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75C - PH - THE BOWERY
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Last modified
8/13/2020 5:10:27 PM
Creation date
8/13/2020 4:53:25 PM
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City Clerk
Doc Type
Agenda Packet
Agency
Planning & Building
Item #
75C
Date
8/18/2020
Destruction Year
2025
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4. The District and/or other officials may conduct periodic site inspections to determine I 42 <br />compliance. Nothing in this mitigation shall supersede other District, state or federal rules or <br />regulations. <br />Use of:4pray Equipment with Greater Trunsfer Firm lencies <br />Various coaBngs and adhesives are required to be applied by specified methods such as electrostatic <br />spray, high -volume, low-pressure )HVLP) spray, roll water, flow water, dip coa ter, etc. in order to <br />maximize the transfer efficiency. Transfer efficiency is typically defined as the ratio of the weight of <br />coating solids adhering to an object to the total weight of mating solids used in the application process, <br />expressed as a percentage. When it comes to spray applications, the rules typically require the use of <br />either electrostatic spray equipment or HVLP spray equipment. The SCAQM D is now able to certify H VLP <br />spray applicators and other application technologies at efficiency rates of 65 percent or greater.41 <br />These measures offer a cost-effective, feasible way to incorporate lower -emitting equipment into the <br />Project's mnstruction fleet, which subsequently reduces construction emissions. A revised FIR must be <br />prepared to include additional mitigation measures, as well as include an updated air quality assessment <br />to ensure that the necessary mitigation measures are implemented to reduce construction emissions. <br />Furthermore, the updated FIR needs to demonstrate commitment to the implementation of these <br />measures prior to Project approval to ensure that the Project's construction -related emissions are <br />reduced to the maximum extent possible. <br />Feasible Mitigation Measures Available to Reduce Operational Emissions <br />Our analysis demonstrates that the Projects air quality and G HG emissions may result in a potentially <br />significant Impact. In an effort to reduce the Projects operational emissions, we identified several <br />mitigation measures that are applicable to the Project Feasible mitigation measures can be found in <br />CAPCOA's Quantifying Greenhouse Gas fWitigadon Measures, which attempt to reduce GHG levels, as <br />well as reduce criteria air pollutants, such as particulate matter emissions." Therefore, to reduce the <br />Project's operational emissions, consideration of the following measures should be made. <br />• Integrate affordable and below market rate housing <br />• Energy -related mitigation: <br />c Install programmable thermostat timers <br />o Establish onsite renewable energy systems, including solar power and wind power <br />o Limit outdoor lighting requirements <br />o Reduce unnecessary outdoor lighting by utilizing design features such as limiting the <br />hours of operation of outdoor lighting. <br />a Provide education on energy efficiency to residents, customers, and/or tenants. Provide <br />information on energy management services for large energy users. <br />o Meet "reach" goals for building energy efficiency and renewable energy use. <br />o Limit the use of outdoor lighting to only that needed for safety and security purposes. <br />htti, //www nnmH mWlhnmclnarmiis/vnrnv�ni�inmant-tmncfnrRHiricnry <br />9° htto:llwww.coocoe.ore/wvcontentluoloads/2010/11/CAPCOA-0uantif[cation-Reuon-9-11-Final.odf <br />19 <br />43 <br />44 <br />75C-187 <br />
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