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ENVIRONMENTAL IMPACT REPORTADDENDUM <br />Bristol Street Widening Phase IIIA— Civic Center Drive to Washington Avenue <br />Civic Center Drive and -24 -3 -4 0 -1 -1 <br />Washington Avenue <br />SCAQMD Significance <br />Thresholds 550 55 55 150 150 55 <br />Exceeds Thresholds <br />Notes: mph = miles per hour; CO = carbon monoxide; ROG = reactive organic gases; NOx = nitrogen oxides; S02 = sulfur dioxide; PMIo = <br />particulate matter less than less than or equal to 10 microns In diameter; PM2,5 = particulate matter less than less than or equal to 2.5 microns <br />in diameter, <br />TABLE 4 YEAR 2035 WITH AND WITHOUT PROJECT AIR POLLUTANT EMISSIONS <br />Year 2035 No Protect <br />Bristol Street Between Civic <br />Center Drive and 13 35 3 6 0 2 2 <br />Washington Avenue <br />Year 2035 with Project <br />Bristol Street Between Civic <br />Center Drive and 20 29 2 4 0 2 1 <br />Washinaton Avenue <br />Difference between No Proiect and with Proiect Emissions <br />Bristol Street Between Civic <br />Center Drive and -6 -1 -1 0 -1 -1 -6 <br />Washington Avenue <br />SCAQMDISignificance 550 55 55 150 150 55 <br />Exceeds Thresholds No No No No No No <br />Source: Air Quality Assessment Report (URS 2013a). <br />Notes: mph = miles per hour; CO = carbon monoxide; ROG = reactive organic gases; NOx = nitrogen oxides; S02 = sulfur dioxide; PMio = <br />particulate matter less than less than or equal to 10 microns in diameter; PM2,5= particulate matter less than less than or equal to 2,5 microns <br />in diameter. <br />c.) Result in a cumulatively considerable net increase of any criteria pollutantfor which the project <br />region is non - attainment under an applicable federal or state ambient air quality standard <br />(including releasing emissions which exceed quantitative thresholds for ozone precursors) ? <br />The SCAB is designated by the EPA and the State as being nonattainment for 03, PM10, and PM2,5. In <br />accordance with SCAQMD methodology, any project that does not exceed or can be mitigated to less <br />than the daily threshold values does not add significantly to a cumulative impact. As mentioned above, <br />the development of the proposed Project demonstrates that construction and operational activities would <br />not result in emissions in excess of SCAQMD's threshold values. Since the proposed Project would not <br />exceed the SCAQMD's significance thresholds for construction activities or the operations phase, the <br />SCAQMD does not consider emissions from the Project's emissions to add significantly to any <br />cumulative impact. Furthermore, it should be noted that the proposed Project would increase the capacity <br />ANA 305 -011 (PER O2) CITY OF SANTA ANA (01/19/2015) YU PAGE 32 <br />