HomeMy WebLinkAbout2026-03-10 Great Marsh 40B-CCC Comment LetterGreat Marsh 40B, Barnstable
Cape Cod Commission Comments, March 2026
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Via Email
March 10, 2026
Barnstable Zoning Board of Appeals
Attn: Anna Brigham, Principal Planner
Re: ZB2025-025, Great Marsh Development LLC, Homes at Centerville Cove
40B Comprehensive Permit Application
Cape Cod Commission Staff Comments:
Pursuant to Section 13(j) of the Cape Cod Commission Act, the Cape Cod Commission
(“Commission”) is considered a “Local Board” for purposes of M.G.L. c. 40B, §§ 20-23. Accordingly,
the Commission provides, through its staff and in its capacity as a Local Board, the following review
comments to the Barnstable Zoning Board of Appeals (“ZBA”) on the above-referenced matter.
The Applicant, Great Marsh Development LLC, proposes to develop 20 detached, 3-bedroom, single-
family dwellings and 36 rental units in one building with a mix of 2- and 3-bedroom apartments (“the
Project”) located on +/- 6.8 acres at 39, 51, 61, and 75 Great Marsh Road; 195 Phinney’s Lane; and 40
Richardson Road, in Centerville, MA (“Project Site”). The Executive Office of Housing and Livable
Communities (“EOHLC”) issued a determination of Project Eligibility letter, and the Applicant is
requesting a Comprehensive Permit pursuant to M.G.L. c. 40B § 21.
The Commission seeks to protect the unique values and quality of life on Cape Cod, guided by the
Cape Cod Commission Act and Cape Cod Regional Policy Plan (“RPP”). The 2025 RPP sets forth
numerous Goals and Objectives related to the region’s built and natural resources. Based on the
character and location of this Project, the following issues appear relevant: housing, transportation,
water resources, wildlife & plant habitat, community design, cultural heritage and energy.
Great Marsh 40B, Barnstable
Cape Cod Commission Comments, March 2026
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HOUSING
The Cape Cod Commission Act and RPP aim to promote the production of an adequate supply of
ownership and rental housing that is safe, healthy, and attainable for people with different income
levels and diverse needs. The RPP Housing Goal and Objectives include increasing the total supply of
year-round units, making housing more affordable across the income spectrum, and providing
greater diversity and choice, with particular emphasis on creating smaller units. The RPP Housing
Technical Bulletin identifies attainable housing types with reference to Area Median Income (“AMI”)
as determined by the U.S. Department of Housing and Urban Development (“HUD”). Affordable
Housing is restricted to households earning less than 80% of AMI, including Very Low Income
Housing (50% or less of AMI), and Low Income Housing (51-79% of AMI). The Commission also
encourages the provision of Workforce Housing (81%-120% of AMI), recognizing the increasing need
for units available to households that exceed typical Affordable Housing income limits but are priced
out of market-rate units. To support the RPP’s Housing Goal and Objectives, the Commission
completed a Regional Housing Strategy in 2024 which includes a baseline needs assessment and
town-specific housing profiles.
Cape Cod faces a well-documented, acute, and growing shortage of attainable homes across all
towns, which threatens the viability of our year-round economy, and the well-being of our residents.
The Commission’s 2023 Regional Housing Needs Assessment revealed significant challenges for
year-round renters including affordability, lack of available units, and housing instability. As of
September 2025, just over 7.2% of Barnstable’s year-round housing stock was Affordable according
to the EOHLC website, below the 10% threshold under Chapter 40B.
This Project addresses the regional housing challenges by providing new income-restricted
ownership and rental units. While the final details of the number of Affordable units have yet to be
determined, at least 13 of the 56 units will be deed-restricted as Affordable. Commission staff note
that the application materials state the deed restriction length cannot be longer than 30-years due
to Commonwealth Builder funding requirements; Commission staff recommend the maximum
length allowed is pursued for the deed restrictions. The proposal meets or exceeds the RPP Housing
Goal’s 20% affordability requirement for projects with 10 or more units. The Project is consistent
with the RPP objectives related to increasing overall supply, creating more variety in the available
housing stock, and reserving units for households earning below median wages. The increase in
Affordable Housing will provide much-needed housing for qualifying households and ease the
overall supply shortage which drives up prices for all types of homes across the region.
