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 Board of Health: New septic construction must meet full compliance with BOH I/A <br />septic systems regulation. Any disposal system variances shall be heard before the <br />approving authority, the BOH <br /> <br />th <br /> Building/ZBA: Requires ZBA relief, June 11 hearing <br /> <br /> Wastewater: There is no planned connection to the Mashpee sanitary sewer collection <br />system for this property <br /> <br />Documents provided: Cape & Islands Engineering, Inc.; Notice of Intent application and project narrative; <br />04/07/2025 Plan “Site Plan & Septic Design Plan” <br /> <br />NOI <br />222 Fells Pond Road, Brian J. & Dorie L. Kilduff (43-3338) <br /> <br /> Representative: Merrill Engineering, INC <br /> <br />Property Overview & Project Details <br /> Proposed renovation of existing single-family dwelling with addition and mitigation <br />plantings <br /> Property currently contains an existing single-family home, patios, a gravel driveway, <br />and shed with resource areas within 100 ft including wetland to northwest <br /> Coastal storm area and coastal bank run along the western/northwestern property line, <br />creating regulatory constraints <br /> <br />Proposed Construction Work <br /> Home renovation includes removal of existing deck and replacement with a new addition <br />in the same footprint, plus an enclosed addition to the north side <br /> Foundation work required for north side addition with sonotubes at elevation 14-16 and <br />bottom of wall at 10-8 <br /> Retaining wall replacement – removal of deteriorating wooden timber wall and <br />installation of two-tiered block retaining walls (heights 14.5 ft and 18 ft <br /> The septic system is a current Title V system replaced circa 2000-2003, with no flow <br />increase planned <br /> <br />Environmental Mitigation & Compliance <br /> 710 sqft of native shrub plantings proposed (beach plum, Carolina rose, soy grass) in 2-3 <br />gallon sizes, 3ft on center <br /> ACEC designation (area of critical environmental concern) covers 80% of the lot, <br />requiring higher environmental standards <br /> Mitigation calculation shows a 127 sqft increase in footprint, but no net mitigation <br />required due to landscape area removal <br /> Drywells are proposed to collect runoff from new construction <br /> <br />Regulatory Issues & After-the-Fact Approvals <br />12 <br /> <br /> <br />