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SU0011836
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SU0011836
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Last modified
12/18/2023 10:35:38 AM
Creation date
9/4/2019 10:04:10 AM
Metadata
Fields
Template:
EHD - Public
ProgramCode
2600 - Land Use Program
RECORD_ID
SU0011836
PE
2656
FACILITY_NAME
PA-1800090
STREET_NUMBER
9999
Direction
S
STREET_NAME
AUSTIN
STREET_TYPE
RD
City
MANTECA
Zip
95336-
APN
20106003, -05, 18115007, -16
ENTERED_DATE
6/26/2018 12:00:00 AM
SITE_LOCATION
9999 S AUSTIN RD
RECEIVED_DATE
8/15/2023 12:00:00 AM
P_LOCATION
99
P_DISTRICT
004
QC Status
Approved
Scanner
SJGOV\gmartinez
Supplemental fields
FilePath
\MIGRATIONS\A\AUSTIN\9999\PA-1800090\SU0011836\APPL.PDF \MIGRATIONS\A\AUSTIN\9999\PA-1800090\SU0011836\EHD COND.PDF \MIGRATIONS\A\AUSTIN\9999\PA-1800090\SU0011836\DRAFT SEIR-09-2018.PDF \MIGRATIONS\A\AUSTIN\9999\PA-1800090\SU0011836\EIR-07-2018.PDF
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EHD - Public
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Draft Supplemental Environmental Impact Report Page IV.D-27 <br /> Forward Inc. Landfill 2018 Revised Project <br /> Mitigation Measure D.3. (Same as 2013 EIR Mitigation Measure D.3.): To reduce the potential <br /> for any off-site odor impacts, the Odor Control Management Plan for Forward Landfill shall be <br /> modified to include daily management odor inspections when cannery wastes are being <br /> processed. <br /> Impact D.4. Project operations would generate emissions of GHG that could conflict with the <br /> implementation of the California Global Warming Solutions Act of 2006 (AB32) (Revises <br /> 2013 FEIR Impact 13.5.). <br /> As with other individual projects,the specific emissions from this project would not be expected <br /> to individually have an impact on Global Climate Change,but they are analyzed for the <br /> potential for a significant contribution to the cumulative impact on GHG emissions.13 Recent <br /> guidance indicates that GHG-related impacts are considered to be exclusively cumulative <br /> impacts;there are no non—cumulative GHG emission impacts from a climate change <br /> perspective.14 <br /> 1 Three types of analyses are used to determine whether the project could be in conflict with the <br /> State goals for reducing GHG emissions. The analyses are as follows: <br /> A)Identification of any potential conflicts with the CARB's GHG 39 recommended <br /> actions in the adopted Initial Climate Change Scoping Plan's and recommended actions <br /> in the 2013 Scoping Plan(First Update)and 2017 Scoping Plan (Second Update). <br /> B) Evaluation of the relative size of the project. The project's GHG emissions will be <br /> compared to the size of major facilities that are required to report GHG emissions <br /> (25,000 metric tons/year of CO2e)16 to the State;and the project size will be compared to <br /> the estimated State GHG reduction goal of approximately 169 million metric tons of <br /> CO2e per year by 2020. As noted,the 25,000 metric ton annual limit identifies the large <br /> stationary point sources in California that make up 94 percent of the stationary <br /> emissions. If the project's total emissions are below this limit,the total emissions are <br /> equivalent in size to the smaller projects in California that as a group only make up six <br /> percent of all stationary emissions. It is assumed that the activities of these smaller <br /> projects will not conflict with State's ability to reach overall goals outlined within AB 32. <br /> In reaching its goals the CARB will focus upon the largest emitters of GHG emissions. <br /> C)Any potential conflicts with an applicable plan,policy, or regulation adopted for the <br /> purpose of reducing the emissions of greenhouse gases. <br /> ,3 Association of Environmental Professionals(AEP),Alternative Approaches to Analyzing Greenhouse Gas <br /> ' Emissions and Global Climate Change in CEQA Documents,2007. <br /> 14 California Air Pollution Control Officers Association(CAPCOA),CEQA and Climate Change:Evaluating <br /> and Addressing Greenhouse Gas Emissions from Projects Subject to the California Environmental Quality Act,2008. <br /> is California Air Resources Board,Climate Change Scoping Plan Appendices,Volume L Supporting Documents and Measure <br /> Detail,Appendix E List of Recommended Actions by Tons.December,2008. <br /> 16The State of California has not provided guidance as to quantitative significance thresholds for assessing the impact <br /> of greenhouse gas emissions on climate change and global warming concerns. Nothing in the CEQA Guidelines <br /> directly addresses this issue. <br />
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