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a reduction in GHG emissions, it would be well below BAAQMD's adopted greenhouse gas <br /> thresholds of significance. <br /> Therefore, when the local trip characteristics are taken into account along with the market shift <br /> for the underserved retail uses, changing the previously approved Office Only Project to the <br /> currently proposed Retail and Office Project would result in a reduction in the generation of <br /> GHG emissions. The changed project would result in no impact related to operational GHG <br /> emissions. <br /> Consistency with GHG Reduction Plans <br /> Significance Criteria: The Project would have a significant environmental impact if it was <br /> inconsistent with a plan, policy or regulation adopted for the purpose of reducing the emission of <br /> greenhouse gases. <br /> The Project is not located in a community with an adopted qualified GHG Reduction Strategy, so <br /> consistency with such a plan cannot be analyzed. Projected changes in GHG emissions have <br /> been analyzed per the BAAQMD June 2010 Draft Air Quality Guidelines. BAAQMD's <br /> thresholds and methodologies take into account implementation of state -wide regulations and <br /> plans, such as the AB 32 Scoping Plan and adopted state regulations such as Pavley and the low <br /> carbon fuel standard. Therefore, there would be no impact in relation to consistency with GHG <br /> reduction plans, policies or regulations. <br /> GHG EMISSIONS ANALYSIS FOR THE PLEASANTON GATEWAY PROJECT PAGE 9 OF 9 <br />