TRANSPORTATION
The RPP Transportation Goal is to provide and promote a safe, reliable, and multi-modal
transportation system. A Traffic Impact Assessment (“TIA”) was prepared and submitted by the
Applicant’s traffic consultant to quantify the potential traffic impacts associated with the new 56-unit
residential development. A Traffic Impact and Access Study (TIAS) was prepared in a professional
manner and included a large study area to assess traffic impacts. The development is projected to
generate approximately 344 vehicle trips per day with approximately 30 vehicle trips occurring
Great Marsh 40B, Barnstable
Cape Cod Commission Comments, March 2026
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during the peak hours. The TIAS identified the Route 28 and Phinney’s Lane intersection as a high
crash location, however, no safety mitigation measures are proposed. It appears that the project will
not result in a significant change in Level of Service (LOS) within the study area and that adequate
Intersection Sight Distance (ISD) and Stopping Sight Distance (SSD) are provided at Great Marsh
Road at Juniper Road for the proposed site driveway.
For multimodal considerations, Commission staff support the inclusion of an emergency access
drive to Phinney’s Lane, installation of a sidewalk along Phinney’s Lane to connect with the existing
Route 28 sidewalk and crosswalk, and the provision of bicycle racks on site. The proposal also
includes an internal pedestrian connection from the development to Phinney’s Lane. Consideration
was given to relocating this pedestrian connection onto the Town’s adjacent sewer pump station
property; if the Town is willing to grant an easement, this would be a viable option.
The development will have access to CCRTA transit service with transit stops located within a
reasonable distance. We further suggest the project incorporate Transportation Demand Measures
(TDM), such as a welcome packet or posting of transit schedules in a common area, to further
promote trip reduction measures to/from the site.
Overall, the project appears to address applicable transportation considerations consistent with RPP
guidance, however, further safety enhancements should be given to the high crash intersection of
Route 28 at Phinney’s Lane, if possible.
WATER RESOURCES
The RPP Water Resources Goal is to maintain a sustainable supply of high- quality drinking water
and protect, preserve, and restore the ecological integrity of fresh and marine surface water
resources. The RPP Water Resources Goal and Objectives, the Cape Cod Area Wide Water Quality
Management Plan (the “208 Plan”), and the Cape Cod Freshwater Strategy seek to maintain the
integrity and health of the aquifer and the various systems connected to it while encouraging
provision of water resource infrastructure and growth that is appropriate in form and location. The
RPP Technical Guidance identifies certain sensitive locations, including Marine and Freshwater
Recharge Areas, Wellhead Protection Areas, Potential Public Water Supply Areas, and Impaired
Areas, where water resources protection is especially important.
The Project Site is located within the Centerville River marine water recharge area, and within the
freshwater recharge area to Long Pond Centerville, but is not located within any other mapped
water resource areas. The Project’s proposed 56 housing units would be connected to the
Barnstable sewer system, and the Project does not propose to dispose of any wastewater onsite.
Runoff from impervious surfaces will be managed by a stormwater system incorporating vegetated
swales, bioretention areas, and subsurface infiltration chambers to provide water quality treatment
and retain runoff on the project site. The conceptual treatment process shown on the Grading and
Drainage plan appears generally consistent with the RPP Water Resources goal and objectives.
Commission staff note that sizing and calculation details regarding the stormwater management
system are not included and should be provided to properly verify the system meets applicable
Great Marsh 40B, Barnstable
Cape Cod Commission Comments, March 2026
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MassDEP and Town of Barnstable stormwater requirements. Because the Project is located within a
freshwater recharge area, stormwater control measures should be optimized for additional
phosphorus removal where possible.
WILDLIFE & PLANT HABITAT
The RPP Wildlife and Plant Habitat Goal is to protect, preserve, or restore wildlife and plant habitat
to maintain the region’s natural diversity. Cape Cod is located within the southern Massachusetts
Pine Barrens eco-region, a globally rare habitat comprised of a unique assemblage of plants and
animals that thrive in the low nutrient soils and variable climate found in the region. These
woodlands support native plant and wildlife species and traditional uses, providing important
habitat diversity and value to the region.
The proposed development is on +/- 6.8 acres of land that is currently a mix of single-family homes
and vacant land. The land is abutted by a memory care facility, a town-owned parcel used as a sewer
pump station, and single-family residential lots. There are no mapped natural resource areas on the
site, including no mapped wetlands or wetland buffers, no vernal pools, no NHESP priority habitat
for rare species, no BioMap Core Habitat or Critical Natural Landscape, and the site is not within a
Potential Public Water Supply Area or Wellhead Protection Area. There is no protected open space
abutting the Project Site and it is not in the present or future floodplain.
