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AgdaPkt 2013-09-09
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AgdaPkt 2013-09-09
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Last modified
9/16/2013 11:04:42 AM
Creation date
9/5/2013 5:04:57 PM
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CC Index
CC Index - Document Type
Agenda Packet
Meeting Type
Regular
Agency Type
City Council
Date
9/9/2013
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a,7.A. - Page 21 <br /> 19. Use low-VOC (i.e., ROG) coatings beyond the local requirements (i.e., <br /> Regulation 8, Rule 3: Architectural Coatings). <br /> 20. All construction equipment, diesel trucks, and generators shall be equipped <br /> with Best Available Control Technology for emission reductions of NOx and PM. <br /> 21. All contractors shall use equipment that meets ARB's most recent <br /> certification standard for off-road heavy-duty diesel engines. <br /> (c) Proiect-Specific Measures: <br /> 22. For construction, off-road equipment shall be Tier 4 or shall achieve Tier 4 <br /> particulate matter emission levels through use of one or more of the following: <br /> Tier 2/Tier 3 equipment with diesel particulate filters; alternative fuels (e.g. <br /> biodiesel or liquefied natural gas); and/or electrification. <br /> 23. For each phase of project construction, the applicant shall maintain ROG <br /> emission below 54 pounds per day. The applicant may demonstrate compliance <br /> with this limit through one or more of the following: strategic project phasing, use <br /> of pre-coated building materials, and/or use of low-VOC coatings beyond the <br /> requirements of BAAQMD Regulation 8, Rule 3. <br /> Finding: Implementation of Mitigation 8-1 would reduce project construction-related air <br /> quality impacts due to localized PM,o and ROG emissions to a less-than- <br /> significant level. However, though the NOx emissions from construction of the <br /> project would be reduced by up to 20 percent, there is a potential that <br /> construction period NOx emissions could still exceed the BAAQMD threshold <br /> even with the mitigation measure, and as a result, the potential impact from NOx <br /> is considered significant and unavoidable. <br /> Facts in Support of Finding: The identified grading, demolition, and construction mitigation <br /> measures are recommended by BAAQMD or are based on the BAAQMD CEQA <br /> Guidelines. They are effective methods for reducing equipment exhaust <br /> emissions and fugitive dust to the maximum extent feasible. However, due to the <br /> extent of on-site construction at any one time, there is a potential that <br /> construction period NOx emissions could still exceed the BAAQMD threshold <br /> even with mitigation, and as a result, the potential impact from NOx is considered <br /> significant and unavoidable. These facts are described and quantified in Draft <br /> EIR chapter 8 (Air Quality) on pages 8-1 through 8-28, Draft EIR appendix 21.4 <br /> (Supplemental Air Quality and Climate Change Information), and Final EIR <br /> appendix B (Supplemental Bay Area Air Quality Management District [BAAQMD] <br /> Information), which are hereby incorporated by reference. <br /> Impact: Impact 8-2: Operational Emissions Increases. Project development would <br /> generate stationary, area, and traffic air pollutant emissions increases. These <br /> emissions would not subject sensitive receptors to substantial pollutant <br /> concentrations, but emissions of ROG and PM,o would exceed BAAQMD <br /> significance thresholds. <br /> ATTY/RES0.2901/STANFORD EIR CERTIFICATION <br /> REV:08-29-13 VR <br /> Page 11 of 56 <br />
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