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<br /> <br />North County Recycling Center and Sanitary Landfill Permit Revision Project <br />Final Initial Study/Mitigated Negative Declaration · San Joaquin County | May 2025 <br />36 <br /> <br />4.2.8 Greenhouse Gas Emissions <br />Would the project: <br />Potentially <br />Significant <br />Impact <br />Less-than- <br />Significant <br />Impact with <br />Mitigation <br />Incorporated <br />Less- <br />than- <br />Significant <br />Impact <br />No <br />Impact <br />a) Generate greenhouse gas emissions, either <br />directly or indirectly, that may have a <br />significant impact on the environment? <br /> <br />b) Conflict with any applicable plan, policy, or <br />regulation of an agency adopted for the <br />purpose of reducing the emissions of <br />greenhouse gases? <br /> <br /> <br />A Greenhouse Gas Emissions Technical Study for the project was prepared by Baseline <br />Environmental Consulting. The results of the study were documented in a Greenhouse Gas <br />Technical Study Memorandum prepared in March 2025 (Appendix D). The information in this <br />section is based on and adapted from the findings of the Greenhouse Gas Emissions Technical <br />Study. <br />ENVIRONMENTAL SETTING <br />Landfill gas (LFG) is a natural byproduct of the decomposition of organic material in landfills. <br />Methane and carbon dioxide are the primary constituents of LFG and are produced by the <br />decomposition of organic material within the landfill under anaerobic conditions. By volume, LFG <br />is typically comprised of about 50 percent methane and 50 percent carbon dioxide and water <br />vapor. In addition to these main components, LFG contains small amounts of nitrogen, oxygen, <br />and hydrogen, less than 1 percent non-methane organic compounds (NMOCs), and trace <br />amounts of inorganic compounds. The rate of methane generation is influenced by the amount of <br />bioavailable carbon, the characteristics of the waste (e.g., composition and age), and the <br />environmental conditions that support anaerobic bacterial activity. As waste is continuously <br />deposited in the landfill, methane production gradually increases throughout the landfill’s <br />operational life, typically reaching its highest level within several years after the final year of <br />waste disposal, often referred to as the landfill closure year. After closure and capping the <br />landfill, the rate of methane generation typically declines due to reduced moisture infiltration. <br />According to the Title V Permit (N-119-1-12) for the North County Landfill, the flare for the LFG <br />collection system must attain a methane destruction efficiency of at least 99 percent by weight. <br />In other words, flare combustion must convert at least 99 percent of the methane in LFG to <br />carbon dioxide (a less potent GHG) and other compounds. <br />REGULATORY SETTING <br />Clean Air Act <br />On April 2, 2007, the U.S. Supreme Court ruled that CO2 is an air pollutant as defined under the <br />Clean Air Act, and that the Environmental Protection Agency (EPA) has the authority to regulate <br />emissions of GHGs (U.S. Supreme Court, 2007). The EPA made two distinct findings regarding <br />GHGs under Section 202(a) of the Clean Air Act, as follows: