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<br /> The proposed project component is in compliance with all applicable DTPP standards relevant to air quality and
<br />transportation, and as a result, no additional air quality impacts related to an applicable air quality plan or standard are
<br />anticipated. Because the proposed 1900 Broadway project component would have a less than significant impact for
<br />the reasons stated above, it would be consistent with the analysis of the EIR/SEIR because it would not create new
<br />impacts or increase impacts, and there is no new information of substantial importance than identified within the
<br />EIR/SEIR for CEQA purposes.
<br />b. The Downtown Precise Plan program EIR (p. 12-18) found that the projected rate of increase in vehicle trips under
<br />the DTPP would be less than the rate of increase in population (in accordance with the BAAQMD CEQA Air Quality
<br />Guidelines at the time) and therefore, the regional air quality impacts from criteria pollutant and ozone precursor
<br />emissions associated with the DTPP were found to be less than significant and no mitigation measures were required.
<br />The DTPP Plan-Wide Amendments program SEIR (pp. 12-32 through 12-40) included a plan-level analysis and
<br />project-level analysis of criteria air pollutant emissions resulting from the DTPP Plan-Wide amendments in
<br />accordance with the 2017 BAAQMD CEQA Air Quality Guidelines. The SEIR determined that because the rate of
<br />increase in VMT would be less than the rate of service population growth, the proposed DTPP Plan-Wide
<br />Amendments would result in a less-than-significant impact with respect to regional criteria air pollutants at a plan-
<br />level. The SEIR assumed that at a project level, the Plan-Wide DTPP Amendments would indirectly result in
<br />development of new residential and office uses which would involve demolition and removal of existing structures,
<br />excavation, site preparation, and construction of new buildings and associated utilities. The SEIR conservatively
<br />determined that construction and operational emissions from resulting development from the Plan-Wide DTPP
<br />Amendments could lead to potentially significant impacts related to fugitive dust and criteria air pollutants. To address
<br />these potentially significant impacts, the SEIR included the following mitigation measures: Mitigation Measure AQ-
<br />2a (“Best Management Practices for Construction Dust Suppression”) and Mitigation Measure AQ-2b (“Emission
<br />Reduction Measures for Projects Exceeding the Significance Thresholds for Criteria Pollutants”), to ensure
<br />implementation of best management practices consistent with BAAQMD recommendations. Mitigation Measure AQ-
<br />2a, which applies to all projects, requires use of best management practices to reduce fugitive dust emissions during
<br />construction, consistent with BAAQMD recommendations, and has been determined by the DTPP Plan-Wide
<br />Amendments program SEIR to reduce construction period fugitive dust emissions to less-than-significant levels with
<br />mitigation. Mitigation Measure AQ-2b requires projects that exceed BAAQMD screening levels prepare a project-
<br />level criteria air pollutant assessment of construction and operational emissions at the time the project is proposed. If
<br />the analysis finds that the project could result in criteria air pollutant emissions that exceed BAAQMD significance
<br />thresholds, the project would be required to implement emission reduction measures specified in the SEIR mitigation
<br />measure related to clean construction equipment, operational emission reductions, and, if warranted, possible emission
<br />offset fees.
<br />The SEIR determined that the specific emissions associated with future projects were unknown at the time, and
<br />therefore the effectiveness of emission reduction measures could not be definitively determined, so criteria air
<br />pollutants from construction and operation of subsequent projects developed under the proposed DTPP Plan-Wide
<br />Amendments were found to result in a new and more severe impact than the impact identified in the DTPP EIR. This
<br />impact was conservatively found to be significant and unavoidable with mitigation
<br />The 1900 Broadway project component is subject to Mitigation Measure AQ-2a regarding construction dust. With the
<br />implementation of Mitigation Measure AQ-2a, the 1900 Broadway project component would result in a less than
<br />significant impact with respect to construction/fugitive dust.
<br /> In accordance with Mitigation Measure AQ-2b, an air quality analysis for the proposed project component was
<br />prepared by Illingworth & Rodkin, Inc. (“1900 Broadway Air Quality & Greenhouse Gas Assessment, Redwood City,
<br />California;” Illingworth & Rodkin, Inc.; May 17, 2024, revised June 11, 2024). As discussed in the Illingworth &
<br />Rodkin analysis (p. 1), “Air quality impacts would be associated with demolition of the existing land uses, construction
<br />of the new building and infrastructure, and operation of the project. Air pollutant and GHG emissions associated with
<br />construction and operation of the project were predicted using appropriate computer models.” The air quality
<br />assessment was prepared following BAAQMD’s 2022 CEQA Air Quality Guidelines.
<br /> Illingworth & Rodkin used CalEEMod to estimate emissions from project construction that include on-site
<br />construction activity, construction vehicle trips, and evaporative emissions. The analysis estimated project emissions
<br />using information provided by the applicant on the construction build-out scenario, including the equipment and
<br />quantities, average hours per day, total number of workdays, and schedule. Additional information in the model
<br />included estimated vehicle trips (including worker and vendor trips, haul trips for demolition, soil import/export, and
<br />materials delivery). The input data also considered project size, acreage, and land use (regional shopping center,
<br />general office building, and enclosed parking with elevator). Other items such as evaporative emissions (e.g.,
<br />ATTY/RESO.0074/CC RESO 847 WOODSIDE (CEQA) - EXHIBIT 1 - CEQA CONSISTENCY CHECKLIST
<br />REV: 10-23-24 VR
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