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SU0012600
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SU0012600
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Last modified
12/6/2019 10:15:36 AM
Creation date
11/6/2019 8:55:08 AM
Metadata
Fields
Template:
EHD - Public
ProgramCode
2600 - Land Use Program
RECORD_ID
SU0012600
PE
2626
FACILITY_NAME
PA-1800106
STREET_NUMBER
2820
Direction
S
STREET_NAME
B
STREET_TYPE
ST
City
STOCKTON
Zip
95206-
APN
17119036, 17119023
ENTERED_DATE
10/14/2019 12:00:00 AM
SITE_LOCATION
2820 S B ST
RECEIVED_DATE
10/11/2019 12:00:00 AM
P_LOCATION
99
P_DISTRICT
001
QC Status
Approved
Scanner
TSok
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EHD - Public
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Potential) Less Than Less Than Analyzed <br /> Potentially Significant with <br /> Significant Mitigation Significant No In The <br /> Impact Incorporated Impact Impact Prior EIR <br /> VIII. GREENHOUSE GAS EMISSIONS. <br /> Would the project: <br /> a)Generate greenhouse gas emissions,either directly or <br /> indirectly, that may have a significant impact on the ❑ X <br /> environment? <br /> b) Conflict with an applicable plan, policy or regulation <br /> adopted for the purpose of reducing the emissions of ❑ <br /> greenhouse gases? <br /> Impact Discussion: <br /> a-b) Emissions of GHGs contributing to global climate change are attributable in large part to human activities associated <br /> with the industrial/manufacturing, utility, transportation, residential, and agricultural sectors. Therefore, the cumulative <br /> global emissions of GHGs contributing to global climate change can be attributed to every nation, region, and city, and <br /> virtually every individual on earth. An individual project's GHG emissions are at a micro-scale level relative to global <br /> emissions and effects to global climate change; however, an individual project could result in a cumulatively <br /> considerable incremental contribution to a significant cumulative macro-scale impact. As such, impacts related to <br /> emissions of GHG are inherently considered cumulative impacts. <br /> Implementation of the proposed project would cumulatively contribute to increases of GHG emissions. Estimated GHG <br /> emissions attributable to future development would be primarily associated with increases of carbon dioxide(CO2)and, <br /> to a lesser extent, other GHG pollutants, such as methane(CH4)and nitrous oxide(N2O)associated with area sources, <br /> mobile sources or vehicles, utilities(electricity and natural gas),water usage,wastewater generation,and the generation <br /> of solid waste. The primary source of GHG emissions for the project would be mobile source emissions. The common <br /> unit of measurement for GHG is expressed in terms of annual metric tons of CO2 equivalents (MTCO2e/yr). <br /> As noted previously, the proposed project will be subject to the rules and regulations of the SJVAPCD. The SJVAPCD <br /> has adopted the Guidance for Valley Land-use Agencies in Addressing GHG Emission Impacts for New Projects under <br /> CEQA and the District Policy—Addressing GHG Emission Impacts for Stationary Source Projects Under CEQA When <br /> Serving as the Lead Agency.11 The guidance and policy rely on the use of performance-based standards, otherwise <br /> known as Best Performance Standards (BPS) to assess significance of project specific greenhouse gas emissions on <br /> global climate change during the environmental review process, as required by CEQA. To be determined to have a <br /> less-than-significant individual and cumulative impact with regard to GHG emissions, projects must include BPS <br /> sufficient to reduce GHG emissions by 29 percent when compared to Business As Usual (BAU) GHG emissions. Per <br /> the SJVAPCD, BAU is defined as projected emissions for the 2002-2004 baseline period. Projects which do not achieve <br /> a 29 percent reduction from BAU levels with BPS alone are required to quantify additional project-specific reductions <br /> demonstrating a combined reduction of 29 percent. Potential mitigation measures may include, but not limited to: on- <br /> site renewable energy (e.g. solar photovoltaic systems), electric vehicle charging stations, the use of alternative-fueled <br /> vehicles, exceeding Title 24 energy efficiency standards,the installation of energy-efficient lighting and control systems, <br /> the installation of energy-efficient mechanical systems,the installation of drought-tolerant landscaping,efficient irrigation <br /> systems, and the use of low-flow plumbing fixtures. <br /> It should be noted that neither the SJVAPCD nor the County provide project-level thresholds for construction-related <br /> GHG emissions. Construction GHG emissions are a one-time release and are, therefore, not typically expected to <br /> generate a significant contribution to global climate change.As such,the analysis herein is limited to discussion of long- <br /> term operational GHG emissions. <br /> 11 San Joaquin Valley Air Pollution Control District. Guidance for Valley Land-use Agencies in Addressing GHG Emission <br /> Impacts for New Projects under CEQA. December 17, 2009.San Joaquin Valley Air Pollution Control District. District Policy <br /> Addressing GHG Emission Impacts for Stationary Source Projects Under CEQA When Serving as the Lead Agency. <br /> December 17, 2009. <br /> PA-1800106 (RAA, UP)—Initial Study 15 <br />
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