50
ALO STR Aloe striata Coral Aloe Succulent Low 1 Gallon 25
ECH AFT Echeveria 'Afterglow'Afterglow Echeveria Succulent Low 6" Pot TBD
ECH NEO Echeveria 'Neon Breakers'Zorro Echeveria Succulent Low 6" Pot TBD
ECH PER Echeveria 'Perle Von Nurnberg'Echeveria 'Perle Von Nurnberg'Succulent Low 6" Pot TBD
ECH RUF Echeveria 'Ruffles'Ruffles Echeveria Succulent Very Low, Low 6" Pot TBD
PERENNIALS
Code Botanical Common Plant Type Water
LAV ANG Lavandula angustifolia 'Hidcote Giant'Hidcote Superior English Lavender Perennial Low 5 Gallon 50
LAV ANG Lavandula angustifolia 'Munstead'Munstead Dwarf Lavender Perennial Low 1 Gallon 200
LAV DEN Lavandula dentata French Lavender Perennial Low 5 Gallon 199 CITY BOUNDARY930930935 935940 940945 945950 950955 955960 960965 965970970970 970970
975 975980980CONC
FF 981.36
BLDG
BLDGCONC
POOL969.99976.60969.74969.91970.10970.31970.29976.48961.71955.39965.42977.89972.49976.26954.61957.62959.93936.84938.13945.08931.78935.09937.60937.44933.73948.02938.30963.05958.39961.44967.56970.637
7 7 7 7
7
E E E E
E
E
EEEEEE
E
E
E
r
r
x
Y
Ä
N
SCALE: 1" = 10'
1 Illustrative Landscape Plan
LA-201.1
501
THESE DRAWINGS AND SPECIFICATIONS, AS AN INSTRUMENT OF SERVICE ARE THE PROPERTY OF GREGORY W GEORGE, LANDSCAPE ARCHITECT, AND SHALL NOT BE COPIED IN PART OR IN WHOLE WITHOUT WRITTEN PERMISSION GREGORY W GEORGE, LANDSCAPE ARCHITECT. WRITTEN DIMENSIONS TAKE PREFERENCE OVER SCALED DIMENSIONS AND SHALL BE VERIFIED ON THE JOB SITE AND ANY DISCREPANCY SHALL BE BROUGHT TO THE ATTENTION OF GREGORY W GEORGE, LANDSCAPE ARCHITECT, AND/OR THE ENGINEER OF RECORD PRIOR TO COMMENCEMENT OF WORK
for mail:
318 Avenue I, #154
Redondo Beach, California 90277
310.686.5202studioGWG@gmail.com
LA6230
RICHRESIDENCE18 EASTFIELDROLLING HILLS,CALIFORNIA 90274PUBLISH VERSION / file name:
Rich_Joe_Landscape Plan_04.pln
PRINT DATE 5/2/22
SHEET TITLE
MWELO
LA-202.1
DESIGN DEVELOPMENT
PROGRESS PRINT
Studio GWG
LANDSCAPE ARCHITECTURE
ARCHITECTURE
PROJECT MANAGEMENT
PLANNING
/Users/studiogwg/Dropbox/#StudioGWG Projects/Rich, Joe/Rich_Joe_Landscape Plan_04.pln/Users/studiogwg/Dropbox/#StudioGWG Projects/Rich, Joe/Rich_Joe_Landscape Plan_04.pln
PUBLISH VERSION
CONSULTANTS
LANDSCAPE CERTIFICATION FORM - Required at Final Inspection
Project Information:
Site Address: ___________________________________________________________________
Permit Number: _________________________________________________________________
Section A: Landscape Designer
_____ I certify that I am qualified by the State of California to perform landscape design
services; the landscape design and water use calculations for this project were prepared
by me or under my supervision; the landscape design and water use calculations comply
with the requirements of Chapter 13.18 Water Efficient Landscape Ordinance, and the
Landscape Documentation Package is complete; OR
_____ Interior T.I., no landscape work performed (do not need to complete sections B or C
below); OR
_____ This project is not subject to Chapter 13.18 Water Efficient Landscape Ordinance.
Name: _________________________________________________________________________
Company Name (if applicable): _____________________________________________________
Relationship to Project:___________________________________________________________
State License # (if applicable): ______________________________________________________
Signature: ______________________________________ Date:__________________________
Section B: Landscape Installer
_____ I certify that (a) I am qualified by the State of California to provide landscape design
services; the landscape project for this project was installed by me or under my
supervision; (b) the landscaping for the identified property has been installed in
substantial conformance with the approved Landscape Documentation Package and
complies with the requirements of Chapter 13.18 Water Efficient Landscape Ordinance;
(c)a diagram of the irrigation plan showing hydrozones is kept with the irrigation
controllers; (d) the Certificate of Completion has been completed in compliance with the
requirements of the Water Efficient Landscape Ordinance and shall be implemented.
Name: _________________________________________________________________________
Company Name (if applicable):_____________________________________________________
Relation to Project:_______________________________________________________________
State License #(if applicable):_______________________________________________________
Signature: ___________________________________ Date: _____________________________
18 EASTFIELD ROLLING HILLS, CA 90274
X
GREGORY W GEORGE, LANDSCAPE ARCHITECT
STUDIO GWG
LA 6230
WATER EFFICIENT LANDSCAPE WORKSHEET
This worksheet is filled out by the project applicant and it is a required element of the
Landscape Documentation Package.
Reference Evapotranspiration (ETo)=39.7 (annual ETo for Signal Hill/Long Beach per State Reference Table)
Hydrozone#
/Planting
Descriptiona
Plant
Factor
(PF)
Irrigation
Methodb
Irrigation
Efficiency
(IE)c
ETAF
(PF/IE)
Landscape
Area (sq. ft.)
ETAF x Area Estimated
Total Water
Use (ETWU)e
Regular Landscape Areas
Totals (A)20,501 (B)7,563.22
Special Landscape Areas
Totals (C)3,745 (D)2,059.75
ETWU Total
Maximum Allowed Water Allowance (MAWA)e
aHydrozone#/PlantingDescription bIrrigation Method cIrrigation Efficiency dETWU(Annual Gallons Required)=
E.g overhead spray 0.75 for spray head Eto x 0.62xETAFx Area
1) front lawn or drip 0.81 for drip where 0.62 is a conversion factor
2) low water use plantings that converts acre-inches per acre
3) medium water use planting per year to gallons per square
foot per year. eMAWA(Annual Gallons Allowed) = (Eto) (0.62) [ (ETAFx LA) + ((1-ETAF)x SLA)]
where 0.62 is conversion factor that converts acre-inches per acre per year to
gallons per square foot per year, LA is the total landscape area in square feet,
SLA is the total special landscape area in square feet, and ETAF is .55 for
residential areas and 0.45 for non-residential areas.
ETAF Calculations
Regular Landscape Area
Regular Landscape Area
A copy of this form may be obtained from Department of Water Resources website:
https://water.ca.gov/Programs/Water-Use-And-Efficiency/Urban-Water-Use-Efficiency/Model-
Water-Efficient-Landscape-Ordinance
Total ETAFx Area (B)7,563.22
Total Area (A)20,501.00
Average ETAF B ÷ A .37
Total ETAFx Area (B+D) 9,622.97
Total Area (A+C) 24,246.00
Sitewide ETAF (B+D) ÷ (A+C) .40
Average ETAF for Regular Landscape Areas
must be 0.55 or below for residential areas,
and 0.45 or below for non-residential areas.
#1 TURF
#2 POOLS
#3 SHRUBS
#4 GARDENS
& ORCHARDS
0.7
1.0
0.4
SPRAY
N/A
DRIP
0.75
1.00
0.81
0.93
1.00
0.32
5,614891
13,996
3,745
143,404
21,931
35,720
50,699
251,754
328,235
5,221.02
891.00
1,451.20
2,059.75
APPLICANT & PROJECT INFORMATION
Name: ________________________________________________________________________
Phone:________________________________________________________________________
Address:_______________________________________________________________________
Email:_________________________________________________________________________
Project
Site Address: ___________________________________________________________________
Project Type (new dwelling or rehab): _______________________________________________
_____ The current project does not include landscaping. I am aware that future landscape
installations may be required to comply with the City of Rolling Hills Water Efficient
Landscape Ordinance Chapter 13.18.
_____ This project does incorporate landscaping. (Please provide the information below
specific to the landscape area which will be completed as part of this project and specify
the compliance method to be used):
Total Landscape Area (sq. ft.): ________________ Turf Area (sq. ft.): ______________________
Non-Turf Plan Area (sq. ft.): ______________Special Landscape Area (sq. ft.): _______________
Water Type (potable, recycled, well):________________________________________________
Name of water purveyor (If not served by private well):_________________________________
Project Description
Signature
I certify the above information is correct and agree to comply with the requirements of Chapter
13.18 Water Efficient Landscape Ordinance.
_____________________________________________
Signature of property owner or authorized representative
__________________
Date
GREGORY W GEORGE, LANDSCAPE ARCHITECT
310 686 5202
318 AVENUE I, #154 REDONDO BEACH, CA 90277
STUDIOGWG@GMAIL.COM
18 EASTFIELD DRIVE
LANDSCAPE PROJECT
X
24,246 SQ FT 5,614 SQ FT
18,632 SQ FT 3,745 SQ FT
POTABLE WATER
CALIFORNIA WATER SERVICE
RENOVATION OF EXISTING LANDSCAPE AND ADDITIONAL
ORCHARD AND VEGETABLE GARDEN DEVELOPMENT, INCLUDING
GRADING, DRAINAGE, AND LANDSCAPE CONSTRUCTION,
FEATURING A CHICKEN COOP AND POTTING SHED.
MARCH 23, 2022
502
THESE DRAWINGS AND SPECIFICATIONS, AS AN INSTRUMENT OF SERVICE ARE THE PROPERTY OF GREGORY W GEORGE, LANDSCAPE ARCHITECT, AND SHALL NOT BE COPIED IN PART OR IN WHOLE WITHOUT WRITTEN PERMISSION GREGORY W GEORGE, LANDSCAPE ARCHITECT. WRITTEN DIMENSIONS TAKE PREFERENCE OVER SCALED DIMENSIONS AND SHALL BE VERIFIED ON THE JOB SITE AND ANY DISCREPANCY SHALL BE BROUGHT TO THE ATTENTION OF GREGORY W GEORGE, LANDSCAPE ARCHITECT, AND/OR THE ENGINEER OF RECORD PRIOR TO COMMENCEMENT OF WORK
for mail:
318 Avenue I, #154
Redondo Beach, California 90277
310.686.5202studioGWG@gmail.com
LA6230
RICHRESIDENCE18 EASTFIELDROLLING HILLS,CALIFORNIA 90274PUBLISH VERSION / file name:
Rich_Joe_Landscape Plan_04.pln
PRINT DATE 5/2/22
SHEET TITLE
Garden Accesssories
IMAGERY
LA-401.1
DESIGN DEVELOPMENT
PROGRESS PRINT
Studio GWG
LANDSCAPE ARCHITECTURE
ARCHITECTURE
PROJECT MANAGEMENT
PLANNING
/Users/studiogwg/Dropbox/#StudioGWG Projects/Rich, Joe/Rich_Joe_Landscape Plan_04.pln/Users/studiogwg/Dropbox/#StudioGWG Projects/Rich, Joe/Rich_Joe_Landscape Plan_04.pln
PUBLISH VERSION
CONSULTANTS
POTTING SHED - GREENHOUSE
CHICKEN COOP - HEN HOUSE
6'-0"18'-0"
10'-0"14'-0"
12'-0"
8'-0"
MAXIMUM HT.
503
RESOLUTION NO. 2005-18
A RESOLUTION OF THE PLANNING COMMISSION OF THE
CITY OF ROLLING HILLS GRANTING APPROVAL FOR A SITE
PLAN REVIEW FOR GRADING AND CONSTRUCTION OF A
STABLE AND CORRAL; GRANTING A CONDITIONAL USE
PERMIT TO CONVERT AN EXISTING STABLE INTO A
RECREATION ROOM; GRANTING A VARIANCE TO EXCEED
THE MAXIMUM PERMITTED DISTURBED AREA OF THE LOT
AND A SITE PLAN REVIEW FOR DEVELOPMENT ON A
PROPERTY THAT REQUIRES PLANNING COMMISSION
REVIEW DUE TO EXISTING STRUCTURAL DEVELOPMENT
RESTRICTION AT AN EXISTING SINGLE FAMILY RESIDENCE
IN ZONING CASE NO. 703, AT 18 EASTFIELD DRIVE, (LOT 69-
A-EF), (RICH).
