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55B - RESO - EIR BRISTOL ST WIDENING
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55B - RESO - EIR BRISTOL ST WIDENING
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Last modified
12/2/2013 10:49:34 AM
Creation date
12/2/2013 9:57:43 AM
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City Clerk
Doc Type
Agenda Packet
Agency
Public Works
Item #
55B
Date
12/2/2013
Destruction Year
2018
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ENVIRONMENTAL IMPACT REPORTADDENDUM <br />Bristol Street Widening Phase 1118 — Washington Avenue to 17' Street <br />BRISTOLIWARNER (ADD NBIEBISB THRU LNS; WB RT TRN LN) AND BRISTOLIFIRST (ADD NBISB THRU LNS; <br />SB LFT/RT/TRN LNS). <br />The Project's design concept and scope have not changed significantly from what was analyzed in the <br />RTIP and FTIP. This analysis found that the plan and, therefore the individual projects contained in the <br />plan, are conforming projects and would have air quality impacts consistent with those identified in the <br />SIPS for achieving the NAAQS. The FHWA determined the RTIP to conform to the SIP. <br />The proposed widening of Bristol Street, from Warner Avenue to Memory Lane has been included in the <br />FTIP since 1992. The FTIP gives priority to eligible Transportation Control Measures (TCMs) identified <br />in the SIP and provides sufficient funds to provide for their implementation. The FHWA determined the <br />FTIP to conform to the SIP on April 2, 2009. No significant impacts would occur. Implementation of the <br />proposed Project would not result in greater impacts than previously analyzed in the 1990 FEIS/EIR. <br />Furthermore, the South Coast Air Basin (SCAB) is designated by the state and US Environmental <br />Protection Agency (EPA) as nonattainment for ozone (03), and particulate matter (PM10 and PM2.5). <br />The South Coast Air Quality Management District (SCAQMD) developed regional emissions thresholds <br />to determine whether or not a project would contribute to air pollutant violations. If a project exceeds the <br />regional air pollutant thresholds, then the project would substantially contribute to air quality violations in <br />the SCAB. In addition, a project would also contribute to air pollutant violations if localized emissions <br />result in an exceedance of the ambient air quality standards (AAQS). <br />Based on the Air Quality Assessment Report performed by URS Corporation (2013) for the Project, <br />short -term emissions generated during Project - related construction activities would not exceed the <br />SCAQMD regional emissions thresholds for any of the criteria pollutants and also would not substantially <br />elevate localized concentrations of these pollutants. Consequently, the Project would be consistent with <br />the Air Quality Management Plant (AQMP). Long -term emissions generated by the Project would not <br />exceed the SCAQMD thresholds for regional emissions and would therefore also not contribute to an <br />increase in frequency or severity of air quality violations. <br />The proposed Project would be consistent with the Major Arterial designation of the City of Santa Ana <br />General Plan Circulation Element and the County of Orange's Master Plan of Arterial Highways. <br />Additionally, the Project would improve traffic flow and result in a reduction in air pollutant emissions. <br />Mitigation Measures <br />No additional new mitigation measures are required. <br />b.) Violate any air quality standard or contribute substantially to an existing or projected air quality <br />violation? <br />Short -term emissions were modeled for the construction phase of the proposed Project. Construction <br />activities associated with the Project would include demolition of pavement and buildings, fine grading, <br />ANA 111 -334 (PER- 02 -01) CITY OF SANTA ANA (11/25/2013 REV2) 132897 CM PAGE 22 <br />55B -29 <br />
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