The entire site is mapped Prime Farmland. Commission staff recommend that the applicant follow
Massachusetts Healthy Soils Action Plan guidance for managing soils on site including minimizing
soil disturbance and compaction, prioritizing onsite soil reuse, implementing strategic soil
stockpiling, addressing compaction post-construction, and tailoring soil preparation for landscape
types.
Commission staff note that the landscaping plan has limited information, showing only select areas
of proposed tree and shrub plantings. While some native landscaping is proposed, most of the
proposed plantings are of green giant arborvitae—a non-native cultivar. Commission staff suggest
that landscape plans for the individual lots be provided to show how these areas will be landscaped
and to confirm predominantly native species of trees, shrubs, and groundcovers will be used to
minimize fertilization and irrigation requirements and to maximize wildlife and plant habitat
benefits. Staff further suggest that the Applicant submit a plan that shows the limits of clearing and
recommend that clearing be minimized, retaining as many native trees, shrubs, and groundcovers
as possible, particularly within the setback areas. Any tree clearing should be timed in the winter to
avoid or minimize impacts to wildlife.
Commission staff appreciate the Applicant’s proposed use of low impact development practices,
lighting consistent with dark sky standards, and inclusion of a playground.
COMMUNITY DESIGN
Great Marsh 40B, Barnstable
Cape Cod Commission Comments, March 2026
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The RPP Community Design Goal is to protect and enhance the unique character of the region’s built
and natural environment based on the local context. The RPP Community Design Technical
Guidance promotes context-sensitive design that uses traditional Cape Cod materials and forms
while minimizing development footprints and adverse impacts to scenic resources. Projects are
generally encouraged to cluster development on a given site to minimize new disturbance and the
extent of impervious surfaces including roadways and parking lots. Buildings should incorporate
traditional materials, provide variation in facades and roof forms, and/or employ vegetative
screening to ensure new development does not adversely impact the surrounding areas.
Great Marsh Road and Phinney's Lane are local scenic roads. Commission staff suggest that the
Applicant provide additional information to evaluate the development’s visual impact from the road
and any proposed screening. The Applicant should submit floor plans, elevations, and proposed
exterior materials for the single-family and multifamily units. As suggested under the Wildlife & Plant
Habitat discussion, a revised landscape plan should show what vegetation will be cleared as well as
the limits of clearing. Proposed landscape plans should also be provided for the single-family homes
and lots. The plan should also include sidewalks and any other kind of pedestrian pathways and
connections to the street, locations of driveways, and all impervious surfaces across the site.
CULTURAL HERITAGE
The RPP Cultural Heritage Goal seeks to protect and preserve the significant cultural, historic, and
archeological values and resources of Cape Cod. According to the Massachusetts Cultural Resource
Information System, there are no inventoried historic or cultural resources in the project area that
would be impacted by the proposed building. However, there is potential for archaeological impacts
because the Project involves new clearing.
Any work on undeveloped properties, or on land that has not been disturbed in the last century,
requires consideration of archaeological resources to determine whether significant resources are
present. Staff would recommend that the Applicant file a Project Notification Form (PNF) filing with
Massachusetts Historical Commission regarding the buildings that are proposed to be demolished
and to determine if the Project Site is known to be archaeologically sensitive.
ENERGY
The RPP Energy Goal is to provide an adequate, reliable, and diverse supply of energy to serve the
communities and economies of Cape Cod. The RPP encourages projects to incorporate on-site
renewable energy generation where feasible, commit to purchase green power, locate utilities
underground, and minimize energy consumption with appropriate efficiency and conservation
measures, including electric vehicle (“EV”) chargers. The Applicant should evaluate options for
incorporating renewable energy generation, electrification, and energy/water efficiency measures.
CONCLUSION
Great Marsh 40B, Barnstable
Cape Cod Commission Comments, March 2026
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Commission Staff recognize that the Project addresses the urgent and growing need for affordable
housing in both the Town of Barnstable and the broader Cape Cod region. The Applicant should
supplement the application materials as recommended above. Commission Staff are available to
answer any questions you might have about these comments.
Sincerely,
Kristy Senatori
Executive Director
Cc: Project File – via email
Anna Brigham, Principal Planner, Barnstable ZBA
James Kupfer, Director of Planning and Community Development, Barnstable
Barnstable Cape Cod Commission Representative
Cape Cod Commission Chair
Cape Cod Commission Committee on Planning and Regulation Chair