HomeMy WebLinkAboutStaff Report 2502-4139, Staff Report 2503-4253Page 1 of 2
Utilities Advisory Commission
Staff Report
From: Kiely Nose, Interim Director of Utilities
Lead Department: Utilities
Meeting Date: March 5, 2025
Report #: 2502-4139
TITLE
Consideration of the Utilities Advisory Subcommittee’s One Water Advocacy Letter and a
Commissioner’s Proposed Bay Area Water Supply & Conservation Agency (BAWSCA) Advocacy
Letter and Potential Recommendation to City Council
RECOMMENDATION
At the behest of UAC Commissioners, review two letters: 1) Utilities Advisory Subcommittee’s
One Water Advocacy Letter and 2) Commissioner Tucher’s Proposed Bay Area Water Supply &
Conservation Agency (BAWSCA) Advocacy Letter. Recommend any adjustments to the letters
and any potential direction on a recommendation to Council.
BACKGROUND/ANALYSIS
One Water UAC Letter
At the January 7, 2025 UAC meeting, staff recommended that the UAC recommend City Council
accept the One Water Plan. The UAC did not take any action. The UAC expressed a desire to
provide additional information to the City Council regarding water supply and conservation
planning. As a result, as discussed by the Commissioners, three commissioners (Gupta, Mauter
and Phillips) were appointed to draft the letter for the full commission’s consideration.
Upon further review and consideration, staff plans to present the One Water Plan to the
Council as an informational item rather than an action item. The One Water plan, a key action
item in the Council approved Sustainability & Climate Action Plan (S/CAP), studies the impacts
of severe water shortages including one that our water supplier (SFPUC) has identified as a
worst-case scenario. No investments in water supply alternatives are being recommended at
this time and completion of this analysis concludes the action item in the S/CAP. This One
Water analysis is a framework to evaluate all potential options for future water supply
alternatives including both local and/or regional projects.
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Staff recommends that any communications from the UAC on this topic will be included as an
attachment to the information item transmitted to the City Council. The full One Water Report
may be found here1: https://recordsportal.paloalto.gov/Weblink/DocView.aspx?id=61727
Advocacy and Recommendation to the City Council regarding SFPUC and BAWSCA
On December 4, 2024, representatives from the Bay Area Water Supply and Conservation
Agency (BAWSCA) and the San Francisco Public Utilities Commission (SFPUC) presented to the
Utilities Advisory Commission (UAC) and addressed their questions. The UAC expressed interest
in receiving more details from the SFPUC on their water supply planning activities.
Consequently, Commissioner Tucher has drafted an additional letter specifically regarding
follow-up with BAWSCA and SFPUC for the full UAC’s consideration.
NEXT STEPS
A supplemental report will be published on March 3, 2025 with the two drafted letters.
1 UAC January 7, 2025, Staff Report 2407-3234;
https://recordsportal.paloalto.gov/Weblink/DocView.aspx?id=61727
Item No. 4. Page 1 of 1
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City Council
Supplemental Report
From: Kiely Nose, Interim Director of Utilities
Meeting Date: March 5, 2025
Item Number: 4
Report #:2503-4253
TITLE
Supplemental Information: Consideration of the Utilities Advisory Subcommittee’s One Water
Advocacy Letter and a Commissioner’s Proposed Bay Area Water Supply & Conservation Agency
(BAWSCA) Advocacy Letter and Potential Recommendation to City Council
BACKGROUND/ANALYSIS
Staff report 2502-4139 was included in the UAC's packet for the meeting on March 5, 2025. This
report transmits the two letters discussed for review and consideration:
1) Utilities Advisory Subcommittee’s One Water Advocacy Letter (Attachment A) and
2) Commissioner Tucher’s Proposed Bay Area Water Supply Conservation Agency
(BAWSCA) Advocacy Letter (Attachment B).
