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EXHIBIT A <br />32.) In addition, as noted above, the Project would be required to have building foundations and pavement <br />areas constructed in compliance with the CBC and the City's Municipal Code, which requires appropriate <br />back fill, compaction of soils, and foundation design to ensure stable soils. Thus, the Project's impacts <br />related to expansive soils would be less than significant. (Initial Study, p. 33.) <br />9.6.5 Septic Tanks <br />Threshold: Would the Project have soils incapable of adequately supporting the use of septic tanks <br />or alternative wastewater disposal systems where sewers are not available for the disposal of wastewater? <br />Finding: No impact. (DEIR, p. 2-6; Initial Study, p. 33.) <br />Facts in Support of Finding: The Project site is currently connected to the City's sewer system, and the <br />Project would also connect to existing sewers and would not use septic tanks or alternative wastewater <br />disposal systems. As a result, impacts related to septic tanks or alternative waste water disposal systems <br />would not occur from implementation of the Project. <br />9.7 Greenhouse Gas Emissions <br />9.7.1 Greenhouse Gas Emissions <br />Threshold: Would the Project generate greenhouse gas emissions, either directly or indirectly, <br />that may have a significant impact on the environment? <br />Finding: Less than significant impact. (DEIR, p. 4.5-9 through 4.5-10.) <br />Facts in Support of Finding: The Project would not generate significant amounts of GHG emissions, <br />either directly or indirectly, that would have a significant impact on the environment. As further detailed <br />in the DEIR, construction and operation of the Project would generate greenhouse gas emissions that are <br />below the SCAQMD's threshold for greenhouse gas emissions. (DEIR, pp. 4.5-9 through 4.5-10.) In <br />particular, as detailed in the DEIR, the Project's total net annual GHG emissions would be approximately <br />4.30 metric tons per year per service population, which would be less than the SCAQMD Tier 4 Option 3 <br />threshold of 4.80 metric tons per year per service population. (DEIR, pp. 4.5-9 through 4.5-10.) For the <br />reasons discussed above and the reasons discussed in the DEIR, impacts associated with this issue would <br />be less than significant, and no mitigation is required. <br />9.7.2 Conflict with Applicable Plan, Policy, or Regulation <br />Threshold: Would the Project conflict with an applicable plan, policy or regulation adopted for <br />the purpose of reducing the emissions of greenhouse gasses? <br />Finding: Less than significant impact. (DEIR, p. 4.5-10 through 4.5-13.) <br />Facts in Support of Finding: As detailed in the DEIR, the Project would not conflict with an applicable <br />plan, policy or regulation adopted for the purpose of reducing the emissions of greenhouse gases. Indeed, <br />the Project is consistent with the AB 32 Scoping Plan, SB 375, and the Santa Ana Climate Action Plan. <br />Moreover, the Project would comply with state and federal programs that are designed to improve energy <br />efficiency and reduce GHG emissions, including the California Title 24, California Energy Code, and the <br />CALGreen Code. In complying with these measures and standards (including Title 24 standards relating <br />to insulation, use of energy-efficient heating, ventilation and air condition equipment, solar -reflective <br />Resolution No. <br />Certification of the Magnolia at the Park EIR <br />75E-68 <br />Page 30 of 71 <br />