THE PLANNING COMMISSION OF THE CITY OF ROLLING HILLS
DOES HEREBY FIND, RESOLVE AND ORDER AS FOLLOWS:
Section 1. An application has been filed by Mr. and Mrs. Joseph Rich,
with respect to real property located at 18 Eastfield Drive, (Lot 69-A-EF), Rolling
Hills, requesting a Site Plan Review for grading and construction of a 450 square
foot stable with 360 square foot covered porch and a corral, Conditional Use
Permit to convert an existing 320 square foot stable into a recreation room, a
Variance to exceed the maximum permitted disturbed area of the lot and a Site
Plan Review for the proposed development on a property that requires Planning
Commission review, due to existing structural development restriction approved
in 1996 and in 1998. An addition of 446 square feet to the existing basement and
modification to the entryway are also proposed.
Section 2. In 1996, the Planning Commission approved a Site Plan
Review request for a new single family residence and other improvements to
replace an existing residence on subject property. On July 21, 1998, the Planning
Commission approved a Conditional Use Permit to construct a cabana and
modification to the 1996 Site Plan Review approval for additional grading. Both,
the 1996 and 1998 Resolutions of Approval contain a condition that any further
development on the property is subject to Planning Commission review and
approval.
Section 3 The Planning Commission conducted duly noticed public
hearings to consider the request in Zoning Case No. 703 on April 19, 2005, May
17, 2005 and at a field trip on May 17, 2005. The applicants were notified of the
hearings in writing by first class mail. Evidence was heard and presented from
all persons interested in said proposal. The Planning Commission heard a report
from the City staff and reviewed, analyzed and studied the proposal. The
applicants and the applicants' representative were in attendance at the hearings.
06 1316073 504
Section 4. The City staff received a letter from a neighbor objecting to
the proposed location of the stable. The Planning Commission reviewed and
analyzed the letter and scheduled a visit to view the proposed project from the
objecting neighbor's property. Prior to the field trip, the neighbor submitted a
letter recanting her objection and requesting that the field trip to view the project
from her property be cancelled.
Section 5. The Planning Commission finds that the project qualifies as
a Class 3 Exemption (The State of CA Guidelines, Section 15303) and is therefore
categorically exempt from environmental review under the California
Environmental Quality Act.
Section b Section 17.46.030 requires a development plan to be
submitted for site plan review and approval before any development requiring a
grading permit or any building or structure may be constructed or any
expansion, addition, alteration or repair to existing buildings may be made
which involve changes to grading or an increase to the size of the building or
structure by at least 1,000 square feet and has the effect of increasing the size of
the building by more than twenty-five percent (25%) in any thirty-six (36) month
period. With respect to the Site Plan Review application for grading for the stable
and corral and the restriction placed in 1996 and 1998 on any future development
on subject property the Planning Commission makes the following findings of
fact:
A. The proposed development is compatible with the General Plan,
and surrounding uses because the proposed stable complies with the General
Plan requirement of low profile, low -density residential development with
sufficient open space between surrounding structures, and equestrian uses. The
project conforms to Zoning Code setbacks and the grading will be minimal.
B. The project substantially preserves the natural and undeveloped
state of the lot. The proposed stable will be constructed on an existing building
pad and minimal grading is required. The project is of sufficient distance from
nearby residences so that the stable will not impact the view or privacy of
surrounding neighbors, and will permit the owners to enjoy their property
without deleterious infringement on the rights of surrounding property owners.
C. The proposed development, as conditioned, is harmonious in scale
and mass with the site. Although the disturbed net lot area exceeds the
maximum permitted, the proposed project is consistent with the scale of the
neighborhood when compared to properties in the vicinity. The grading for the
stable and corral will increase the disturbed lot area by 8.5%, which is minimal.
D. The development plan incorporates existing vegetation to the
maximum extent feasible. The development plan substantially preserves the
natural and undeveloped state of the lot and the stable will not cause the lot to
look overdeveloped. Significant portions of the lot will be left undeveloped so as
to maintain open space.
06 1316073 505
E. The proposed development is sensitive and not detrimental to the
convenience and safety of circulation for pedestrians and vehicles because the
proposed project will not change the existing circulation pattern and will utilize
an existing driveway. No new stable access from Outrider Road or Eastifeld
Drive is proposed.
F. The proposed project is to construct a stable and corral area of
sufficient size that meets all standards for vehicular access thereto in
conformance with site plan review requirements.
G. The project is exempt from the requirements of the California
Environmental Quality Act.
Section 7. Sections 17.38.010 through 17.38.050 of the Rolling Hills
Municipal Code permit approval of a Variance from the standards and
requirements of the Zoning Ordinance when exceptional or extraordinary
circumstances applicable to the property and not applicable to other similar
properties in the same zone prevent the owner from making use of a parcel of
property to the same extent enjoyed by similar properties in the same vicinity. A
Variance to Section 17.16.070 (B) is required because it states that the lot
disturbance shall be limited to 40% of the net lot area. With respect to this
request for a Variance for lot disturbance of 48.4%, the Planning Commission
finds as follows:
A. There are exceptional and extraordinary circumstances and
conditions applicable to the property or to the intended use that do not apply
generally to the other property or class of use in the same zone. The Variance for
the total disturbance is necessary because the configuration, and topography of
the lot create a difficulty in meeting this Code requirement.
B. The Variance is necessary for the preservation and
enjoyment of a substantial property right possessed by other property in the
same vicinity and zone, but which is denied to the property in question. The
Variance is necessary because of the existing conditions of the lot. The existing
320 square foot stable is located in proximity to the cabana and swimming pool
and is not utilized for a stable. The proposed stable will be located away from the
living area" of the lot and will retain an equestrian flavor. The stable will only
minimally affect the disturbance of the lot. 328 cubic yards of grading is required
for this construction, which includes excavation for a basement. One of the goals
of the General Plan is to encourage construction of equestrian uses, which this
Variance would accommodate.
C. The granting of the Variance would not be materially
detrimental to the public welfare or injurious to the property or improvements in
such vicinity and zone in which the property is located. All development will
occur within required setbacks, and will be adequately screened to prevent
adverse visual impact to surrounding properties.
16 1316073
506
Section 8. Section 17.16.210(A)(2) of the Rolling Hills Municipal Code
permits approval of a recreation room under certain conditions, provided the
Planning Commission approves a Conditional Use Permit. The applicant is
requesting to convert the existing 320 square foot stable into a recreation room.
With respect to this request for a Conditional Use Permit, the Planning
Commission finds as follows:
A. The granting of a Conditional Use Permit for the recreation
room would be consistent with the purposes and objectives of the Zoning
Ordinance and General Plan and will be desirable for the public convenience and
welfare because the use is consistent with similar uses in the community, and the
area proposed for the recreation room would be located in an area on the
property where such use will not change the existing configuration of structures
on the lot.
B. The nature, condition, and development of adjacent uses,
buildings, and structures have been considered, and the conversion will not
adversely affect or be materially detrimental to these adjacent uses, buildings, or
structures because the proposed recreation room will be located in a cluster with
other structures and will promote pad integration. The proposed recreation room
is of sufficient distance from nearby residences so that it will not impact the view
or privacy of surrounding neighbors.
C. The project is harmonious in scale and mass with the site,
the natural terrain, and surrounding residences because the recreation room will
comply with the low profile residential development pattern of the community.
D. The proposed conditional use complies with all applicable
development standards of the zone district because the 320 square foot size of the
recreation room is less than the maximum permitted under the Municipal Code.
E. The proposed conditional use is consistent with the portions
of the Los Angeles County Hazardous Waste Management Plan relating to siting
and siting criteria for hazardous waste facilities because the project site is not
listed on the current State of California Hazardous Waste and Substances Sites
List.
1
F. The proposed conditional use observes the spirit and intent
of Title 17 of the Zoning Code because an adequate area is set -aside for the
construction of a stable structure, adjacent corral and access.
Section 9. Based upon the foregoing findings and the evidence in the
record, the Planning Commission hereby approves a Site Plan Review for
grading and construction of a 450 square foot stable, a Variance request to exceed
the maximum permitted disturbance of the lot and a Conditional Use Permit to
convert an existing 320 square foot stable into a recreation room, and a Site Plan
Review for the total proposed development due to the restriction placed on the
previously approved applications for subject property, in accordance with the
Q7361316
507
development plan dated March 28, 2005 and marked Exhibit A in Zoning Case
No. 703 subject to the following conditions:
A. The Site Plan, Variance and Conditional Use Permit approvals shall
expire within two years from the effective date of approval if work has not
commenced as defined in Sections 17.38.070, 17.42.070 and 17.46.080 of the
Zoning Ordinance, unless otherwise extended pursuant to the requirements of
these sections.
B. It is declared and made a condition of the approval, that if any
conditions thereof are violated, this approval shall be suspended and the
privileges granted thereunder shall lapse; provided that the City has given the
applicants written notice to cease such violation, the opportunity for a hearing
has been provided, and if requested, has been held, and thereafter the applicant
fails to correct the violation within a period of thirty (30) days from the date of
the City's determination.
C. All requirements of the Building and Construction Ordinance, the
Zoning Ordinance, and of the zone in which the subject property is located must
be complied with unless otherwise set forth in the permit, or shown otherwise on
an approved plan. This shall include, but not be limited to, the requirements of
the Outdoor Lighting Ordinance, Undergrounding of Utilities Ordinance, Roof
Covering Ordinance and others.
D. The lot shall be developed and maintained in substantial
conformance with the site plan on file marked Exhibit A and dated March 28,
2005, except as otherwise provided in these conditions.
E. Structural lot coverage shall not exceed 9,254 square feet or 14.8%
in conformance with lot coverage limitations.
F. Total lot coverage of structures and paved areas shall not exceed
20,352 square feet or 32.6% in conformance with lot coverage limitations.
G. The disturbed area of the lot shall not exceed 30,236 square feet or
48.4% in conformance with the Variance approval.
H. Building pad coverage on the stable pad shall not exceed 25.6%;
including the covered patio. Building pad coverage on the residential building
pad shall not exceed 31.5% including covered porches and 28.8% not including
covered porches.
I. Grading for the stable and excavation for the basement shall not
exceed 328 cubic yards of cut and 328 cubic yards of fill and shall be balanced on
site.
J. The stable and recreation room shall be screened from adjacent
properties. Landscaping shall be designed using mature trees and shrubs so as
not to obstruct views from neighboring properties, but to screen these structures
06 1316073 508
on the lot. If trees are to be incorporated into the landscaping scheme, at maturity
they shall be no higher than the ridge height of the stable and the recreation room
on the lot.
K. The stable and corral shall be located a minimum of twenty-five
feet from the rear property line and twenty feet from the side property line.
L. Landscaping shall include water efficient irrigation, to the
maximum extent feasible, that incorporates a low gallonage irrigation system,
utilizes automatic controllers, incorporates an irrigation design using
hydrozones," considers slope factors and climate conditions in design, and
utilizes means to reduce water waste resulting from runoff and overspray in
accordance with Section 17.27.020 (Water efficient landscaping requirements) of
the Rolling Hills Municipal Code.
M. No kitchen or other cooking facilities shall be permitted in the
recreation room. No sleeping quarters shall be permitted in the recreation room.
N. The stable shall be used exclusively for keeping permitted domestic
animals. Commercial uses are not permitted.
O. During construction, dust control measures shall be used to stabilize
the soil from wind erosion and reduce dust and objectionable odors generated by
construction activities in accordance with South Coast Air Quality Management
District, Los Angeles County and local ordinances and engineering practices.
P. During construction, conformance with the Air Quality Management
District requirements, stormwater pollution prevention practices, county and
local ordinances and engineering practices shall be required so that people or
property are not exposed to undue vehicle trips, noise, dust, objectionable odors,
landslides, mudflows, erosion, or land subsidence.