ATTACHMENTS
Attachment A: Utilities Advisory Subcommittee’s One Water Advocacy Letter
Attachment B: Commissioner Tucher’s Proposed Bay Area Water Supply & Conservation Agency
(BAWSCA) Advocacy Letter
APPROVED BY:
Kiely Nose, Interim Director of Utilities
Memorandum: One Water Plan Review and Recommendations March XX, 2025
City of Palo Alto – Utilities Advisory Commission DRAFT
Page 1 of 4
MEMORANDUM (DRAFT)
TO: City Council, City of Palo Alto
FROM: Utilities Advisory Commission
DATE: March XX, 2025
SUBJECT: One Water Plan Review and Recommendations
The Utilities Advisory Commission (UAC) has completed its review of the One Water Plan (OWP) and rec-
ommends against acceptance of the plan at this time. The following sections outline our key concerns and
recommendations for moving forward.
The UAC’s decision not to approve the study, despite acknowledging the considerable staff time and re-
sources invested, stems from fundamental concerns about its analytical framework. Specifically, the meth-
odology and assumptions used in the plan could lead to potentially misleading conclusions about Palo
Alto’s water security options. The UAC is happy to meet with Council to discuss its concerns in more detail,
which are various. However, to help guide future water planning efforts, this memo focuses on our most
critical concerns, which we believe must be addressed to develop a robust and actionable water security
framework for Palo Alto: (1) the premise of the report and its recommendations relies on a 50% cut back
scenario that seems highly unlikely and must be validated, particularly by engagement with BAWSCA and
SFPUC; and (2) the conclusions are based on a weighted scoring scheme that is potentially misleading—
instead, the underlying metrics, such as dollar cost per acre-foot, should be directly presented to decision-
makers. In addition, the UAC provides several strategic recommendations for the city’s future planning ef-
forts.
Staff has reviewed this letter and agrees that investments in local water supply alternatives are not prudent
nor recommended at this time. Staff agrees that evolving demand projects and SFPUC supply reliability as-
sessments will be critical for continued water planning efforts and that regional partnership may, indeed,
prove to be most cost-effective if water supply reliability becomes an issue. The tool developed as part of
the OWP effort may be modified in subsequent analysis to address the UAC’s concerns regarding the scor-
ing methodology.
REPORT ISSUES
In this memo, the UAC focuses on two critical issues with the OWP report: (1) the 50% cutback scenario
underlies the premise and recommendations of the report, but this scenario seems unlikely and should be
validated before using it for water supply planning; and (2) the weighted scoring scheme for the alternatives
is potentially misleading.
First, the OWP report plans for a case in which there is a 50% reduction in regional water supply, and it uses
this scenario as a key metric in its portfolio evaluation.1 This assumption warrants further scrutiny and
1 E.g., OWP Report at ES-8 (“Reliability is scored based on results of the dry year supply analysis for each portfolio
using the supply gap expressed in afy during a 50 percent reduction in water deliveries to Palo Alto from the RWS.”),
Memorandum: One Water Plan Review and Recommendations March XX, 2025
City of Palo Alto – Utilities Advisory Commission DRAFT
Page 2 of 4
validation, particularly concerning demand across the broader system, implementation of Bay Delta Plan
regulations, and policy and management decisions about storage. Members of the public have noted that
historical analysis of Tuolumne River flows over the past 1100 years using tree ring data suggests that the
level of drought and demand growth that would require this level of cutback is extremely improbable. During
the recent 2001-2022 California mega-drought, SFPUC was able to add to its reservoirs in 15 of the 22 years
due to its robust water rights. Second, the Long Term Vulnerability Assessment (LTVA) cosponsored by the
SFPUC found no drought in 25,000 years of stochastic modeling that approached the severity of the design
drought scenario, and the assessment found no clear adverse impacts from climate change through 2070.
