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District CEQA Reference No: 20180683 Page 3 of 4 <br /> requirements for full disclosure, the District recommends that the modeling <br /> outputs be provided as appendices to the SEIR. The District further <br /> recommends that the District be provided with an electronic copy of all input <br /> and output files for all modeling. <br /> ii. A discussion of the components and phases of the Project and the associated <br /> emission projections, (including ongoing emissions from each previous <br /> phase). <br /> 2. The proposed project is subject to District Rule 2010 (Permits Required) and Rule <br /> 2201 (New and Modified Stationary Source Review). Since this facility is currently <br /> permitted with the District (N-339 Forward Inc Landfill), any modification that <br /> would result in a change in emissions or change in method of operation/equipment <br /> requires the submittal of an Authority to Construct Permit application. As such, the <br /> District recommends the applicant contact the District's Small Business <br /> Assistance (SBA) office to determine whether an Authority to Construct (ATC) and <br /> Permit to Operate (PTO) are required, and to identify other District rules and <br /> regulations that apply to this project. SBA staff can be reached at (209) 557-6446. <br /> 3. Regulation VIII (Fugitive PM10 Prohibitions) - The Project will be subject to <br /> Regulation VIII. The Project proponent is required to submit a Construction <br /> Notification Form or submit and receive approval of a Dust Control Plan, if <br /> applicable, prior to commencing any earthmoving activities as described in District <br /> Rule 8021 — Construction, Demolition, Excavation, Extraction, and Other <br /> Earthmoving Activities. Information on how to comply with Regulation VIII can be <br /> found online at- http://www.valleyair.org/busind/comply/PM10/compliance_PM10.htm <br /> 4. Health Risk Assessment — In 2015, OEHHA revised their risk assessment <br /> guidelines. All calculations of risk should be made in accordance with OEHHA's <br /> current guidance. It is recommended that the Project proponent contact the District <br /> to review the proposed modeling protocol. The Project would be considered to have ' <br /> a significant health risk if the HRA demonstrates that the Project related health <br /> impacts would exceed the Districts significance threshold of 20 in a million for <br /> carcinogenic risk or 1.0 for the Acute and Chronic Hazard Indices. <br /> More information on toxic emission factors and HRAs can be obtained by: <br /> • E-Mailing inquiries to: hramodeler@valleyair.org; or <br /> • The District can be contacted at (559) 230-6000 for assistance, or <br /> • Visiting the Districts website (Modeling Guidance) at <br /> http://www.valleyair.org/busind/pto/Tox_Resources/AirQualityMonitoring.htm <br />