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DCPCUP-2016-02356
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DCPCUP-2016-02356
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Last modified
1/30/2017 8:36:18 AM
Creation date
9/6/2016 10:58:59 AM
Metadata
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Template:
Rezone/CUP
Rezone/CUP - Type
CUP
Petition Number
02356
Town
Dunkirk Township
Section Numbers
2
AccelaLink
DCPCUP-2016-02356
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JELL <br /> Quality Saves Money <br /> their equipment. In this case,Verizon Wireless needs the site to meet its service needs for the defined search <br /> area,and has engaged CST to participate as the tower developer/owner for the project. <br /> As described above,the proposed project is for the construction,installation,and operation of an unmanned <br /> wireless tower communications facility upon the property located at NE intersection of Hwy. 51 and Pleasant <br /> Hill Road, Stoughton, WI 53589.Parcel ID#026/0511-023-9001-1.This facility will consist of Verizon <br /> Wireless antennas and equipment to be mounted at the 150' centerline of a newly constructed CST owned 155' <br /> (extendable to 190')plus 4.5' lightning rod,associated coaxial/hybrid cable runs down the interior of the <br /> tower,and equipment cabinets on platform with exterior backup power generator which will be placed upon a <br /> concrete pad near the base of the tower,all within a 90'x 90' fenced CST compound area as shown in the <br /> enclosed plans.Also,a 30' foot wide access and utility easement will be utilized to serve the site coming from <br /> the public right of way of Hwy. 51 and requiring only improvement to the existing access point. WI DOT <br /> engineer Scot Hinkle has stated the department will issue a permit for commercial use of this farm access <br /> point. This permit will be obtained prior to construction. <br /> This Conditional Use Permit will provide a great benefit in that it will allow for the provision of the highest <br /> quality and most technologically advanced wireless communication services to the area. Besides the services <br /> which will be provided by Verizon Wireless,the tower facility has been designed so it will be available for at <br /> least three(3)other comparable antenna and equipment installations and shall conform to all applicable <br /> ANSI/TIA 222-G,FCC,and FAA regulations and standards governing such facilities. Multiple company <br /> collocations on its infrastructure is the core of CST's business and CST actively markets its portfolio of tower <br /> sites for collocation to all communications users. <br /> The proposed facility will not require any public participation or result in any public cost for public facilities <br /> and services which would be detrimental to the economic welfare of the community. In fact,the wireless <br /> communication services offered by Verizon Wireless are desired by both businesses and individuals and will <br /> be an economic asset to the community. The enhanced E-911 services provided by facilities such as these will <br /> also assist in the protection of the public health,safety,and welfare of the community. <br /> The equipment will operate continuously at this unmanned facility and will require no additional parking or <br /> facilities for employees.Verizon Wireless' cell site technicians will visit the site periodically,typically a <br /> couple hours once per month,for the testing and monitoring of the maintenance and security of its equipment. <br /> CST Communications personnel will also visit the site periodically to monitor the maintenance and security of <br /> the facility.The facility will not generate any substantial traffic,and besides the new tower structure,the <br /> remainder of the equipment has a minimal visual impact and generates very little noise. <br /> This site is located in the A-2 Agricultural Zoning District and has been positioned upon the underlying parcel <br /> in a location to best conform with the current agricultural uses of the underlying property and to maximize <br /> ground elevation which is inherently higher near the intersection of Hwy. 51 and Pleasant Hill Road.No <br /> landscaping buffer is proposed as existing tree cover will shield three sides of the installation and it is situated <br /> 487' from Hwy.51. <br /> Besides the six(6)application requirements defined by Wis. Stat. Sect.66.0404(2)(b),I have also enclosed the <br /> below listed items and provided additional narrative as requested by Dane County and agreed to by the <br /> applicant. <br /> FAA Determination(see attached) <br /> Site Plan(see attached which includes latitude/longitude and site elevation) <br /> RF Propagation Maps(see attached Macro Cell site maps) <br /> Tower Inventory 1.5 Mile Radius Map(see attached) <br />
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