Q. During and after construction, all soil preparation, drainage, and
landscape sprinklers shall protect the building pad from erosion and direct
surface water in an approved manner.
R. During and after construction, all parking shall take place on the
project site and, if necessary, any overflow parking shall take place within nearby
roadway easements.
S. During construction, the property owners shall be required to schedule
and regulate construction and related traffic noise throughout the day between
the hours of 7 AM and 6 PM, Monday through Saturday only, when construction
and mechanical equipment noise is permitted, so as not to interfere with the
quiet residential environment of the City of Rolling Hills.
T. If any walls are to be incorporated into the design of this project,
they shall not be located in any setback nor shall they exceed 3-feet in height.
06 1316073
509
U. The drainage plan system shall be approved by the Planning
Department and the County Drainage Engineer and shall assure that any water
from any site irrigation systems and all drainage from the site shall be conveyed
in an approved manner and shall remain on the property and not cross over any
easements.
V. The property owners shall be required to conform to the Regional
Water Quality Control Board and County Health Department requirements for
the installation and maintenance of stormwater drainage facilities.
W. The property owners shall be required to conform to the Regional
Water Quality Control Board and County Public Works Department Best
Management Practices (BMP's) related to solid waste.
X. The project shall be reviewed and approved by the Rolling Hills
Community Association Architectural Review Committee prior to the issuance
of any permits.
Y. The working drawings submitted to the County Department of
Building and Safety for plan check review shall conform to the development plan
described in Condition D.
Z. Notwithstanding Sections 17.46.020 and 17.46.070 of the Rolling
Hills Municipal Code, any modifications to the property, which would
constitute additional structural development or grading, shall require the
filing of a new application for approval by the Planning Commission.
AA. The applicants shall execute an Affidavit of Acceptance of all
conditions of this Site Plan, Conditional Use Permit and Variance approvals,
pursuant to Sections 17.38.060, 17.42.060 and 17.46.065 of the Zoning Ordinance,
or the approval shall not be effective.
AB. All conditions of this Site Plan Review, Conditional Use Permit and
Variance approval, which apply, must be complied with prior to .the issuance of
a building permit from the County of Los Angeles.
PASSED, APPROVED AND ADOPTED THIS 14th DAY OF JUNE 2005.
ROG R SbMMER, CHAIRMAN
ATTEST:
T.
MARILYN L. KERN, DEPUTY CITY CLERK
06 1316073
510
t
STATE OF CALIFORNIA
COUNTY OF LOS ANGELES ) §§
CITY OF ROLLING HILLS)
I certify that the foregoing Resolution No. 2005-18 entitled:
A RESOLUTION OF THE PLANNING COMMISSION OF THE CITY OF
ROLLING HILLS GRANTING APPROVAL FOR A SITE PLAN REVIEW FOR
GRADING AND CONSTRUCTION OF A STABLE AND CORRAL; GRANTING
A CONDITIONAL USE PERMIT TO CONVERT AN EXISTING STABLE INTO
A RECREATION ROOM; GRANTING A VARIANCE TO EXCEED THE
MAXIMUM PERMITTED DISTURBED AREA OF THE LOT AND A SITE PLAN
REVIEW FOR DEVELOPMENT ON A PROPERTY THAT REQUIRES
PLANNING COMMISSION REVIEW DUE TO EXISTING STRUCTURAL
DEVELOPMENT RESTRICTION AT AN EXISTING SINGLE FAMILY
RESIDENCE IN ZONING CASE NO. 703, AT 18 EASTFIELD DRIVE, (LOT 69-
A-EF), (RICH).
was approved and adopted at an adjourned regular meeting of the Planning
Commission on June 14, 2005 by the following roll call vote:
AYES: Commissioner DeRoy, Hankins, Witte and Chairman Sommer.
NOES: None.
ABSENT: None.
ABSTAIN: None.
and in compliance with the laws of California was posted at the following:
Administrative Offices.
DEPUTY CITY CLERK
06 1316073
511
RESOLUTION NO. 98-14
A RESOLUTION OF THE PLANNING COMMISSION OF THE CITY
OF ROLLING HILLS GRANTING A CONDITIONAL USE PERMIT
FOR A CABANA AND APPROVING A REQUEST FOR
MODIFICATIONS TO AN APPROVED SITE PLAN REVIEW
APPLICATION TO PERMIT THE CONSTRUCTION OF A CABANA
THAT REQUIRES INCREASED GRADING AT A SINGLE FAMILY
RESIDENTIAL DEVELOPMENT IN ZONING CASE NO. 579.
THE PLANNING COMMISSION OF THE CITY OF ROLLING HILLS
DOES HEREBY FIND, RESOLVE AND ORDER AS FOLLOWS:
Section 1. Applications were duly filed by Mr. and Mrs. Russell Cole
Shoemaker with respect to real property located at 18 Eastfield Drive (Lot 69-A-EF),
Rolling Hills requesting a Conditional Use Permit to permit the construction of a
cabana and request for Site Plan Review modification to permit the construction of a
cabana that requires increased grading at a single family residential development.
Section 2. On December 17, 1996, the Planning Commission approved a
request for Site Plan Review application by Resolution No. 96-21 in Zoning Case No.
546 for the construction of a new single family residence, and other improvements
to replace an existing single family residence.
Section 3. The Planning Commission conducted a duly noticed public
hearing to consider the applications on May 19, 1998 and June 16, 1998, and at a field
trip visit on June 9, 1998.
Section 4. The Planning Commission finds that the project qualifies as a
Class 3 Exemption (State CEQA Guidelines, Section 15303(e) . and is therefore
categorically exempt from environmental review under the California
Environmental Quality Act.
Section 5. Section 17.16.210(A)(2) of the Rolling Hills Municipal Code
permits approval of a Cabana or detached recreation room with a Conditional Use
Permit under certain conditions. The applicant is requesting to construct a 220
square foot cabana. With respect to this request for a Conditional Use Permit, the
Planning Commission finds as follows:
A. The granting of a Conditional Use Permit for the cabana would be
consistent with the purposes and objectives of the Zoning Ordinance and General
Plan and will be desirable for the public convenience and welfare because the use is
consistent with similar uses in the community, and the area proposed ,for the cabana
would be located in an area on the property where such use will not change the
existing configuration of structures on the lot.
RESOLUTION NO. 98-14
PAGE 1
98 1701309
f b;:tA- 512
B. The nature, condition, and development of adjacent uses, buildings, and
structures have been considered, and the construction of cabana will not adversely
affect or be materially detrimental to these adjacent uses, buildings, or structures
because the proposed cabana structure will be 90 feet from the residential structure
and is a sufficient distance from nearby residences so that the cabana will not impact
the view or privacy of surrounding neighbors.
C. The project is harmonious in scale and mass with the site, the natural
terrain, and surrounding residences because the cabana will comply with the low
profile residential development pattern of the community and is located on a 1.74
acre parcel of property that is adequate in size, shape and topography to
accommodate such use.
D. The proposed conditional use complies with all applicable development
standards of the zone district because the 220 square foot size of the cabana is less
than the 800 square foot maximum permitted for similar accessory buildings and the
cabana does not encroach into any setback areas.
E. The proposed conditional use is consistent with the portions of the Los
Angeles County Hazardous Waste Management Plan relating to siting criteria for
hazardous waste facilities because the project site is not listed on the current State of
California Hazardous Waste and Substances Sites List.
F. The proposed conditional use observes the spirit and intent of Title 17 of
the Zoning Code because the cabana will be adjacent to the pool.
Section 6. Based upon the foregoing findings, the Planning Commission
hereby approves a Conditional Use Permit for the construction of a cabana in
accordance with the Development Plan attached hereto in Zoning Case No. 579
subject to the conditions contained in Section 9.
Section 7. Section 17.46.010 of the Rolling Hills Municipal Code requires a
development plan to be submitted for site plan review and approval before any
building or structure may be constructed or any expansion, addition, alteration or
repair to existing buildings may be made which involve changes to grading or an
increase to the size of the building or structure by at least 1,000 square feet and has
the effect of increasing the size of the building or structure by more than twenty-five
percent (25%) in any thirty-six month period. In addition, a condition of Resolution
No. 96-21 required that any modifications to the project which would constitute
additional structural development requires the filing of a new application for Site
Plan Review approval by the Planning Commission. The applicant is requesting to
modify the approved Site Plan by constructing a cabana that requires increased
grading. The applicant's latest proposal submitted on April 6, 1998, includes
additional grading of 85 cubic yards of cut soil and 85 cubic yards of fill soil for a total
of 565 cubic yards of cut soil and 565 cubic yards of fill soil. With respect to this
request, the Planning Commission makes the following findings of fact:
RESOLUTION NO. 98-14
PAGE 2
98 1701309 513
A. The development is compatible with the General Plan, the Zoning
Ordinance and surrounding uses because the proposed grading together with the
other improvements on the property complies with the General Plan requirement
of low profile, low density residential development with sufficient open space
between surrounding structures. The project as modified conforms to Zoning Code
setback and lot coverage requirements. The lot has* a net square foot area of 62,471
square feet. The residence (5,079 sq.ft.), attached garage (1,192 sq.ft.), swimming pool
624 sq. ft.), existing stable (320 sq.ft.), service yard (96 sq.ft.); and cabana (220 sq.ft.)
will have 7,531 square feet which constitutes 12.1% of the lot which is within the
maximum 20% structural lot coverage requirement. The total lot coverage
including paved areas and driveway will be 18,571 square feet which equals 29.7% of
the lot, which is within the 35% maximum overall lot coverage requirement. The
proposed project is on a relatively large lot with the proposed structures located
away from the road so as to reduce the visual impact of the development and is
similar and compatible with several neighboring developments. The building pad
is 26,786 square feet and structural coverage on the building pad is 28.1%.
B. The proposed development preserves, and integrates into the site
design, to the maximum extent feasible, existing natural topographic features of the
lot including surrounding native vegetation, mature trees, drainage courses, and
land forms (such as hillsides and knolls) because a minimum amount of grading is
proposed and will only be done to provide approved drainage that will flow away
from the proposed residence and existing neighboring residences.
C. The development plan follows natural contours of the site to
minimize grading and the natural drainage courses will continue to the canyons at
the east side (rear) of this lot.
D. The development plan incorporates existing large trees and native
vegetation to the maximum extent feasible. Specifically, the development plan
preserves several mature trees and shrubs.
E. The development plan substantially preserves the natural and
undeveloped state of the lot by minimizing building coverage because the new
structures will _not cause the structural and total lot._coverage to be exceeded. The
residential and total lot coverage will not exceed the Planning Commission's
established guideline. Further, the proposed project is designed to minimize
grading. Significant portions of the lot will be left undeveloped so as to maintain
scenic vistas across the northerly portions of the property.
F. The proposed development, as conditioned, is harmonious in scale
and mass with the site, the natural terrain and surrounding residences. As indicated
in Paragraph A, the lot coverage maximum will not be exceeded and the proposed
project is consistent with the scale of the neighborhood when compared to this
RESOLUTION NO. 98-14
PAGE 3
98 1701309
514
irregular -shaped lot. Grading shall be permitted only to restore the natural slope of
the property.
G. The proposed development is sensitive and not detrimental to the
convenience and safety of circulation for pedestrians and vehicles because the
proposed project will utilize the same driveway to Eastfield Drive for access.
H. The project conforms with the requirements of the California
Environmental Quality Act and is categorically exempt from environmental
review.
Section 8. Based upon the foregoing findings, the Planning Commission
hereby approves a modification to an approved Site Plan Review application to
allow the proposed increased grading on the site for a cabana. The modifications are
shown on the Development Plan and marked Exhibit A in Zoning Case No. 579.
These approved modifications are subject to the conditions contained in Section 9 of
this Resolution.
Section 9. The Conditional Use Permit for a cabana approved in Section 6
and the modification to permit the increased grading for the cabana from the
amount previously approved in the Site Plan Review application, that is approved
in Section 8, as indicated on the Development Plan attached hereto and
incorporated herein as Exhibit A in Zoning Case No. 579, are subject, to the following
list of conditions. These conditions include applicable conditions of approval
previously imposed on the Site Plan Review application by Resolution No. 96-21 on
December 17, 1996. To the extent these conditions duplicate prior conditions
imposed on this project, the conditions set forth herein shall be considered as
continuations of those prior requirements:
A. The Conditional Use Permit and Site Plan Review approvals shall
expire within one year from the effective date of approval as defined in Sections
17.42.070(A) and 17.46.080(A).
