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2025-041 - Certifing Final Supplemental Enviromental Impact for The Village
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2025-041 - Certifing Final Supplemental Enviromental Impact for The Village
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9/25/2025 9:52:20 AM
Creation date
9/25/2025 9:50:10 AM
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City Clerk
Doc Type
Resolution
Agency
Planning & Building
Item #
28
Date
9/16/2025
Destruction Year
P
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Additionally, the City finds that the Project will implement the following regulatory requirement <br /> (Draft Supplemental EIR, p. 4.5-7): <br /> RR GHGA: New buildings are required to achieve the current California Building Energy <br /> Efficiency Standards (Title 24, Part 6) and California Green Building Standards <br /> (CALGreen) Code (Title 24, Part 11). The 2019 Building Energy Efficiency Standards <br /> became effective January 1, 2020. The Building and Energy Efficiency Standards and <br /> CALGreen are updated tri-annually. <br /> RR GHG-2: Construction activities are required to adhere to California Code of <br /> Regulations, Title 13, Section 2449, which restricts the nonessential idling of construction <br /> equipment to five minutes or less. <br /> RR GHG-3: New buildings are required to adhere to the California Green Building <br /> Standards Code and Water Efficient Landscape Ordinance requirements to increase <br /> water efficiency and reduce urban per capita water demand. <br /> RR GHG-7: The California Green Building Standards Code (CALGreen) requires the <br /> recycling and/or salvaging for reuse at minimum of 65 percent of the nonhazardous <br /> construction and demolition waste generated during most "new construction" projects <br /> (CALGreen Code §§ 4.408 and 5.408). Construction contractors are required to submit a <br /> construction waste management plan that identifies the construction and demolition waste <br /> materials to be diverted from disposal by recycling, reuse on the project, or salvaged for <br /> future use or sale and the amount (by weight or volume). <br /> Explanation of the Rationale: The net increase in emissions from the Project compared to <br /> existing conditions is 1.40 MTCO2e per year. Compared to the GPU horizon year emissions per <br /> service population of 3.5 MTCO2e per year, the Project would result in a less severe impact, The <br /> Project would be consistent with the 2022 Scoping Plan, 2020-2045 RTPISCS, City of Santa Ana <br /> General Plan, and the City's Climate Action Plan. As the Project is consistent with these GHG <br /> reduction plans, the Project would also be consistent with the State's long-term goal to achieve <br /> statewide carbon neutrality(zero-net emissions).Specifically,the Project would be consistent with <br /> several GPU goals and policies that may reduce GHG emissions, including goals and policies <br /> from the Conservation Element related to air quality and climate, energy resources, and water <br /> resources, and those from the Mobility Element related to sustainable transportation design, <br /> Impacts would be less than significant. (Draft Supplemental EIR, pp. 4.5-18 —4.5-23.) <br /> Threshold GHG-2: The Project would not conflict with an applicable plan, policy or regulation <br /> adopted for the purpose of reducing the emissions of greenhouse gases. <br /> Findings: The City finds that the Project would result in less than significant impacts to <br /> greenhouse gases emissions related to conflict with an applicable plan, policy or regulation. <br /> Additionally, the City finds that the Project will implement regulatory requirements RR GHG-1 <br /> through RR GHG-3 and RR GHG-7 (listed above). (Draft Supplemental EIR, pp. 4.5-23—4.5-34.) <br /> Explanation of the Rationale: The Project's characteristics render it consistent with Statewide, <br /> regional, and local climate change mandates, plans, policies, and recommendations. More <br /> Resolution No. 2025-041 <br /> Page 34 of 140 <br />
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