Third, the longest historical drought (1471-1483) would have left 40% of system storage remaining at cur-
rent demand levels. Fourth, probability analysis suggests the design drought scenario has an exceptionally
rare return period—potentially one in several hundred thousand years. The UAC also has concerns with the
demand forecasts, noting that BAWSCA’s forecasts have consistently over-estimated future regional water
demand, often by substantial amounts. Given that this 50% cut back assumption during drought drives
many of the report’s conclusions about needed infrastructure investments and policy changes, a val-
idated and nuanced analysis of potential supply scenarios informed by better planning targets from
BAWSCA and SFPUC would significantly strengthen the plan’s utility for decision-making.
While we understand Staff’s desire to ensure planning processes align with SFPUC’s policies and forecasts,
the 50% cutback scenario should not be used in the City’s planning framework without further validation.
We recommend that the City engage with SFPUC and BAWSCA to refine supply and demand projections so
that Palo Alto’s water planning incorporates realistic cutback assumptions. Better cutback assumptions
will provide actional guidance for both near-term and long-term decision-making.
Second, the OWP’s evaluation methodology also raises significant technical concerns about how different
water supply options are compared and ranked. The plan uses a weighting scheme that normalizes various
criteria (like unit cost, reliability, and environmental benefits) to a 1-5 scale and then applies weighted scor-
ing to compare portfolios. This approach, however, violates the Independence of Irrelevant Alternatives
principle—meaning that the relative ranking between two options can change based solely on the charac-
teristics of an unrelated third option, even when nothing about the two options being compared has
changed. For example, changes in the cost of one portfolio could artificially alter the scoring and perceived
relative merits of other portfolios, even though their underlying costs and benefits remain exactly the same.
Instead of using this potentially misleading scoring system, we recommend that future evaluations present
the actual underlying metrics (such as dollar cost per acre-foot) directly to decision-makers, allowing for
transparent analysis of tradeoffs between different options.
* * *
Overall, while the OWP found that some alternatives were infeasible, helping save the city analysis time in
the future, adopting the OWP appears premature given current regional developments. SFPUC is just begin-
ning its own alternative water supply planning process, with a focus on purified water projects. SFPUC’s
at 2-8 (“Based upon the City’s forecasted water demand presented in the City’s 2020 UWMP and projections of wa-
ter supply availability provided by SFPUC at the time, the City anticipates the need to implement water use reduc-
tions of approximately 50 percent from pre-drought usage levels in dry years post Bay-Delta Plan implementation.”).
Memorandum: One Water Plan Review and Recommendations March XX, 2025
City of Palo Alto – Utilities Advisory Commission DRAFT
Page 3 of 4
recently approved 10-year capital improvement plan includes $260 million for alternative water supply pro-
grams within its $3.16 billion total budget, and much of this planning remains in early stages. Furthermore,
public comment indicates that even under a worst-case scenario combining the Bay-Delta Plan flows with
the worst recorded drought, SFPUC could manage without requiring rationing or new water supplies, which
requires further study. More fundamentally, as highlighted in recent Commission discussions, while no in-
vestments are being recommended at this time, Palo Alto should avoid rushing into major alternative water
supply planning and investments without first having robust data, transparent and robust modeling, and
clear understanding of assumptions. This is particularly important given historical patterns of overestimat-
ing water demand and the need to carefully evaluate the policy, affordability, and regional growth implica-
tions of various supply options. The city should instead focus on supporting and engaging with regional ef-
forts through SFPUC and BAWSCA to comprehensively assess future water supply needs and approaches.
Thus, the UAC believes addressing the strategic issues outlined below would significantly strengthen the
city’s water planning approach. We recommend working closely with BAWSCA and SFPUC to develop and
validate more accurate cutback assumptions based on updated demand projections, refined drought sce-
nario planning, and adaptive infrastructure approaches that reflect actual system performance and current
climate science.
STRATEGIC CONSIDERATIONS
Several strategic considerations emerge from this review.