B. It is declared and made a condition of the Conditional Use Permit and
Site Plan Review approvals, that if any conditions thereof are violated, these
approvals shall be suspended and the privileges granted thereunder _shall lapse;.
provided that the applicant has been given written notice to cease such violation
and has failed to do so for a period of thirty (30) days.
C. All requirements of the Buildings and Construction Ordinance, the
Zoning Ordinance, and of the zone in which the subject property is located must be
complied with unless otherwise set forth in the Permit, or shown otherwise on an
approved plan.
RESOLUTION NO. 98-14
PAGE4
98 1701309
515
D. The lot shall be developed and maintained in substantial conformance
with the site plan on file marked, Exhibit A, except as otherwise provided in these
conditions.
E. The cabana shall not exceed 220 square feet.
F. No sleeping quarters or kitchen or other cooking facilities shall be
provided within the cabana or detached recreation room.
G. No vehicular access or paved parking area shall be developed within 50
feet of the cabana.
H. The basement door of the residence shall be solid (without windows)
and shall be subject to City staff approval.
I. Renting of the cabana is prohibited.
J. Any retaining walls incorporated into the project shall not exceed 5 feet
in height, averaging no more than 2-1/2 feet.
K. Residential building pad coverage shall not exceed 28.1%.
L. Maximum disturbed area shall not exceed 39.9% of the net lot area.
M. Grading shall not exceed 565 cubic yards of cut soil and 565 cubic yards
of fill soil.
N. Landscaping shall incorporate and preserve, to the maximum extent
feasible, the existing mature trees and shrubs and the natural landscape screening
surrounding the proposed building pad.
O. Two copies of a landscape plan must be submitted for review by the
Planning Department and include native drought -resistant vegetation that will not
disrupt the impact of the views of neighboring properties prior to the issuance of
any building or grading permit. The landscaping plan submitted must comply with
the purpose and intent of -the -Site Plan Review Ordinance, shall incorporate existing
mature trees and native vegetation, and shall utilize to the maximum extent
feasible, plants that are native to the area and/or consistent with the rural character
of the community.
A bond in the amount of the cost estimate of the implementation of the
landscaping plan plus 15% shall be required to be posted prior to issuance of a
grading and building permit and shall be retained with. the City for not less than two
years after landscape installation. The retained bond will be released by the City
Manager after the City Manager determines that the landscaping was installed
RESOLUTION NO. 98-14
PAGE 5
98 1701309 516
pursuant to the landscaping plan as approved, and that such landscaping is properly
established and in good condition.
P. Prior to the submittal of an applicable final grading plan to the County
of Los Angeles for plan check, a detailed grading and drainage plan with related
geology, soils and hydrology reports that conform to the development plan as
approved by the Planning Commission must be submitted to the Rolling Hills
Planning Department staff for their review. Cut and fill slopes must conform to the
City of Rolling Hills standard of 2 to 1 slope ratio.
Q. The project must be reviewed and approved by the Rolling Hills
Community Association Architectural Review Committee prior to the issuance of
any building or grading permit.
R. The applicants shall execute an Affidavit of Acceptance of all
conditions of this Conditional Use Permit and Site Plan Review, pursuant to
Section 17.42.060, or the approval shall not be effective.
S. Notwithstanding Section 17.46.070 of the Rolling Hills Municipal Code,
any modifications to the project which would constitute additional development
shall require the filing of a new application for Site Plan Review approval by the
Planning Commission.
T. All conditions of these Conditional Use Permit and Site Plan Review
approvals must be complied with prior to the issuance of a building or grading
permit from the County of Los Angeles.
PASSED, APPROVED AND ADOPTED ON THE 21ST D OF JU
ATTEST:
DEPUTY CITY CLERK
RESOLUTION NO. 98-14
PAGE 6
ALLAN ROBERTS, CHAIRMAN
98 1'701309
517
Agenda Item No.: 10.C
Mtg. Date: 05/17/2022
TO:HONORABLE CHAIR AND MEMBERS OF THE PLANNING
COMMISSION
FROM:JOHN SIGNO, DIRECTOR OF PLANNING & COMMUNITY SERVICES
THRU:ELAINE JENG P.E., CITY MANAGER
SUBJECT:
ZONING CASE NO. 21-02: REQUEST FOR APPROVAL OF A SITE
PLAN REVIEW TO DEMOLISH AN EXISTING RESIDENCE AND
CONSTRUCT A NEW 5,215-SQUARE-FOOT SINGLE-FAMILY
RESIDENCE AND RELATED IMPROVEMENTS; AND A VARIANCE TO
CONSTRUCT A FIVE-FOOT-HIGH RETAINING WALL IN THE SETBACK
AREA AND CONDUCT NON-EXEMPT GRADING ON A PROPERTY
LOCATED AT 11 FLYING MANE ROAD (LOT 53-SF), ROLLING HILLS,
CA (NEVENKA LCC)
DATE:May 17, 2022
BACKGROUND:
Zoning, Location, and Lot Description
The property located at 11 Flying Mane Road is zoned RAS-1 and has a net lot area of 0.9
acre (39,556 square feet). However, for purposes of calculating net lot area, Rolling Hills
Municipal Code (RHMC) Section 17.16.060(A) indicates that properties less than an acre are
to be considered an acre (43,560 square feet). Only one building pad exists on the property
and is located at the highest portion adjacent to the roadway easement.
The lot is developed with a 5,292-square-foot single-family residence built in 1953. In 1962,
the Planning Commission approved a variance for an indoor swimming pool and structure to
encroach into the required 20-foot side yard setback by eight feet. The pool was constructed in
late 1963. In 1968, the Planning Commission re-approved the variance on a technicality that it
originally expired before the pool was completed.
The existing residence is located 30 feet from the front roadway easement, 10 feet from the
northern side property line, and eight feet from the southern side property line. The rear
property line is located downslope of the building pad over 250 feet to the west. Since the
518
house was built prior to the City’s incorporation, the front and northern side setback are
considered legal nonconforming; as mentioned, the southern side setback was reduced with
approval of a variance.
DISCUSSION:
Applicant Request
The applicant is requesting a site plan review to demolish an existing 5,292-square-foot single-
family residence and construct a new 5,215-square-foot single-family residence and garage in
a similar footprint. The new residence meets the requirements for reduced setbacks on a
smaller lot. According to RHMC Section 17.24.045, reduced setbacks may apply to properties
in the RAS-1 zoning district that have a lot area of 1.25 acres or less, excluding roadway
easements.
The proposed project includes a 485-square-foot swimming pool, 85-square-foot pool
equipment, 337 square feet of attached covered porches, 15-square-foot barbecue, and 288-
square-foot service yard.
The total structures, excluding exempt structures, is 6,438 square feet or 14.8% of the net lot
area.
The flatwork area, which includes a 750-square-foot driveway and 2,503 square feet of paved
walkways, patios, and courtyards is 3,253 square feet. This covers 7.5% of the net lot area.
Disturbance covers 12,521 square feet and accounts for 28.7% of the net lot area.
There is only one existing building pad on the property, which will increase from 7,568 square
feet to 8,780 square feet. The building pad coverage is 68.2%.
A future stable and corral are proposed downslope near the rear of the property that will cover
1,000 square feet. The stable and corral are not proposed at this time.
Grading includes 2,855 cubic yards (CY) of cut and 2,755 CY of fill for a total of 5,610 CY.
Export of 100 CY is required.
Landscaping includes 13,350 square feet of new and altered areas. The landscape plan is
being reviewed by the City’s landscape consultant.
Site Plan Review
The applicant is requesting a Site Plan Review (SPR) to demolish the existing residence and
construct the new residence, attached garage, swimming pool, retaining walls, and other
improvements.
Non-exempt grading
The applicant is requesting a total of 5,610 CY of grading, including 100 CY of export. The 110
CY of excavation for the swimming pool is exempt and could be exported from the site without
relief from the Code. Grading will be done on the building pad for the new residence, driveway,
and yard area. Grading includes 2,000 CY of over-excavation and 2,350 CY of recompaction.
519
Retaining Walls
Retaining walls are proposed to the rear (west) of the swimming pool and along the southern
side property line next to the residence, which requires a variance. Retaining walls are also
needed for the stable and corral set-aside area. The maximum height of the retaining walls is
five feet and the average height is not to exceed two and one-half feet.
Variances
The applicant is requesting approval of a variance for a new five-foot-high retaining wall within
the southern side yard setback. A variance is also requested for grading within the southern
side yard setback for the retaining wall to allow for wider access. Export of 100 CY of dirt is
required.
Variance request to allow a new five-foot-high retaining wall within the side yard setback
Pursuant to RHMC Section 17.16.150(F-G), retaining walls are permitted in setback areas if
they do not exceed three feet in height, do not require grading, and are located along a
walkway; or if they do not exceed three feet in height and are necessary to improve drainage
or prevent slope erosion and are not in an easement, unless approved by the Association.
Such walls must be screened from the public right-of-ways, easements and adjacent
properties with appropriate landscaping.
The applicant is requesting the variance to allow for a retaining wall up to five feet in height to
allow for a wider access to an existing horse trail which has been filled with imported material.
The retaining wall will be located in the side setback approximately 10 feet from the property
line. It extends nearly the full length of the residence. A portion of the wall extends into the
front yard setback, but tapers from 24 inches to six inches toward the front of the property.
Variance request for non-exempt grading
Pursuant to Section 17.16.230, no export or import of cut or fill material shall be permitted in
connection with any grading performed in the City, unless otherwise permitted by the
provisions of Title 15 of the Code. The project does not meet the exemptions in Title 15 in that
grading consists of 5,610 CY total and covers nearly the entire building pad and set aside area
for the future stable and corral. Additionally, 100 CY of export is required.
MUNICIPAL CODE COMPLIANCE
Lot Coverage
The proposed structural coverage on the lot will be 6,438 square feet, or 14.8% of the lot,
which is less than the lot coverage limitation of 20% maximum. The proposed total coverage
including structures and flatwork will be 9,691 square feet or 22.2% of the lot area, which is
less than the lot coverage limitation of 35% maximum.
Area of Disturbance
The project site has been previously disturbed due to development of the existing residence.
The proposed project will add 2,124 square feet of disturbance for a total of 12,521 square
520
feet, or 28.7% of the net lot area.
Access to Future Stable
A stable and corral is not proposed to be constructed, however, a set aside area of 1,000
square feet is included in the rear portion of the property downslope from the main pad.
Access to the set aside area is via a bridle trail along the southern property line approximately
35 feet away.
Swimming Pool
The proposed swimming pool is 485 square feet and located behind the proposed residence
at the edge of the building pad. The pool will be designed to have an infinity edge in which
water flows into a surge basin. The edge of the pool and building pad will be supported by
retaining walls. The pool equipment will be located in a crawl space underneath the master
bedroom. Approval of a swimming pool less than 800 square feet is typically approved
administratively if no discretionary application is involved.
Raised Deck
A raised deck is located next to the master bedroom in the southwestern portion of the
residence. The deck is raised two and one-half feet above finished grade above the retaining
walls. The deck is approximately five feet wide by 35 feet long along the western elevation of
the residence and connects to the pool deck.
Landscaping
There is an existing hedge in the front of the property which helps screen the residence for
privacy. The hedge is entirely on the property with a portion extending into the roadway
easement. It is a policy that hedges not be allowed for new projects. The Planning
Commission should consider if the hedge should be removed.
The Preliminary Landscape Plan shows an olive grove and vineyard in the rear portion of the
property. Two new trees are shown in the front yard next to the street. The Plan is being
reviewed by the City’s landscape consultant for compliance with water efficiency
requirements. The Planning Commission should consider if conditions are necessary to limit
the height of trees to protect neighboring views.
Environmental Review
The proposed project has been determined to not have a significant effect on the environment
and is categorically exempt from the provisions of CEQA pursuant to Section 15303 (New
Construction or Conversion of Small Structures) of the CEQA Guidelines, which exempts a
single-family residence, swimming pool, and accessory structures.
