My WebLink
|
Help
|
About
|
Sign Out
Home
Browse
Search
SU0006254
EnvironmentalHealth
>
EHD Program Facility Records by Street Name
>
G
>
GRANT LINE
>
20058
>
2600 - Land Use Program
>
PA-0600364
>
SU0006254
Metadata
Thumbnails
Annotations
Entry Properties
Last modified
1/16/2020 3:43:59 PM
Creation date
9/5/2019 10:46:51 AM
Metadata
Fields
Template:
EHD - Public
ProgramCode
2600 - Land Use Program
RECORD_ID
SU0006254
PE
2691
FACILITY_NAME
PA-0600364
STREET_NUMBER
20058
Direction
W
STREET_NAME
GRANT LINE
STREET_TYPE
RD
City
MOUNTAIN HOUSE
APN
20907026
ENTERED_DATE
9/15/2006 12:00:00 AM
SITE_LOCATION
20058 W GRANT LINE RD
RECEIVED_DATE
9/12/2006 12:00:00 AM
P_LOCATION
99
P_DISTRICT
005
QC Status
Approved
Scanner
SJGOV\wng
Supplemental fields
FilePath
\MIGRATIONS\G\GRANT LINE\20058\PA-0600364\SU0006254\CDD OK.PDF
Tags
EHD - Public
Jump to thumbnail
< previous set
next set >
There are no annotations on this page.
Document management portal powered by Laserfiche WebLink 9 © 1998-2015
Laserfiche.
All rights reserved.
/
1070
PDF
Print
Pages to print
Enter page numbers and/or page ranges separated by commas. For example, 1,3,5-12.
After downloading, print the document using a PDF reader (e.g. Adobe Reader).
View images
View plain text
MOUNTAIN HOUSE PROPOSED ALTAMONT HEIGHTS TENTATIVE MAP 4. ENVE2ONMENTAL CHECKLIST <br /> 4.3 AIR QUALITY <br /> refuse piles are removed. The Altamont Heights project site is over one mile west of the <br /> abandoned dairies at Mountain House Parkway and Grant Line Road. <br /> Development of the proposed project would involve demolition or renovation of existing <br /> buildings that may contain asbestos. Therefore, the proposed project could contribute to the <br /> ` conditions that make Impact 4.12-2 significant and unavoidable. <br /> 6. Development of the proposed project would result in increases in long-term regional <br /> emissions,primarily associated with automobile traffic. Therefore, the proposed project <br /> would contribute to the conditions that make Impact 4.12-5 significant and unavoidable. <br /> DISCUSSION REGARDING PROPOSED PROJECT <br /> a) Conflict with or obstruct implementation of the applicable air quality plan? <br /> and <br /> b) Violate any air quality standard or contribute substantially to an existing or projected <br /> f. air quality violation? <br /> and <br /> f_ c) Result in a cumulatively considerable net increase of any criteria pollutant for which <br /> the project region is non-attainment under an applicable federal or state ambient air <br /> quality standard(including releasing emissions which exceed quantitative thresholds <br /> r. for ozone precursors)? <br /> Development of Specific Plan III, of which the proposed project is a part,would generate <br /> construction,motor vehicle, and other air emissions (from fireplaces,barbecues, etc). The <br /> MEIR calculated the potential air quality impacts associated with these emissions as part of <br /> the greater MHMP development and concluded that a significant unavoidable impact would <br /> r, occur(i.e.,conflict with or obstruct implementation of the SJVAPCD Air Quality Attainment <br /> Plan) even with implementation of the mitigation measures identified in the MEIR. <br /> Development of Specific Plan III could potentially conflict with the Air Quality Attainment <br /> 6. Plan,violate air quality standards, contribute substantially to an air quality violation, and/or <br /> result in a cumulatively considerable net increase of criteria pollutants for which the region is <br /> in non-attainment(EDAW, 2005b). <br /> Computer model results presented in the SPHIEIR revealed that development of Specific <br /> Plan III would result in long-tern regional emission of approximately 58 tons per year of <br /> ` reactive organic gas (a precursor to the formation of ozone), 38 tons per year of the oxides of <br /> nitrogen(principally nitrogen dioxide),and 112 tons per year of PMIO. SJVAPCD's <br /> recommended significance threshold for each of these emissions is 10 tons per year. <br /> ` Therefore, development of Specific Plan III may contribute to concentrations that exceed <br /> applicable standards because of current non-attainment conditions (EDAW, 2005b). The <br /> resulting impacts would be significant and unavoidable. <br /> 4-14 <br />
The URL can be used to link to this page
Your browser does not support the video tag.