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City of Pleasanton—Stoneridge Mall Residential Project <br />Section 15183 Checklist/15164 Addendum CEQA Checklist <br /> <br /> <br />FirstCarbon Solutions 73 <br />Https://adecinnovations.sharepoint.com/sites/PublicationsSite/Shared Documents/Publications/Client (PN-JN)/2148/21480017/Consistency Checklist/21480017 Stoneridge Mall Residential Project Checklist <br />Addendum_Updated.docx <br />Proposed Project as a Receptor <br />Using GoogleMaps, a sand-and-gravel harvesting areas which includes an asphalt plant, and a <br />sewage treatment plant and treatment ponds/drying beds were found within 2 miles of the <br />proposed project. Public records retrieved from the BAAQMD show that only one odor complaint <br />was filed within a 2-mile radius of the proposed project between 2019 to 2022, at the time this <br />analysis was prepared. Therefore, the proposed project would not experience any peculiar effects <br />and would not result in new or more severe impacts related to odors during project construction <br />than what was previously analyzed in the Prior EIR. <br />Additionally, if future odor issues occur, the implementation of General Plan 2005-2025 Policy 8: <br />Minimize unpleasant odors in residential neighborhoods, and the Prior EIR MM 4.B-5 would ensure <br />the impacts are reduced to less than significant. Therefore, there are no environmental effects that <br />are peculiar to the proposed project or the parcels on which the proposed project would be located. <br />Impacts would be less than significant and the proposed project would not result in a new or more <br />severe adverse impacts that were not previously identified in the Prior EIR. <br />e) Violate Air Quality Standard <br />Prior EIR Conclusions <br />The Prior EIR found that emissions generated during construction activities for future individual <br />development projects would include exhaust emissions from heavy-duty construction equipment, <br />trucks used to haul construction materials to and from sites, worker vehicle emissions, as well as <br />fugitive dust emissions associated with earth disturbing activities. It was determined that that <br />implementation of MM 4.B-1a would ensure that impacts from fugitive dust would be less than <br />significant and would also ensure that other emissions adhere to BAAQMD’s requirements. <br />Therefore, it was determined that impacts related to a violation of an air quality standard would be <br />less than significant with mitigation incorporated. <br />Analysis of Proposed Project <br />This checklist question has been removed from the CEQA Appendix G Checklist since the time the <br />Prior EIR was certified because it is adequately analyzed under Air Quality Impact(a): “Would the <br />project conflict with or obstruct implementation of an applicable air quality plan?” See above <br />analysis under Impact III(a). <br />Mitigation Measures <br />Prior EIR Mitigation Measures <br />MM 4.B-1a Prior to the issuance of a grading or building permit, whichever is sooner, the project <br />applicant for a potential site for rezoning shall submit an air quality construction <br />plan detailing the proposed air quality construction measures related to the project <br />such as construction phasing, construction equipment, and dust control measures, <br />and such plan shall be approved by the Director of Community Development. Air <br />quality construction measures shall include Basic Construction Mitigation Measures <br />(BAAQMD, May 2011) and, where construction-related emissions would exceed the