Public Participation
None received.
CRITERIA FOR SITE PLAN REVIEW
17.46.050 - Required Site Plan Review findings.
521
1. The Commission shall be required to make findings in acting to approve, conditionally
approve, or deny a Site Plan Review application.
2. No project which requires Site Plan Review approval shall be approved by the
Commission, or by the City Council on appeal, unless the following findings can be
made:
3. The project complies with and is consistent with the goals and policies of the general
plan and all requirements of the zoning ordinance;
4. The project substantially preserves the natural and undeveloped state of the lot by
minimizing building coverage. Lot coverage requirements are regarded as maximums,
and the actual amount of lot coverage permitted depends upon the existing buildable
area of the lot;
5. The project is harmonious in scale and mass with the site, the natural terrain and
surrounding residences;
6. The project preserves and integrates into the site design, to the greatest extent possible,
existing topographic features of the site, including surrounding native vegetation, mature
trees, drainage courses and land forms (such as hillsides and knolls);
7. Grading has been designed to follow natural contours of the site and to minimize the
amount of grading required to create the building area;
8. Grading will not modify existing drainage channels nor redirect drainage flow, unless
such flow is redirected into an existing drainage course;
9. The project preserves surrounding native vegetation and mature trees and supplements
these elements with drought-tolerant landscaping which is compatible with and
enhances the rural character of the community, and landscaping provides a buffer or
transition area between private and public areas;
10. The project is sensitive and not detrimental to the convenient and safe movement of
pedestrians and vehicles; and
11. The project conforms to the requirements of the California Environmental Quality Act.
12. If all of the above findings cannot be made with regard to the proposed project, or cannot
be made even with changes to the project through project conditions imposed by City
staff and/or the Planning Commission, the site plan review application shall be denied.
CRITERIA FOR VARIANCES
17.38.050 Required Variance findings .
In granting a variance, the Commission (and Council on appeal) must make the following
findings:
1. That there are exceptional or extraordinary circumstances or conditions applicable to the
property that do not apply generally to other properties in the same vicinity and zone;
2. That such variance is necessary for the preservation and enjoyment of substantial
property rights possessed by other properties in the same vicinity and zone but which is
denied the property in question;
3. That the granting of such variance will not be materially detrimental to the public welfare
or injurious to properties or improvements in the vicinity;
4. That in granting the variance, the spirit and intent of this title will be observed;
5. That the variance does not grant special privilege to the applicant;
6. That the variance is consistent with the portions of the County of Los Angeles Hazardous
Waste Management Plan relating to siting and siting criteria for hazardous waste
522
facilities; and
7. That the variance request is consistent with the general plan of the City of Rolling Hills.
FISCAL IMPACT:
None.
RECOMMENDATION:
Open the public hearing, discuss the item, direct the applicant and staff, and continue the item
to the June 21, 2022 regularly scheduled meeting.
ATTACHMENTS:
Vicinity Map - 11 Flying Mane Rd.pdf
Development Table (ZC 21-02).pdf
11 Flying Mane - Initial Planning Submittal - 22 0314r.pdf
523
City of Rolling Hills 2 PORTUGUESE BEND ROAD ROLLING HILLS, CA 90274
TITLE
VICINITY MAP
CASE NO.
Zoning Case No. 22-02
Site Plan Review, Variance
OWNER Nevenka LLC
ADDRESS 11 Flying Mane Road, Rolling Hills 90274 SITE
524
*Allowable deductions; excluded from Total Structure Area/Total Structural Coverage
^Actual net lot area is 39,556 SF but per Code it is rounded to 1 acre (43,560 SF)
Development Table Zoning Case No. 21-02
(11 FLYING MANE ROAD)
Site Plan Review and Variance PAD 1 PAD 2 TOTAL
RAS-1 Zone Setbacks
Front: 50 ft. from front easement line
Side: 20 ft. from side property line
Rear: 50 ft. from rear easement line
Single family
residence, garage,
pool, equipment,
entryways (SF)
Future Stable
(SF)
Pad/Net Lot Area 8,780 1,000 43,560^
Residence 4,795
Garage 420
Swimming Pool/Spa 485
*Pool Equipment 85
Stable (min. 450 SF) 450
*Attached Covered Porches 337
*Outdoor Barbecue 15
Service Yard 288
Total Structure Area 5,988 450 6,438
Total Structural Coverage (20% max) 14.8%
Grading 2,855 CY cut
2,755 CY fill
(-100 CY)
5,610 CY
(export
required)
Total Flatwork 3,253
Total Structural and Flatwork 9,691
Total Lot Coverage (35% maximum) 22.2%
Building Pad Coverage
(Policy: 30% maximum)
68.2% 45%
Disturbed Area (40% maximum; up to
60% with slopes less than 3:1)
12,521
28.7%
525
FD. 2" I.P. & WOODPLUG, FLUSH, ACCEPTEDPER R.S. 59, PGS. 8-10I.P. & TAG, RE 122,R.S. 59, PGS. 8-10ESTAB. AT REC. RADIALDIST. (341.34') FROM NEPER R.S. 59, PGS. 8-10FD. 3/4" REBAR, NO CAP,NO REF., N60°36'09"W, 0.58'FROM PROPERTY CORNERESTAB. AT REC. CALC.DELTA (17°27'12")ALONG CURVE FROM NWPER R.S. 59, PGS. 8-10ESTAB. AT REC. CALC.DELTA (9°53'19") ALONGCURVE FROM NW PERR.S. 59, PGS. 8-10N 73°11'06" E326.70'N 05°58'24" W
78.33'N 63°12'59" E (RADIAL)341.34'20.00'321.34'20.00'306.70'N 73°06'18" E(RADIAL)(RADIAL)N 61°45'40" E=09 °53 '1 9"R =7 0 0 .0 0 'L =1 2 0 .8 1 'T =6 0 .5 6 '
R =7 2 0 .0 0 'L =1 2 4 .2 9 'T =6 2 .3 0 '
N 2 5 °3 5 '5 4 " W
1 0 3 .5 7 '=01°27'19"R=700.00'L=17.78'T=8.89'WATER VALVE10'CITY OF ROLLING HILLS,BY, ET AL, VERSUS BENT, ET AL., SAID STATE OF CALIFORNIA, OF SAID COUNTY, DESCRIBEDMAP FILED IN RECORD OF 2 AND PARCEL NO. 3,22419, PAGE 401, OF ON RECORD OF1440144014301430
1420
1420
1410
1410
1400
1400
1390
1390
1380
1380
1370
1370
1360
1360
1350
1350
13401340
FLY I N G M A N E R O A D
(4 0 'W I DE PRI V ATE STE E T )20'20'20'20'4 0'WWMWM{1436' - 0"
FOOTPRINT OF (E) HOME TO BE REMOVED
LINE OF ROOF OVERHANG
POOL
13' - 5 1/2"40' - 2"3' - 0"3 ' - 0 "3' - 0"3' - 0"PROPOSED 5,215 SF FOOTPRINT
1-STORY SFD
FFE: 1436.0'
(E) RUBBLE WALLS TO BE
REMOVED
(N) RUBBLE WALL
TO REPLACE (E)
LINE OF (E) DRIVEWAY
TO BE REMOVED
1433' - 6"
1428' - 3"
TW
TW
1428' - 3"
TW
1433' - 6"
TW
1425' - 0"
TW
1425' - 0"
TW
1429' - 0"
TW
FS
1426' - 1"
TW
1431' - 0"
TW 1431' - 11"
TW1431' - 8"
TW
1433' - 6"
TW
1433' - 6"
TW
1436' - 0"
1436' - 0"
1438' - 10"
1438' - 6"
1438' - 0"
1437' - 6"
1437' - 0"
1436' - 6"
1436' - 0"
E A S E M E N T
1 0 ' - 0 "
1 0 ' - 0 "
EASEMENT
10' - 0"10' - 0"
SYSB
20' - 0"
S Y S B
2 0 ' - 0 "50' - 0"RYSB50' - 0"RYSB50' - 0"1440' - 0"
TW
1444' - 0"
TW
1436' - 0"
TW
1436' - 0"
TW
1444' - 0"
TW
1435' - 6"
FS
LINE OF (E) PATIO
TO BE REMOVED
NEW DRIVEWAY
(750 SF)
18' - 0"
NEW CONCRETE PADS,
STEPPING WALKWAY
1435' - 10"
FS
RETAINING WALL #1 -
134'-0" LENGTH
AVG HT 2'-6"
MAX HT 5'-0"
RETAINING WALL #2 -
88'-0" LENGTH
AVG HT 2'-6"
MAX HT 5'-0"
POOL SURGE BASIN
1431' - 11"
TW
RETAINING WALL #3 -
84'-0" LENGTH
AVG HT 3'-0"
MAX HT 5'-0"
NEW PATIO
ENTRY
COURTYARD
NORTH
(E) TREE TO REMAIN
8 ' - 0 "
SET ASIDE FOR FUTURE
STABLE AND CORRAL
3 5 ' - 0 "12' - 11 1/2"40' - 0"25' - 0"3 ' - 0 "
5 ' - 0 "FYSB30' - 0"EASEMENT20' - 0"POCHE REGION INDICATING
EXTENT OF EXISTING
BUILDING PAD - 7,568 SF
POCHE REGION INDICATING
FOOTPRINT OF PROPOSED
NEW SFD - 5,215 SF
CROSS-HATCHED REGION
INDICATING EXTENT OF PROPOSED
BUILDING PAD - 8,780 SF
LINE OF ROOF EAVE PROJECTION
3 ' - 0 "4' - 4"9' - 4 1/2"3' - 0"3' - 0"4' - 0"BBQ2' - 0"7' - 0"(E) POWER POLE TO
SERVE NEW RESIDENCE
NEW CONC DRIVEWAY,
28% OF NET FRONT YARD
5% SLOPE
3% SLOPE
2% SLOPE
NEW SEPTIC TANK
AND LEACH FIELD
POOL EQUIP. IN
CRAWLSPACE UTILITY ROOM8' - 6"1 0 ' - 0 "
5 4 ' - 8 1 /2 "
6 3 ' - 8 1 /2 "
38' - 3"
90' - 5 1/2"43' - 2"3 0 ' - 0 "106' - 7"115' - 2 1/2"9 FLYING MANE RD.
15 FLYING MANE RD.
12 FLYING MANE RD.
10 FLYING MANE RD.
1 7 ' - 1 1 1 /2 "
3 7 ' - 1 1 1 /2 "
ACCESSORY STRUCTURE AT
15 FLYING MANE RD.
ARCHITECTURAL
A 0.01 COVERSHEET
A 2.02 FIRST FLOOR PLAN
A 2.03 ROOF PLAN
A 3.01 EXTERIOR ELEVATIONS
A 3.02 EXTERIOR ELEVATIONS
A 4.01 BUILDING SECTIONS
A 4.02 BUILDING SECTIONS
10/31/21
2422 GATEWOOD ST
LA, CA 90031
P: 310 597 9668
E: john@ruz-arch.com
PRIVATE RESIDENCEAPRIL 18, 2022
1121COVERSHEET
A 0.01#11 FLYING MANEROLLING HILLS, CA 902741/16" = 1'-0"1PLOT PLAN VICINITY MAP
PROJECT ADDRESS:
11 FLYING MANE RD
ROLLING HILLS, CA 90274
SCOPE OF WORK:
NEW ONE-STORY SINGLE FAMILY DWELLING
LEGAL DESCRIPTION:
ASSESSOR'S PARCEL NUMBER:
LOT SIZE:
ZONE:
CONSTRUCTION TYPE:
YEAR BUILT:
NUMBER OF STORIES:
(E) FLOOR AREA:
PROPOSED FLOOR AREA:
REQUIRED BUILDING SETBACKS:
FRONT YARD
SIDE YARD
REAR YARD
MAXIMUM BUILDING HEIGHT ALLOWED:
(E) ROOF RIDGE HEIGHT:
EXISTING BUILDING PAD AREA :
PROPOSED BUILDING PAD AREA :
GRADING QUANTITIES :
TOTAL CUT
TOTAL FILL
EXPORT
ALLOWABLE EXPORT (POOL)
LOT H, RANCHO LOS PALOS VERDES
7567 009 025
1.17 AC / 50,956 SF
RAS-1
V -B (SPRINKLERED)
1953
SINGLE STORY
5,292 SF
5,215 SF
30'-0"
20'-0"
50'-0"
ONE-STORY
18' -3-1/2"
7,568 SF
8,780 SF
3,415 CY
3,315 CY
100 CY
110 CY
PROJECT DESCRIPTION
SHEET LIST
PROJECT DIRECTORY
OWNER:
NEVENKA LLC
11 FLYING MANE RD.
ROLLING HILLS, CA 90274
ARCHITECT/ APPLICANT:
JOHN RUZICKA, AIA, LEED AP
2422 GATEWOOD ST
LOS ANGELES, CA 90031
(310) 597-9668
john@ruz-arch.com
STRUCTURAL ENGINEER:
TBD
CIVIL ENGINEER:
BOLTON ENGINEERING CORP.
