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Air Quality and Greenhouse Gas Technical Report Griffith Energy Storage Project <br /> CO2 CH4 N20 <br /> Annual <br /> Emissions(Metric tons) <br /> Total Operational GHG Emissions+ <br /> Amortized Construction GHG Emissions 124 <br /> Equivalent CO2e Emissions=Construction GHG Emissions x Global Warming Equivalent Factor <br /> As shown in Table 13, estimated annual Project-operational GHG emissions would be approximately 46 <br /> MT CO2e per year as a result of Project operation. Estimated maximum annual operational emissions and <br /> amortized construction emissions would be approximately 124 MT CO2e per year. As shown, the total <br /> annual emissions would be very low. The storage project is expected to support GHG reduction <br /> measures conducive to meeting the targets of SB 32 by 2030. Because the Project's GHG emissions <br /> would not result in a cumulatively considerable contribution, the Project would result in a less than <br /> significant cumulative impact in terms of climate change. <br /> 3.4.2 Would the project conflict with an applicable plan, policy, or regulation <br /> adopted for the purpose of reducing the emissions of greenhouse gases? <br /> No Impact. The Project would keep with renewable energy targets under the Scoping Plan, SB X1-2, and <br /> SB 350 by providing a source of renewable energy to achieve the RPS of 33 percent by the end of 2020 <br /> and 50 percent by the end of 2030. While GHG would be generated from construction and occasional <br /> operation and maintenance activities, the Project would result in a net reduction in GHG from battery <br /> storage that would potentially replace energy generated by fossil fuels. The Project would assist in the <br /> attainment of the state's goals by using a renewable source of energy that could displace electricity <br /> generated by fossil-fuel-fired power plants, and therefore would comply with the goals and objectives of <br /> the state. <br /> CARB's 2022 Scoping Plan for Achieving Carbon Neutrality(Scoping Plan, CARB 2022c)was prepared <br /> to address climate legislation passed since the last scoping plan, which was prepared in 2017. The <br /> Scoping Plan addresses AB 1279, SB 905, SB 1065, SB 1075, and other legislation and executive orders <br /> addressing GHG reductions in various manufacturing sectors and managing natural lands. <br /> The Scoping Plan lays out a roadmap for achieving carbon neutrality in California by 2045 or sooner. This <br /> 2022 plan addresses recent legislation and extends and expands upon earlier CARB plans with a target <br /> of reducing anthropogenic emissions to 85 percent below 1990 levels by 2045. The carbon neutrality goal <br /> is new in the 2022 plan and proposes both emissions reductions as well as capture and storage. Much of <br /> the state's success to date in reducing GHGs is due to decarbonization of the electricity sector as a result <br /> of the Renewable Portfolio Standards, SB 100 implementation, and the Cap-and-Trade Program (CARB <br /> 2022c). Clean energy generation and storage are a part of the 2022 Plan. According to the Scoping Plan, <br /> the estimated resources needed to meet future energy demand is approximately 72 GW of utility solar <br /> and 37 GW of battery storage by 2045. The Scoping Plan also acknowledges that both solar and battery <br /> storage projects over the period 2022-2035 will need to increase from the current proposed projects. <br /> Under the SJVAPCD's CEQA thresholds for GHG, a project would not have a significant GHG impact if it <br /> is consistent with an applicable plan to reduce GHG emissions, and a CEQA-compliant analysis was <br /> completed for the GHG reduction plan. The GHG emission goals in the SJCOG RTP/SCS are based on <br /> demographic data trends and projections that include household, employment, and total population <br /> statistics. The Project is anticipated to have one to two personnel traveling to the facility on a weekly <br /> basis starting in 2025. On intermittent occasions, workers may be required for repairs or replacement of <br /> equipment and other specialized maintenance. However, due to the self-operating nature of the facility, <br /> such actions would occur infrequently. The additional jobs estimated by the Project would be well within <br /> the annual growth projection for the SJCOG 2018 RTP/SCS. Therefore, the Project would be consistent <br /> OTETRA TECH 38 July 2023 <br />