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ENVIRONMENTAL IMPACT REPORT ADDENDUM <br />Bristol Street Widening Phase ILIA — Civic Center Drive to Washington Avenue <br />� <br />NOx <br />CO <br />PM10 <br />PM2.5 <br />6 <br />Trenching <br />41 <br />19 <br />2 <br />2 <br />Paving <br />16 <br />11 <br />1 <br />1 <br />SCAQMD Threshold <br />183 <br />1263 <br />13 <br />7 <br />Exceeds Threshold? <br />No <br />No <br />No <br />No <br />Source: Air Quality Assessment Report (URS 2013a), <br />Notes: NOx = nitrogen oxides; CO = carbon monoxide; Mo = particulate matter less than less than or equal to 10 microns in diameter; <br />PM2s = particulate matter less than less than or equal to 2.5 microns in diameter. <br />Intersection Hot -Spots <br />While the proposed Project would not result in any direct sources of localized emissions due to the <br />roadway street lighting being powered by electricity, changes in LOS or traffic volumes due to the Project <br />may cause indirect sources of localized emissions. While emissions of motor vehicles have improved due <br />to more stringent vehicle emissions standards and the use of cleaner burning fuels, they continue to be the <br />primary source of local emissions within the study area. Localized areas where ambient concentrations <br />exceed national and/or state standards for CO are known as hotspots. The SCAQMD defines typical <br />sensitive receptors as residences, schools, playgrounds, childcare centers, athletic facilities, long-term <br />health care facilities, rehabilitation centers, convalescent centers, and retirement homes. <br />Because CO is produced in greatest quantities from vehicle combustion and does not readily disperse into <br />the atmosphere, adherence to AAQS is typically demonstrated through an analysis of localized CO <br />concentrations. Areas of vehicle congestion have the potential to create pockets of CO called "hot spots." <br />These pockets have the potential to exceed the state one -hour standard of 20 parts per million (ppm) or <br />the eight -hour standard of 9 ppm. Note that the federal levels are based on one- and eight -hour standards <br />of 35 and 9 ppm, respectively. Thus, an exceedance condition would occur based on the state standards <br />before the federal standards. <br />The following intersections were modeled for CO hotspots as detailed in the Air Quality Assessment <br />Report (URS 2013a): <br />• Bristol Street and 17"' Street <br />• Bristol Street and Washington Avenue <br />As shown in Table 6, both the 1- and 8-hour CO concentrations at the intersections that were affected by <br />the proposed Project would be substantially below the California and federal AAQS for CO. Potential CO <br />impacts related to the Project alternatives are below AAQS and would not result in a significant air <br />quality impact from CO hotspots. <br />TABU 6 CO HOTSPOT ANALYSIS (PPM) <br />Bristol Street and Civic Center Drive <br />Northeast Receptor <br />6.6 <br />20 4.5 <br />9.0 <br />No <br />No <br />Southeast Receptor <br />6.7 <br />20 4.5 <br />9.0 <br />No <br />No <br />Southwest Receptor <br />6.7 <br />20 4.5 <br />9.0 <br />_ <br />No <br />No <br />Northwest Receptor <br />6.6 <br />20 4.5 <br />9.0 <br />No <br />No <br />Bristol Street and Washington Avenue <br />Northeast Receptor <br />6.6 <br />20 4.5 <br />9.0 <br />No <br />No <br />ANA 305-011 (PER 02) CITY OF SANTA ANA (01/19/2015) YU PAGE 34 <br />