25834 NARBONNE AVE. SUITE 210
LOMITA, CA 90717
(916) 790-8550
tales@boltonengineering.com
3D VIEW
GEOTECHNICAL ENGINEER:
COAST GEOTECHNICAL, INC.
1200 WEST COMMONWEALTH
FULLERTON, CA 92833
(714) 870-1211
coastgeotec@sbcglobal.net
SURVEYOR:
CHRIS NELSON & ASSOCIATES, INC.
31238 VIA COLINAS SUITE H
WESTLAKE VILLAGE, CA 91362
(818) 991-1040
MEP ENGINEER:
TBD
XLANDSCAPE ARCHITECT:
NATURAL ART LANDSCAPE
2715 CASIANO RD
LOS ANGELES, CA 90077
tomas@naturalartlandscapes.com
526
527
1 6 ' - 4 "
1 0 ' - 7 "
1 2 ' - 1 1 1 /2 "
4 ' - 0 1 /2 "5' - 6"21' - 1 1/2"22' - 0"7' - 0"
1 3 ' - 4 "10' - 8 1/2"14' - 10 1/2"13' - 5 1/2"WD5 ' - 1 0 1 /2 "FIREPLACE2' - 4"
FAMILY ROOM
LIVING ROOM
ENTRY
COURTYARD
GYM
STUDY
MASTER BEDROOM
MASTER BATH
SHOWER
WC
MASTER CLOSET
BEDROOM 2
BATH 2
POWDER
LAUNDRY
CHEF'S KITCHEN
KITCHEN
DINING ROOM
ENTRY
GARAGE
CLOSET
BEDROOM 3
BEDROOM 4
CLOSET 3
BATH 3
CLOSET 4
BATH 4
TVPOOL BATH
40' - 2"
POOL
FOOTPRINT OF EXISTING
HOME TO BE REMOVED
LINE OF ROOF OVERHANG
COVERED PORCH4' - 0"13' - 3"10' - 8"TRASH YARD
1 0 ' - 7 "12' - 0"25' - 1"SPA
NEW 42" TALL VEHICLE GATE
2
A 4.01
__________________
2
A 4.01
__________________
SKYLIGHT
ABOVE, TYP.
8' - 1"30' - 0"12' - 4 1/2"OPEN PATIO
1436' - 0"
DRIVEWAY
VIEW DECK
1436' - 0"
1429' - 3"
1425' - 8"
1421' - 0"
S Y S B
2 0 ' - 0 "
SYSB
20' - 0"STORAGE1436' - 0"
COAT
STORAGE71' - 4"
1 0 ' - 7 "
3
A 4.02
__________________
E A S E M E N T
1 0 ' - 0 "
16' - 4"16' - 4"5' - 1 1/2"14' - 5"5' - 8"11' - 0"2' - 3"3' - 6"4' - 0"4' - 0 1/2"REF
FZR
WINE
4 ' - 0 1 /2 "
4
A 4.02
__________________
1428' - 3"
1433' - 6"3' - 0"2' - 11"2' - 11"5 ' - 0 "
3 ' - 0 "
5
A 4.02
__________________
5
A 4.02
__________________
WATER FILTER
NEW 42" 3-RAIL
FENCE
A 3.02
2
A 3.01
1
A 3.01
2
A 3.02
1
1436' - 0"
1431' - 0"
42" GLASS GUARDRAIL
1433' - 0"
D.G./STEPPING STONE
ACCESS PATH ON GRADE
12' - 6"
5' - 11"6' - 6"6' - 3"11' - 0"NICHE7' - 1 1/2"13' - 0"7' - 1 1/2"1
A 4.01
__________________
1
A 4.01
__________________2' - 3"13' - 3 1/2"13' - 9 1/2"21' - 1 1/2"10' - 0 1/2"
3' - 11 1/2"3' - 1"3' - 0"6' - 5 1/2"15' - 9 1/2"17' - 9 1/2"1 1 ' - 0 "19' - 1 1/2"BBQ
7' - 0"2' - 0"
NORTH
OPEN CORNER
FIREPLACE
S
S
S
S
S
S
ATTIC ACCESS
ABOVE
ATTIC ACCESS
ABOVE
NEW 400A
ELECTRICAL SERVICE
(E) POWER POLE
NEW PAINTED REDWOOD FENCE
TO SCREEN TRASH YARD
5' - 0"
TANKLESS H.W.
8' - 6"
RECESSED AUTOMATIC
POOL COVER
MECHANICAL VENTILATION CAPABLE OF 50 CFM
EXHAUSTED TO EXTERIOR (R303.3)
COMBINATION SMOKE AND CARBON MONOXIDE
DETECTOR, HARD-WIRED (R314 & 315)S
SYMBOLS LEGEND
10/31/21
2422 GATEWOOD ST
LA, CA 90031
P: 310 597 9668
E: john@ruz-arch.com
PRIVATE RESIDENCEMARCH 14, 2022
1121FIRST FLOOR PLANA 2.02#11 FLYING MANEROLLING HILLS, CA 902743/16" = 1'-0"1PROPOSED FIRST FLOOR
528
2
A 4.01
__________________
2
A 4.01
__________________
OPEN
1454' - 2"
1436' - 0"
3
A 4.02
__________________
4
A 4.02
__________________
5
A 4.02
__________________
5
A 4.02
__________________4.0:124.0:124.0:12
4 .0 :1 2
4 .0 :1 2
3 ' - 1 "
A 3.02
2
A 3.01
1
A 3.01
2
A 3.02
1
1
A 4.01
__________________
1
A 4.01
__________________
1451' - 9"
1435' - 10"
1436' - 0"2.3:122.3:12NORTH
STONE-CLAD
MASONRY CHIMNEY
8' - 0"3' - 0"
10/31/21
2422 GATEWOOD ST
LA, CA 90031
P: 310 597 9668
E: john@ruz-arch.com
PRIVATE RESIDENCEMARCH 14, 2022
1121ROOF PLANA 2.03#11 FLYING MANEROLLING HILLS, CA 902741/4" = 1'-0"1PROPOSED ROOF
529
18' - 1 1/2"31' - 6 1/2"20' - 6"42" GLASS GUARDRAIL
IN RECESSED SHOE
POWDERCOATED ALUMINUM
GUTTER (DARK GREY)
STUCCO FINISH ON
SITE RETAINING WALLS19' - 10"4' - 2"CONCRETE TILE ROOF, DARK GREY COLOR
SKYLIGHT, TYP.
1X5 HORIZONTAL WOOD SIDING WITH 1/8" SQUARE
GROOVE O/ BUILDING PAPER O/ 1-HR RATED
DENSGLASS SHEETING (PAINTED WHITE)
DARK GREY POWDERCOATED ALUMINUM
FRAME DOORS AND WINDOWS, TYP.
1" WIDE TRIM (PAINTED WHITE)
SOLID WOOD FASCIA (PAINTED DARK GREY)
RUBBLE STONE CLADDING
AT CHIMNEY
21' - 0"CRAWLSPACE ACCESS DOOR
(30"X30")
10/31/21
2422 GATEWOOD ST
LA, CA 90031
P: 310 597 9668
E: john@ruz-arch.com
PRIVATE RESIDENCEMARCH 14, 2022
1121EXTERIOR ELEVATIONSA 3.01#11 FLYING MANEROLLING HILLS, CA 902741/4" = 1'-0"1EAST ELEVATION
1/4" = 1'-0"2WEST ELEVATION
530
18' - 3 1/2"CONCRETE TILE ROOF, DARK GREY COLOR
SKYLIGHT, TYP.
1X5 HORIZONTAL WOOD SIDING WITH 1/8" SQUARE
GROOVE O/ BUILDING PAPER O/ 1-HR RATED
DENSGLASS SHEETING (PAINTED WHITE)
DARK GREY POWDERCOATED ALUMINUM
FRAME DOORS AND WINDOWS, TYP.
1" WIDE TRIM (PAINTED WHITE)
SOLID WOOD FASCIA (PAINTED DARK GREY)
WOOD GARAGE DOOR,
PAINTED WHITE
CUSTOM ENTRY DOOR TO
MATCH SIDING
4' - 10 1/2"5' - 0"4' - 0 1/2"18' - 1 1/2"10/31/21
2422 GATEWOOD ST
LA, CA 90031
P: 310 597 9668
E: john@ruz-arch.com
PRIVATE RESIDENCEMARCH 14, 2022
1121EXTERIOR ELEVATIONSA 3.02#11 FLYING MANEROLLING HILLS, CA 902741/4" = 1'-0"2NORTH ELEVATION
1/4" = 1'-0"1SOUTH ELEVATION
531
CRAWLSPACE CRAWLSPACE
2' - 4"ENTRY COURTYARD
LIVING ROOM16' - 10 1/2"18' - 1 1/2"POOL
1436' - 0"
1432' - 0"
1429' - 0"
1432' - 6"
1436' - 0"
1428' - 0"
SURGE BASIN
TOW (VARIES)
TOW (VARIES)8' - 6"8' - 6"8' - 6"16' - 10 1/2"3' - 1"
21' - 9"20' - 1 1/2"
10' - 0"8' - 6 1/2"POOL
1431' - 3"
1436' - 0"3' - 2 1/2"1428' - 0"
SURGE BASIN
TOW (VARIES)
TOW
1430' - 6"
WATERLINE
1426' - 6"
TOW
10/31/21
2422 GATEWOOD ST
LA, CA 90031
P: 310 597 9668
E: john@ruz-arch.com
PRIVATE RESIDENCEMARCH 14, 2022
1121BUILDING SECTIONSA 4.01#11 FLYING MANEROLLING HILLS, CA 902741/4" = 1'-0"2SECTION 2
1/4" = 1'-0"1Section 7
532
EASEMENT
5' - 0"2' - 0"10' - 0"8' - 0"
CRAWLSPACE
LINE OF (E) GRADE
4' - 11"8' - 6"1440' - 10"
1435' - 10"
1436' - 0"MAX.5' - 0"4' - 5"3' - 6"2' - 6"1436' - 0"6' - 0"POOL EQUIP VAULT
1428' - 10"
10' - 0"10' - 0"
CRAWLSPACE2' - 6"4' - 6"1432' - 6"
1436' - 0"
10/31/21
2422 GATEWOOD ST
LA, CA 90031
P: 310 597 9668
E: john@ruz-arch.com
PRIVATE RESIDENCEMARCH 14, 2022
1121BUILDING SECTIONSA 4.02#11 FLYING MANEROLLING HILLS, CA 902741/4" = 1'-0"3SECTION 3
1/4" = 1'-0"4SECTION 4
1/4" = 1'-0"5SECTION 5
533
10/31/21
2422 GATEWOOD ST
LA, CA 90031
P: 310 597 9668
E: john@ruz-arch.com
PRIVATE RESIDENCEMARCH 14, 2022
11213D VIEWSA 7.01#11 FLYING MANEROLLING HILLS, CA 902742HILLSIDE PERSPECTIVE
3HILLSIDE PERSPECTIVE 2
1STREET FACADE
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(RADIAL)
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R=700.00'
L=17.78'
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R.S. 59, PGS. 8-10LEGENDABBREVIATIONS Bolton Engineering Corp.
