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AUGUSTIN BERNAL MOUNTAIN BIKE TRAIL PROJECT DRAFT INITIAL STUDY <br /> 24-hour PM2.5 standards.The area is in attainment or unclassified for all other federal standards.The <br /> area is designated non-attainment for State standards for 1-hour and 8-hour Os,24-hour PMio,annual <br /> PMio,and annual PM2.5. <br /> On April 19, 2017,the BAAQMD adopted the Spare the Air: Cool the Climate Final 2017 Clean Air <br /> Plan (BAAQMD 2017b). The 2017 Clean Air Plan provides a regional strategy to protect public <br /> health and protect the climate. To protect public health, the 2017 Clean Air Plan includes all <br /> feasible measures to reduce emissions of 03 precursors(ROG and NOx)and reduce 08 transport to <br /> neighboring air basins. In addition, the 2017 Clean Air Plan builds upon the BAAQMD efforts to <br /> reduce fine particulate matter and TACs.To protect the climate,the 2017 Clean Air Plan defines a <br /> vision for transitioning the region to a post-carbon economy needed to achieve ambitious <br /> greenhouse gas (GHG) reduction targets for 2030 and 2050, and provides a regional climate <br /> protection strategy that will put the Bay Area on a pathway to achieve those GHG reduction targets. <br /> The BAAQMD Guidelines identify a three-step methodology for determining a project's consistency <br /> with the current Clean Air Plan. If the responses to these three questions can be concluded in the <br /> affirmative and those conclusions are supported by substantial evidence, then the BAAQMD <br /> considers the project to be consistent with air quality plans prepared for the Bay Area. <br /> The first question to be assessed in this methodology is"does the project support the goals of the <br /> Air Quality Plan?"The BAAQMD-recommended measure for determining project support for these <br /> goals is consistency with BAAQMD thresholds of significance. If a project would not result in <br /> significant and unavoidable air quality impacts, after the application of all feasible mitigation <br /> measures,the proposed project would be consistent with the goals of the 2017 Clean Air Plan.As <br /> indicated in the following discussion, with regard to air quality impact questions b) and c), the <br /> proposed project would result in less than significant construction and operational emissions. <br /> Therefore, the proposed project would be considered to support the primary goals of the 2017 <br /> Clean Air Plan and is consistent with the current Clean Air Plan. <br /> The second question to be assessed in this consistency methodology is "does the project include <br /> applicable control measures from the Clean Air Plan?"The 2017 Clean Air Plan contains 85 control <br /> measures aimed at reducing air pollution in the Bay Area, including measures in the categories of <br /> stationary sources,transportation,buildings,energy,agriculture,waste,water, natural and working <br /> lands, and super-GHG pollutants. Projects that incorporate all feasible air quality plan control <br /> measures are considered consistent with the Clean Air Plan.The proposed project would construct <br /> an approximately 0.7-mile long, technical mountain bike trail. As a linear recreation facility, none <br /> of the control strategies of the 2017 Clean Air Plan are applicable to construction and operation of <br /> this project. <br /> The third question to be assessed in this consistency methodology is "does the project disrupt or <br /> hinder implementation of any control measures from the Clean Air Plan?" Examples of how a <br /> project may cause the disruption or delay of control measures include a project that precludes an <br /> extension of a transit line or bike path, or proposes excessive parking beyond parking <br /> requirements. The proposed project would not create any barriers or impediments to planned or <br /> future improvements to transit or bicycle facilities in the area, nor would it include excessive <br /> 12956 <br /> DUDEK 22 April 2022 <br />