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31A - 2100 W ALTON
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01/07/2008
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31A - 2100 W ALTON
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Last modified
1/3/2012 4:34:56 PM
Creation date
1/1/2008 11:38:26 AM
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Template:
City Clerk
Doc Type
Agenda Packet
Item #
31A
Date
1/7/2008
Destruction Year
2013
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• C. Involve other changes in the existing environment, w~iich, <br />due to their location or nature, could individually or <br />cumulatively result in loss of Farmland, to non-agriculture <br />use? <br />No Impact <br />The project site was designated as Prime Agriculture Land, by <br />the Department of Conservation Farmland Mapping and Monitoring <br />Program. The Armstrong Ranch Project assumed development of the <br />entire project site, resulting in the loss of Prime Agriculture <br />Land. The loss of Prime Agriculture Land was evaluated in the <br />Armstrong Ranch Final Environmental Impact and a Statement of <br />Overriding Consideration was adopted by the City. Implementation <br />of the proposed project would not result in loss of additional. <br />agriculture lands. No adverse impacts to any agricultural <br />resources would be associated with the proposed project. <br />AIR QUALITY <br />A. Conflict with or obstruct implementation of applicable Air <br />Quality Attainment Plan or congestion Management Plan? <br />• No Impact <br />The proposed project site is located within the South Coast Air <br />Basin and subject to the requirements of the Clear Air Act at <br />both the Federal and State level, as implemented by the South <br />Coast Air Quality Management District. The South Coast Air <br />Quality Management Plan (AQMP) is the primary planning document <br />to monitor if air. quality standards- and objectives are being <br />achieved in the South Coast Air Basin. The air quality <br />objectives in the AQMP are based upon population and growth <br />projections provided in regional planning programs and local <br />general plans. A project could be in conflict with the AQMP if <br />it results in population and growth impacts beyond those <br />identified in regional planning programs and/or local general <br />plans. The proposed project would be consistent with the General <br />Plan and would be consistent with the growth projections and air <br />quality objectives established in the South Coast Air Quality <br />Management Plan. <br />B. Violate any stationary source aix quality standard or <br />contribute to an existing or proposed air quality <br />• violation? <br />~ 'P~e(~of <br />
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