Civil Engineering and Surveying
25834 Narbonne Avenue Suite 210
Lomita, Ca. 90717
Ph: 310-325-5580 Fax: 310-325-5581
PRELIMINARY: FOR PLANNING PURPOSES
C0.0NEVENKA LLCGRADING PLANNEW RESIDENTIAL ESTATE11 FLYING MANE ROADROLLING HILLS, CA 9027430306030LEGENDABBREVIATIONSSHEET INDEXOWNER / CLIENT:CONCEPT GRADING PLAN11 FLYING MANERolling Hills, CA 90275CIVIL ENGINEER / PREPARED BY:535
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Bolton Engineering Corp.
Civil Engineering and Surveying
25834 Narbonne Avenue Suite 210
Lomita, Ca. 90717
Ph: 310-325-5580 Fax: 310-325-5581
PRELIMINARY: FOR PLANNING PURPOSES
C0.110102010536
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ESTAB. AT REC. CALC.
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CURVE FROM NW PER
R.S. 59, PGS. 8-10
LEGENDLEGENDABBREVIATIONS 10102010Bolton Engineering Corp.
Civil Engineering and Surveying
25834 Narbonne Avenue Suite 210
Lomita, Ca. 90717
Ph: 310-325-5580 Fax: 310-325-5581
PRELIMINARY: FOR PLANNING PURPOSES
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LEGENDLEGENDABBREVIATIONS 10102010Bolton Engineering Corp.
Civil Engineering and Surveying
25834 Narbonne Avenue Suite 210
Lomita, Ca. 90717
Ph: 310-325-5580 Fax: 310-325-5581
PRELIMINARY: FOR PLANNING PURPOSES
C1.2538
SECTIONS LEGENDBolton Engineering Corp.
Civil Engineering and Surveying
25834 Narbonne Avenue Suite 210
Lomita, Ca. 90717
Ph: 310-325-5580 Fax: 310-325-5581
PRELIMINARY: FOR PLANNING PURPOSES
C2.0539
FD. 2" I.P. & WOODPLUG, FLUSH, ACCEPTEDPER R.S. 59, PGS. 8-10.P. & TAG, RE 122,.S. 59, PGS. 8-10ESTAB. AT REC. RADIALDIST. (341.34') FROM NEPER R.S. 59, PGS. 8-10FD. 3/4" REBAR, NO CAP,NO REF., N60°36'09"W, 0.58'FROM PROPERTY CORNERESTAB. AT REC. CALC.DELTA (9°53'19") ALONGCURVE FROM NW PERR.S. 59, PGS. 8-10N 73°11'06" E326.70'N 05°58'24" W
78.33'N 63°12'59" E (RADIAL)341.34'20.00'321.34'306.70'N 2 5 °3 5 '5 4 " W
1 0 3 .5 7 'ON RECORD OFOUNTYSCRIBED144014301430
1420
1420
1410
1410
1400
1400
1390
1390
1380
1380
1370
1370
1360
1360
1350
1350
1340134020'20'20'4 0W1436' - 0"
FOOTPRINT OF (E) HOME TO BE REMOVEDLINE OF ROOF OVERHANG
POOL
13' - 4 1/2"40' - 0"3' - 0"3 ' - 0 "3' - 0"3' - 0"PROPOSED 5,000 SF 1-STORY SFD
PROPOSED RETAINING WALLS, MAX HT 5'-0"
AVERAGE HEIGHT 2.5' MAX
306.6995'1" = 10’ - 0"0ft 10ft 30ft 60ft5ft20ft40ft
NOTES:
- THIS IS A DIAGRAMMATIC DRAWING AND IS NOT A LEGAL SURVEY.
- CONTRACTOR TO VERIFY ALL MEASUREMENTS PRIOR TO BIDDING & CONSTRUCTION.
- NOTIFY LANDSCAPE ARCHITECT OF ANY DISCREPANCIES.
- ALL ADJUSTMENTS WILL BE MADE IN THE FIELD BY ARCHITECT, CONTRACTOR & HOMEOWNER.
PRELIMINARY LANDSCAPE PLAN FOR
11 FLYING MANE - ROLLING HILLS - CA. - 90274
BY: NATURAL ART LANDSCAPE LIC# 1041649 - 4415 VIA PINZON - PALOS VERDES ESTATES - CA - 90077
NESW
VERSION 4.12.22
VEGGI
BEDS
NOTES:- IRRIGATION TO FOLLOW ALL CITY & COUNTY REQUIREMENTS FOR WATER EFFICIENCY & CONSTRUCTION. INCLD’S BUT NOT LIMITED TO:WATER METER, BACK-FLOW, PRESSURE REGULATORS ETC…- ALL PLANTED AREAS TO BE COVERDWITH 3” MULCH- ALL SOILS TO BE IMPROVED ACCORDINGSOILS REPORT / PLANTING SPECIES-
I AGREE TO COMPLY WITH THE
REQUIREMENTS OF THE WATER EFFICIENT
LANDSCAPE ORDINANCE & SUBMIT A
COMPLETE LANDSCAPE DOCUMENTATION
PACKAGE.
——————————————————————
EVAN SMITH
LA # 4716
REGISTERED L A N D SCAPE
A
R
C
HI
TECT*
STATEOF CA L I F O R N IA*EVANS M I T H #
4
716SIGNATURE
DATE
EXP 1/31/24
4/11/22
10'
EXISTING HEDGETO REMAIN
O L I V E G R O V E
ORCHARD E X I S T I N G T E R R A C E
E X I S T I N G T E R R A C E
E X I S T I N G T E R R A C E
E X I S T I N G T E R R A C E
E X I S T I N G T E R R A C E
V I NE Y A R D
V I NE Y A R D
O L I V E G R O V E
PROPOSED TREES
TYPICALEXISTING HEDGE
TO REMAINPROPOSED NEW
TREESPROPOSED 5,125 SF 1-STORY SFD
FUTURE
STABLE CORRAL
AREAFUEL MOD ZONE "A"20'FUEL MOD ZONE "B"80'FUEL MOD ZONE "A"20'810 Sq ft
540
1" = 20’ - 0"0ft 10ft 30ft 60ft5ft20ft40ft
NOTES:
- THIS IS A DIAGRAMMATIC DRAWING AND IS NOT A LEGAL SURVEY.
- CONTRACTOR TO VERIFY ALL MEASUREMENTS PRIOR TO BIDDING & CONSTRUCTION.
- NOTIFY LANDSCAPE ARCHITECT OF ANY DISCREPANCIES.
- ALL ADJUSTMENTS WILL BE MADE IN THE FIELD BY ARCHITECT, CONTRACTOR & HOMEOWNER.
PRELIMINARY LANDSCAPE PLAN FOR
11 FLYING MANE - ROLLING HILLS - CA. - 90274
BY: NATURAL ART LANDSCAPE LIC# 1041649 - 4415 VIA PINZON - PALOS VERDES ESTATES - CA - 90077
NESW
PRELIMINARY
MAXIMUM APPLIED WATER ALLOWANCE CALCULATIONS
FOR NEW LANDSCAPEFD. 2" I.P. & WOODPLUG, FLUSH, ACCEPTEDPER R.S. 59, PGS. 8-10FD. 2" I.P. & TAG, RE 122,PER R.S. 59, PGS. 8-10ESTAB. AT REC. RADIALDIST. (341.34') FROM NEPER R.S. 59, PGS. 8-10FD. 3/4" REBAR, NO CAP,NO REF., N60°36'09"W, 0.58'FROM PROPERTY CORNERESTAB. AT REC. CALC.DELTA (17°27'12")ALONG CURVE FROM NWPER R.S. 59, PGS. 8-10ESTAB. AT REC. CALC.DELTA (9°53'19") ALONGCURVE FROM NW PERR.S. 59, PGS. 8-10N 73°11'06" E326.70'N 05°58'24" W
78.33'N 63°12'59" E (RADIAL)341.34'20.00'321.34'306.70'N 73°06'18" E(RADIAL)(RADIAL)N 61°45'40" EN 2 5 °3 5 '5 4 " W
1 0 3 .5 7 '=01°27'19"R=700.00'L=17.78'T=8.89'ON RECORD OFE OF THE COUNTYEOF LYING WITHIN THE LINES OF THE ABOVE DESCRIBED144014301430
1420
1420
1410
1410
1400
1400
1390
1390
1380
1380
1370
1370
1360
1360
1350
1350
13401340
FL Y I N G M A N E R O A D(4 0 'W I D E P R I V A T E S T E E T )20'20'20'20'4 0'W{1436' - 0"FOOTPRINT OF (E) HOME TO BE REMOVEDLINE OF ROOF OVERHANG POOL 13' - 4 1/2"40' - 0"3' - 0"3 ' - 0 "3' - 0"3' - 0"PROPOSED 5,000 SF 1-STORY SFD 10/31/212422 GATEWOOD STLA, CA 90031P: 310 597 9668E: john@ruz-arch.com
PRIVATE RESIDENCEDEC 8, 2021
1121OVERALL SITE PLANA 1.01#11 FLYING MANEROLLING HILLS, CA 90274PROPOSED RETAINING WALLS, MAX HT 5'-0"
AVERAGE HEIGHT 2.5' MAX
153.3497'STREET2,160 Sq ftPAVING3,240 Sq ftSLA= 472 Sq ftFUEL MOD ZONE "A"20'FUEL MOD ZONE "B"80'FUEL MOD ZONE "A"20'ETO = 42.6LOT SIZE = 51,369SPECIAL LAND AREA ( POOL) -472STREET PAVING = -2,160PROPOSED HOUSE = -5,000PROPOSED PAVING = -3,240REMAINING LANDSCAPE AREA = 40,497
541
Agenda Item No.: 10.D
Mtg. Date: 05/17/2022
TO:HONORABLE CHAIR AND MEMBERS OF THE PLANNING
COMMISSION
FROM:JOHN SIGNO, DIRECTOR OF PLANNING & COMMUNITY SERVICES
THRU:ELAINE JENG P.E., CITY MANAGER
SUBJECT:ZONING CASE NO. 22-20: REQUEST FOR APPROVAL OF A SITE
PLAN REVIEW FOR CONSTRUCTION OF A 1,583-SQUARE-FOOT
ADDITION AND REMODEL TO AN EXISTING RESIDENCE, MAXIMUM
FIVE-FOOT-HIGH RETAINING WALLS, GRADING, AND OTHER
IMPROVEMENTS; AND VARIANCES TO CONSTRUCT IN THE FRONT
YARD SETBACK AND FOR A FIVE-FOOT-HIGH RETAINING WALL TO
BE CONSTRUCTED IN THE SETBACK AREA FOR A PROPERTY
LOCATED AT 16 SOUTHFIELD DRIVE (LOT 33-SF), ROLLING HILLS,
CA (BURGOYNE)
DATE:May 17, 2022
BACKGROUND:
Zoning, Location, and Lot Description
The property located at 16 Southfield Drive is zoned RAS-1 and has a net lot area of 50,938
square feet (1.17 acre). The lot is developed with a 1,717-square-foot single-family residence
built in 1954. The residence encroaches 24 feet into the 50-foot front yard setback, which is
considered legal nonconforming. There are three building pads: the main building pad includes
the existing residence and swimming pool; the second pad includes the proposed accessory
dwelling unit (ADU); and the third pad is a set aside area for a future stable and corral.
DISCUSSION:
Applicant Request
The applicant is requesting the following:
Remodel existing 1,717-square-foot house
New addition of 1,583 square feet for an overall residence of 3,300 square feet
542
Remodel existing 390-square-foot garage and add 10 square feet for a total of 400
square feet
New 975-square-foot attached covered porches
New 850-square-foot accessory dwelling unit (ADU) with 200-square-foot attached
covered porches
New 290-square-foot entryway
New 800-square-foot pool with 130-square-foot trough, 48-square-foot pool equipment,
and 200-square-foot pond
New 200-square-foot spa with 42-square-foot trough
New 20-square-foot outdoor kitchen
Removal of 125-square-foot pool and raising elevation of remaining pool
New 102 square feet of driveway and repaving of existing for a total of 2,500 square feet
New 50-square-foot pool equipment
New service yard
New hardscape of 3,070 square feet and revised pool decking of 1,195 square feet
New maximum five-foot-high retaining walls for driveway and stairways (average wall
height will be less than 2.5 feet)
New drainage curbs and swales around ADU perimeter
Future 450-square-foot stable and 550-square-foot corral
Pad 1, which includes the residence, garage, and swimming pool, is 6,192 square feet and will
be increased to 6,870 square feet. The building pad coverage will be 82.42%.
