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5A Public Hearings 2021 0706
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5A Public Hearings 2021 0706
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CM City Clerk-City Council
CM City Clerk-City Council - Document Type
Agenda
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7/6/2021
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Reso 2021-105 Callan & East 14th Project CUP, Parking and Site Plan
(Approved by)
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4 <br /> <br />near the Project site. An EIR is necessary to disclose the Cortese‐list status of the Project site. An EIR is <br />also necessary to disclose all impacts from cleanup, including health related impacts from assessment <br />and cleanup and to substantially mitigate such impacts. The Applicant should enter into an agreement <br />with the Regional Board for approval of the proposed residential land use. <br /> <br />Air Quality <br />Unsubstantiated Input Parameters Used to Estimate Project Emissions <br />The Checklist’s air quality analysis relies on emissions calculated with CalEEMod.2016.3.2 (p. 4‐12).3 <br />CalEEMod provides recommended default values based on site‐specific information, such as land use <br />type, meteorological data, total lot acreage, project type and typical equipment associated with project <br />type. If more specific project information is known, the user can change the default values and input <br />project‐specific values, but the California Environmental Quality Act (“CEQA”) requires that such changes <br />be justified by substantial evidence.4 Once all of the values are inputted into the model, the Project's <br />construction and operational emissions are calculated, and "output files" are generated. These output <br />files disclose to the reader what parameters were utilized in calculating the Project's air pollutant <br />emissions and make known which default values were changed as well as provide justification for the <br />values selected.5 <br />When reviewing the Project’s CalEEMod output files, provided in the Air Quality and Greenhouse Gas <br />Emissions Technical Reports (“AQ & GHG Report”) as Appendix A to the Checklist, we found that <br />several model inputs were not consistent with information disclosed in the Checklist. As a result, the <br />Project’s construction and operational emissions are underestimated. A full CEQA analysis should be <br />prepared to include an updated air quality analysis that adequately evaluates the impacts that <br />construction and operation of the Project will have on local and regional air quality. <br />Unsubstantiated Changes to CO2, CH4, and N2O Intensity Factors <br />Review of the CalEEMod output files demonstrates that the “Callan and E 14th Street Infill Checklist <br />Project Operations” model includes reductions to the default CO2, CH4, and N2O intensity factors (see <br />excerpt below) (Appendix A, pp. 131). <br /> <br /> <br />3 CalEEMod User Guide, available at: http://www.caleemod.com/. <br />4 CalEEMod User Guide, available at: http://www.caleemod.com/, p. 1, 9. <br />5 CalEEMod User Guide, available at: http://www.caleemod.com/, p. 11, 12 – 13. A key feature of the CalEEMod <br />program is the “remarks” feature, where the user explains why a default setting was replaced by a “user defined” <br />value. These remarks are included in the report. <br />119
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