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Mitigation Measures <br />Refer to Mitigation Measure AQ-2, above. <br />Finding <br />Finding 3. Changes or alterations have been required in, or incorporated into, the GPU that avoid <br />or substantially lessen the significant environmental effect as identified in the PEIR. These <br />changes are identified in the form of the mitigation measure above. The City of Santa Ana hereby <br />finds that implementation of the mitigation measure is feasible, and the measure is therefore <br />adopted. <br />The City finds that there are no other mitigation measures that are feasible, taking into <br />consideration specific economic, legal, social, technological or other factors, that would mitigate <br />this impact to a less -than -significant level, and further, that specific economic, legal, social, <br />technological, or other considerations, including considerations for the provision of employment <br />opportunities for highly trained workers, make infeasible the alternatives identified in the PEIR, as <br />discussed in Section G of these Findings (Public Resources Code §§ 21081(a)(1), (3); Guidelines <br />§§ 15091(a)(1), (3)). As described in the Statement of Overriding Considerations, the City has <br />determined that this impact is acceptable because specific overriding economic, legal, social, <br />technological, or other benefits, including regionwide or statewide environmental benefits, of the <br />GPU outweigh its significant effects on the environment. <br />Impact 5.2-4: Operation of industrial and warehousing land uses accommodated under the <br />General Plan Update could expose sensitive receptors to substantial toxic <br />air contaminant concentrations. <br />Support for this environmental impact conclusion is fully discussed in Section 5.2, Air Quality, <br />starting on page 5.2-50 of the Updated Draft PEIR. <br />Buildout of the GPU could expose sensitive receptors to substantial concentrations of toxic air <br />contaminants JAC). Buildout could result in new sources of criteria air pollutant emissions and/or <br />TACs near existing or planned sensitive receptors. Review of development projects by South <br />Coast AQMD for permitted sources of air toxics (e.g., industrial facilities, dry cleaners, and <br />gasoline dispensing facilities) would ensure that health risks are minimized. Additionally, <br />Mitigation Measure AQ-3 would ensure mobile sources of TACs not covered under South Coast <br />AQMD permits are considered during subsequent, project -level environmental review by the City <br />of Santa Ana. Individual development projects would be required to achieve the incremental risk <br />thresholds established by South Coast AQMD, and TACs would be less than significant. <br />However, implementation of the GPU would generate TACs that could contribute to elevated <br />levels in the air basin. Though individual projects would achieve the project -level risk threshold of <br />10 per million, they would nonetheless contribute to the higher levels of risk in the SoCAB. <br />Therefore, the GPU's cumulative contribution to health risk is significant and unavoidable. <br />Santa Ana General Plan Update <br />CEQA Findings of Fact and Statement <br />Of Overriding Considerations -42- <br />October 2021 <br />