Pad 2, which is proposed for an ADU, will be reduced from 3,770 square feet to 2,450 square
feet. The building pad coverage will be 39.39%.
Pad 3, which is the location for the stable and corral, will be reduced from 1,420 square feet to
1,280 square feet. Construction of a future 450-square-foot stable will bring the building pad
coverage to 35.16%.
Grading includes 1,355 cubic yards (CY) of cut and 1,355 CY of fill for a total of 2,710 CY. No
import or export is needed.
Landscaping includes 4,550 square feet of new drought tolerant planted area (low water use).
Existing undisturbed hillside landscape accounts for 28,949 square feet.
A set aside area for a future 450-square-foot stable and 550-square-foot corral are proposed
downslope near the rear of the property that will cover 1,000 square feet. The stable and
corral are not proposed at this time.
Site Plan Review
The applicant is requesting a Site Plan Review (SPR) to remodel an existing residence,
construct an addition, ADU, and make other site improvements.
Non-exempt grading
The applicant is requesting a total of 2,710 CY of grading. Grading will be done on the main
building pad, ADU pad, stable/corral set aside pad. Grading includes 850 CY of over-
excavation and 960 CY of recompaction.
543
Retaining Walls
A retaining wall is proposed in the eastern side yard setback adjacent to the residence, which
requires a variance. The maximum height of the retaining walls is five feet and the average
height is not to exceed two and one-half feet.
Variances
The applicant is requesting approval of a variance for a new five-foot-high retaining wall within
the eastern side yard setback.
Variance request to allow a new five-foot-high retaining wall within the side yard setback
Pursuant to RHMC Section 17.16.150(F-G), retaining walls are permitted in setback areas if
they do not exceed three feet in height, do not require grading, and are located along a
walkway; or if they do not exceed three feet in height and are necessary to improve drainage
or prevent slope erosion and are not in an easement, unless approved by the Association.
Such walls must be screened from the public right-of-ways, easements and adjacent
properties with appropriate landscaping.
The applicant is requesting the variance to allow for a retaining wall up to five feet in height to
allow for a wider access around the house. The retaining wall will be located in the side
setback approximately 11 feet from the property line, and extends from the front roadway
easement to the side of the residence where it becomes a curb and swale. The portion in the
front yard setback is five feet high near the residence but tapers down to six inches near the
front roadway easement.
Variance request for encroachment into the front yard setback
The existing residence was built in 1954 and encroaches 24 feet into the 50-foot front yard
setback, which is considered legal nonconforming. However, any new addition must meet the
required 50-foot front yard setback. A variance is requested to add a covered porch and
portions of the addition into the front yard setback. The improvements will not further encroach
into the existing front setback line, which is 26 feet from the roadway easement.
MUNICIPAL CODE COMPLIANCE
Lot Coverage
The proposed structural coverage on the lot will be 7,552 square feet, or 14.8% of the lot,
which is less than the lot coverage limitation of 20% maximum. The proposed total coverage
including structures and flatwork will be 14,317 square feet or 28.1% of the lot area, which is
less than the lot coverage limitation of 35% maximum.
Area of Disturbance
The project site has been previously disturbed due to development of the existing residence.
Implementation of the proposed project will bring the total disturbance to 17,435 square feet,
or 34.2% of the net lot area.
Access to Future Stable
544
A stable and corral is not proposed to be constructed, however, a set aside area of 1,000
square feet is included on the rear portion of the property located downslope from the main
pad and ADU pad.
Environmental Review
The proposed project has been determined to not have a significant effect on the environment
and is categorically exempt from the provisions of CEQA pursuant to Section 15303 (New
Construction or Conversion of Small Structures) of the CEQA Guidelines, which exempts
additions, accessory dwelling units, and accessory structures.
Public Participation
On May 5, 2022, staff received a phone call from a neighbor on inquiring about the
landscaping fronting Southfield Drive in the roadway easement. The neighbor asked if the
landscape foliage, which has thickened over the years, will be removed to provide for parking
along the roadway. Staff informed the neighbor that some landscaping will be removed due to
the widening of the driveway per Fire Department requirements.
Since the landscaping is in the roadway easement, staff contacted the Rolling Hills Community
Association (RHCA) and was informed that they do not currently require existing vegetation in
the easement to be removed. However, if landscaping were removed, it is their policy to
prohibit re-planting.
At the Planning Commission’s discretion, a condition of approval could be included to remove
part or all of the landscaping along the front. It should be noted that the landscaping helps
screen the residence and provides privacy. However, new landscaping is prohibited from
growing into a hedge.
CRITERIA FOR SITE PLAN REVIEW
17.46.050 - Required Site Plan Review findings.
1. The Commission shall be required to make findings in acting to approve, conditionally
approve, or deny a site plan review application.
2. No project which requires site plan review approval shall be approved by the
Commission, or by the City Council on appeal, unless the following findings can be
made:
3. The project complies with and is consistent with the goals and policies of the general
plan and all requirements of the zoning ordinance;
4. The project substantially preserves the natural and undeveloped state of the lot by
minimizing building coverage. Lot coverage requirements are regarded as maximums,
and the actual amount of lot coverage permitted depends upon the existing buildable
area of the lot;
5. The project is harmonious in scale and mass with the site, the natural terrain and
surrounding residences;
6. The project preserves and integrates into the site design, to the greatest extent possible,
existing topographic features of the site, including surrounding native vegetation, mature
trees, drainage courses and land forms (such as hillsides and knolls);
7. Grading has been designed to follow natural contours of the site and to minimize the
amount of grading required to create the building area;
545
8. Grading will not modify existing drainage channels nor redirect drainage flow, unless
such flow is redirected into an existing drainage course;
9. The project preserves surrounding native vegetation and mature trees and supplements
these elements with drought-tolerant landscaping which is compatible with and
enhances the rural character of the community, and landscaping provides a buffer or
transition area between private and public areas;
10. The project is sensitive and not detrimental to the convenient and safe movement of
pedestrians and vehicles; and
11. The project conforms to the requirements of the California Environmental Quality Act.
12. If all of the above findings cannot be made with regard to the proposed project, or cannot
be made even with changes to the project through project conditions imposed by City
staff and/or the Planning Commission, the site plan review application shall be denied.
CRITERIA FOR VARIANCES
17.38.050 Required Variance findings .
In granting a variance, the Commission (and Council on appeal) must make the following
findings:
1. That there are exceptional or extraordinary circumstances or conditions applicable to the
property that do not apply generally to other properties in the same vicinity and zone;
2. That such variance is necessary for the preservation and enjoyment of substantial
property rights possessed by other properties in the same vicinity and zone but which is
denied the property in question;
3. That the granting of such variance will not be materially detrimental to the public welfare
or injurious to properties or improvements in the vicinity;
4. That in granting the variance, the spirit and intent of this title will be observed;
5. That the variance does not grant special privilege to the applicant;
6. That the variance is consistent with the portions of the County of Los Angeles Hazardous
Waste Management Plan relating to siting and siting criteria for hazardous waste
facilities; and
7. That the variance request is consistent with the general plan of the City of Rolling Hills.
FISCAL IMPACT:
None.
RECOMMENDATION:
Adopt Resolution No. 2022-06 approving Zoning Case No. 22-20 for a Site Plan Review and
Variance.
ATTACHMENTS:
Vicinity Map - 16 Southfield Dr.pdf
Development Table (ZC 22-20).pdf
16 Southfield Drive_Combined Plan Set_2022.05.11(reduced).pdf
546
City of Rolling Hills 2 PORTUGUESE BEND ROAD ROLLING HILLS, CA 90274
TITLE
VICINITY MAP
CASE NO.
Zoning Case No. 22-20
Site Plan Review, Variance
OWNER Burgoyne
ADDRESS 16 Southfield Drive, Rolling Hills 90274 SITE
547
*Allowable deductions; excluded from Total Structure Area/Total Structural Coverage
Development Table Zoning Case No. 22-20
(16 SOUTHFIELD DRIVE)
Site Plan Review and Variance PAD 1 PAD 2 PAD 3
TOTAL
RAS-1 Zone Setbacks
Front: 50 ft. from front easement line
Side: 20 ft. from side property line
Rear: 50 ft. from rear easement line
Single family
residence, garage,
pool, equipment,
entryways (SF)
Accessory
Dwelling Unit
(SF)
Future Stable
(SF)
Pad/Net Lot Area
Existing:
6,192
Proposed:
678
Total:
6,870
Existing:
3,770
Proposed:
-1,320
Total:
2,450
Existing:
1,420
Proposed:
-140
Total:
1,280
50,938
Residence 3,300 3,300
Garage 400 400
Swimming Pool/Spa 892 892
Pool Equipment 50 50
Accessory Dwelling Unit 850 850
Stable (min. 450 SF) 450 450
Entryway, Breezeway 290 290
*Attached Covered Porches 605 115 1,175
*Outdoor Kitchen, Fire Pit 20 20
Service Yard 125 125
Total Structure Area 7,552
Structural Coverage (20% maximum) 14.8%
Grading (no import/export) 1,070 CY cut
1,080 CY fill
(+10 CY)
215 CY cut
205 CY fill
(-10 CY)
70 CY cut
70 CY fill
2,710 CY
(balanced
on site)
Total Flatwork 6,765
Total Structural and Flatwork 14,317
Total Lot Coverage (35% maximum) 28.1%
Building Pad Coverage
(Policy: 30% maximum)
82.42% 39.39% 35.16%
Disturbed Area (40% maximum; up to
60% with slopes less than 3:1)
17,435
34.2%
548
1976432101112141315161758LEGENDABBREVIATIONS Bolton Engineering Corp.
Civil Engineering and Surveying
25834 Narbonne Avenue Suite 210
Lomita, Ca. 90717
Ph: 310-325-5580 Fax: 310-325-5581
PRELIMINARY: FOR PLANNING PURPOSES
C0.0BURGOYNE RESIDENCEPROPOSED ADDITION AND REMODEL16 SOUTHFIELD DRIVEROLLING HILLS, CA 9027420204020LEGENDABBREVIATIONS1234567891011121314151617SHEET INDEX549
16163216Bolton Engineering Corp.
Civil Engineering and Surveying
25834 Narbonne Avenue Suite 210
Lomita, Ca. 90717
Ph: 310-325-5580 Fax: 310-325-5581
PRELIMINARY: FOR PLANNING PURPOSES
C0.1550
LEGENDABBREVIATIONS 10102010Bolton Engineering Corp.
Civil Engineering and Surveying
25834 Narbonne Avenue Suite 210
Lomita, Ca. 90717
Ph: 310-325-5580 Fax: 310-325-5581
PRELIMINARY: FOR PLANNING PURPOSES
C1.0551
LEGENDABBREVIATIONS 55105Bolton Engineering Corp.
Civil Engineering and Surveying
25834 Narbonne Avenue Suite 210
Lomita, Ca. 90717
Ph: 310-325-5580 Fax: 310-325-5581
PRELIMINARY: FOR PLANNING PURPOSES
C1.1552
LEGENDABBREVIATIONS 10102010Bolton Engineering Corp.
Civil Engineering and Surveying
25834 Narbonne Avenue Suite 210
Lomita, Ca. 90717
Ph: 310-325-5580 Fax: 310-325-5581
PRELIMINARY: FOR PLANNING PURPOSES
C1.2553
SECTIONS LEGENDBolton Engineering Corp.
Civil Engineering and Surveying
25834 Narbonne Avenue Suite 210
Lomita, Ca. 90717
Ph: 310-325-5580 Fax: 310-325-5581
PRELIMINARY: FOR PLANNING PURPOSES
C2.0554
LEGENDPAD EXHIBIT LEGEND20204020Bolton Engineering Corp.
Civil Engineering and Surveying
25834 Narbonne Avenue Suite 210
Lomita, Ca. 90717
Ph: 310-325-5580 Fax: 310-325-5581
PRELIMINARY: FOR PLANNING PURPOSES
CM555
556
557
558
559
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