First, Palo Alto’s water security planning should reflect its position within the broader regional water system,
recognizing our role as a small consumer in a complex network. A comprehensive approach would examine
regional supply and demand patterns while incorporating trigger-based adaptive planning strategies—par-
ticularly important given increasing uncertainty in water supply conditions. The OWP, while it should not be
adopted, at least provided a start at assessing local and regional alternatives. While local resilience
measures like groundwater wells serve an important role, larger-scale solutions such as water reuse and
brackish water desalination may be most effectively pursued through regional collaboration due to econo-
mies of scale in treatment cost and the pre-existence of a regional water conveyance network. Local initia-
tives such as on-site non-potable reuse for commercial, multifamily, and even single-family residential
properties could complement these regional efforts. The city could consider developing staged policies and
incentives to advance these objectives.
Second, the financial aspects of water management deserve careful attention. Recent rate increases reflect
both SFPUC wholesale costs and investment in Palo Alto’s distribution infrastructure. The latter represents
essential maintenance to ensure system reliability and safety. As conservation efforts progress, the propor-
tion of fixed costs in water bills may increase—a trend that warrants thoughtful policy consideration. Higher
water bills have incentivized more conservation which will likely drive demand lower. This creates a chal-
lenging communication issue, as customers find it counterintuitive that rates continue to rise faster than
inflation despite increased conservation efforts.
Memorandum: One Water Plan Review and Recommendations March XX, 2025
City of Palo Alto – Utilities Advisory Commission DRAFT
Page 4 of 4
Third, the OWP’s assessed water sources face various implementation challenges that affect their viability.
Some options, such as a quarter-billion-dollar desalination plant on the bay, are simply not realistic and
need not be pursued further. The regional trend toward indirect and direct potable reuse (IPR/DPR) repre-
sents one pathway forward, though successful implementation typically requires sustained public engage-
ment and education spanning decades. Palo Alto could play a constructive role in encouraging BAWSCA
and SFPUC to begin foundational public outreach efforts now if these sources are anticipated to enter our
water supply in the next twenty years.
Finally, continued engagement with regional partners, particularly BAWSCA, remains important. Early co-
ordination with BAWSCA’s new leadership could help advance shared objectives, including refined demand
projections, stronger probabilistic assessment of appropriate design droughts under different climate sce-
narios, and development of adaptive infrastructure planning. The Council has a BAWSCA Director who can
ensure Palo Alto’s interests remain central to regional planning discussions, thereby reinforcing the need
for rigorous, data-driven approaches that align with the City’s strategic priorities. Furthermore, the UAC rec-
ommends that Council meet with the new BAWSCA CEO Thomas “Tom” Smegal as soon as possible to
emphasize these priorities.
CONCLUSION
The UAC encourages the City Council to consider these observations as it works with local and regional
partners to strengthen water security planning. The UAC stands ready to provide additional detail, clarifica-
tion, or support regarding any aspects of these recommendations. We would also like to thank Staff for their
thoughtful and supportive engagement on these issues.
Respectfully submitted,
Utilities Advisory Commission, City of Palo Alto
Greg Scharff, Chair
Meagan Mauter, Vice Chair
Rachel Croft
Utsav Gupta
Phil Metz
Robert Phillips
Chris Tucher
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DRAFT - UAC to Council
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consistently high, but what is the reason for using the higher Enterprise forecast in the projections you present and
use to determine water needs in the Alternative Water Supply Plan? We ask that SFPUC re-run its analysis based on
lower demand projections. One scenario we’d like to see would be based on the projections of SFPUC’s own Finance
Bureau, which we understand to be considerably lower than those of its so-called Water Enterprise. Another scenario
would be based on demand numbers that continue the downward trend of the last 25 years.
On the supply side, we understand that SFPUC projections are based on a “design drought” that is very conservative.
It’s our understanding that this design drought is based on the most severe six years of drought in recorded history,
then made more severe by grafting on data from the driest two-year period in recent history to create an eight-year
scenario that is much more severe than any drought over the past 1,000+ years based on observations and tree ring
data. We’d like to know SFPUC’s assessment of the likelihood of this design drought occurring? We’d like to
understand your projections based on different “design drought” scenarios. What if the SFPUC model assumes just
the most severe 6-year period? What if one year (the eighth year) is removed from the design drought?
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Regards ...