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NOTICE OF WORKSHOP
City of Pleasanton
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2016
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041216
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NOTICE OF WORKSHOP
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11/30/2016 2:29:34 PM
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4/1/2016 4:37:15 PM
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CITY CLERK
CITY CLERK - TYPE
AGENDA REPORT
DOCUMENT DATE
4/16/2016
DESTRUCT DATE
15Y
DOCUMENT NO
NOTICE OF WORKSHOP
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2, Traffic-generated Emissions of Criteria Pollutants and Impact 4.B-3, Obstruction of <br /> Implementation of the 2010 Clean Air Plan, of the DSEIR and/or the Master Response to <br /> Comments about Draft SEIR Air Quality Impact Analysis in the RTC/FSEIR (Attachment <br /> 2 — Final RTC/FSEIR Master Responses). This section is a summary of the information <br /> found in those sources. <br /> The air quality analysis is based on the number, type, and duration of vehicle trips that <br /> would be "generated" by the JDEDZ. At the local level, all air quality impacts are less- <br /> than-significant. The DSEIR concluded that regional (Bay Area) air quality effects would <br /> be significant and unavoidable. The size and scope of the proposed JDEDZ would result <br /> in a volume of criteria pollutants that exceed the threshold identified by the region's air <br /> district (Bay Area Air Quality Management District). This threshold would be triggered by <br /> the construction of a project of this size anywhere in the region. <br /> Although club-retail-specific travel characteristics were not accounted for, the traffic <br /> analysis takes into account the fact that the JDEDZ would result in the development of a <br /> major retail component that will offer the ability to shop locally instead of driving to an out- <br /> of-town retail location. In this case, because the JDEDZ is located near a large <br /> customer/employee base, it will only increase vehicle miles traveled per individual by a <br /> marginal amount — about 0.02 to 0.04 miles per person who accesses the JDEDZ. The <br /> associated air pollutant emissions per capita are also marginal. <br /> The regional air quality impacts are significant not because each customer/employee is <br /> traveling far and generating a large amount of pollution, but because the JDEDZ would <br /> be a major economic generator (with large numbers of customers and employees). The <br /> air district's very protective air quality standards are not structured to measure efficiency <br /> (i.e., how many jobs can be provided with minimal air pollutant emissions), but the overall <br /> amount of emissions generated by a project. Because the JDEDZ would be occupied by <br /> a large number of customers and employees, the trips taken by these customers and <br /> employees would together generate a relatively large volume of pollutants and thus <br /> conflict with the Clean Air Plan, even though the vehicle trips of many individuals would <br /> be reduced (i.e., they would become more efficient). <br /> This significant air quality impact is typical of virtually all large, high-economic <br /> development activity projects in California, even those that give people the ability to work <br /> and shop closer to their homes. Please refer to Master Response to Comments About <br /> the Draft SEIR Air Quality Impact Analysis for more detail (Attachment 2 — Final <br /> RTC/FSEIR Master Reponses). <br /> 6. Water Supply <br /> The DSEIR analyzed the proposed JDEDZ on all utility systems, including water. Please <br /> refer to Section 4.E, Other Topics, of the Draft SEIR and/or the Master Response to <br /> Comments About the Impacts of the Proposed EDZ on Water Use (Attachment 2 — Final <br /> RTC/FSEIR Master Reponses). This section is a summary of the information found in <br /> those sources. <br /> Page 6 of 10 <br />
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