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` The reasonably foreseeable maximum production rate should have been <br /> calculated from the resource size, equipment capacity, and reasonable worst-case <br /> operating scenario. The emissions from other portions of the facility were based on <br /> operating 8 hours per day for 261 days per year. Thus, assuming the quarry operates <br /> on the same schedule at its design capacity of 8,000 ton/hour, the maximum annual B-36 <br /> tonnage would be 16.7 million tons per year or four times more than disclosed in the cont. <br /> Draft EIR. The Excel spreadsheets assume an in-place density for aggregate of <br /> 8 ton/yd3 33 Thus, the in-place resource, amounting to 92,746,693 cubic yards (Draft <br /> EIR, Table 3-1),would last 44 years, well within the 26 to 60 year life stated in the <br /> Draft EIR, page 3-8. <br /> The revised PM10 emissions are shown in Table A-2. These two errors <br /> reduced PM10 emissions from quarry processing from 224.8 ton/year (Exhibit 1) to <br /> ,.. 117.4 ton/year (Table A-2). <br /> IV.D.5 Pit Feeders <br /> r. <br /> The Excel spreadsheets in Exhibit 1 indicate that the quarry processing rate is <br /> 6. 8,000 ton/hour. The equipment list indicates one pit feeder with a process rate of <br /> 2,000 ton/hour, but four pit conveyors rated at 2,000 ton/hour each. Thus, to B37 <br /> achieve the stated quarry processing rate, four pits would be required. Thus, the <br /> V Draft EIR has erred and assumed only one pit feeder rather than four or the design <br /> processing rate of 8,000 ton/hour assumed in other calculations is in error. In either <br /> case, the capacity of the pit conveyors determines the capacity of the quarry <br /> r. operations. Because operation at 8,000 tons per hour is reasonably foreseeable, the <br /> pit feeder emissions should be increased by a factor of four. <br /> ►� IV.D.6 Concrete Production and Recycling <br /> L The Draft EER states that the estimated annual production of concrete at the <br /> proposed ready-mix concrete batch plant would be 350,000 cubic yards and the <br /> L recycling plant would process approximately 100,000 cubic yards of concrete rubble B-38 <br /> per year. (Draft EIR, pp. 3-17, 4.6-21.) Review of the Excel spreadsheets provided by <br /> ESA shows that these process rates are the basis for calculating annual fugitive dust <br /> PM10 process emissions. (See Exhibit 1, "New Concrete Production and Concrete <br /> i. Recycling".) Process emissions are calculated by converting annual process <br /> emissions in cubic yards per year into annual process emissions in tons per year and <br /> V <br /> 33 We question this density.The in-place density of aggregate is typically stated as around 2 ton/yd3. <br /> The Draft EIR should support this density or revise the emission and other calculations to use the <br /> correct value. <br /> L 27 <br />