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SANTA ANA CLIMATE ACTION PLAN INITIAL STUDY <br />CITY OF SANTA ANA <br />No Impact. As discussed above in Section 3.11(a), there are no known mineral resources within the City. No <br />impact would occur. <br />3.12 NOISE <br />a) Exposure of persons to or generation of noise levels in excess of standards established in the <br />local general plan or noise ordinance, or applicable standards of other agencies? <br />Less than Significant Impact. While the Draft CAP is a policy -based document and does not directly <br />recommend any measures that would generate excessive amounts of construction noise, construction activity <br />associated with implementation of the Draft CAP measures could possibly result in temporary increases in <br />noise levels. The City's noise ordinance designates the entire City of Santa Ana as "Noise Zone 1" which sets <br />forth an exterior noise standard of 55 dBA from 7:00 a.m. to 10:00 p.m. and 50 dBA from 10:00 p.m. to 7:00 <br />a.m.45 A special provision exempts construction activities from the provisions of the ordinance so long as <br />construction does not take place between the hours of 8:00 p.m. and 7:00 a.m. on weekdays, including <br />Saturday, or any time on Sunday or a federal holiday. A majority of the proposed measures would involve <br />small scale construction projects, such as energy efficient retrofits and streetlight replacement; however, the <br />CAP does include some transportation and land use measures that could lead to the development of larger <br />scale residential, retail, and employment buildings and expanded bike and pedestrian paths. Therefore, the <br />exact nature of future construction that could occur is not known at this time, thus construction noise levels <br />cannot be estimated. However, the Draft CAP does not encourage or require development of land use <br />projects that would result in substantial amounts of construction noise that would not otherwise occur. All <br />construction activities would be required to comply with the City's noise ordinance and undergo project -level <br />CEQA review to analyze impacts related to noise when more specific project details are known. Such <br />compliance would reduce noise levels associated with construction activities. This impact would be less than <br />significant. <br />b) Exposure of persons to or generation of excessive groundborne vibration or groundborne noise <br />levels? <br />Less than Significant Impact. Similar to Section 3.12(a), temporary construction activities as a result of <br />implementation of the Draft CAP could result in excessive groundborne vibration or groundborne noise. In <br />addition, the Draft CAP is a policy -based document and does not directly recommend any measures or land <br />use development that would generate excessive amounts of construction noise. A majority of the measures <br />would involve small scale construction projects, such as energy efficient retrofits and streetlight replacement. <br />The exact nature of future construction that could occur is not known at this time, thus construction noise <br />levels cannot be estimated. However, all construction activities would be required to comply with the City's <br />noise ordinance and undergo project -level CEQA review to analyze impacts related to noise when more <br />specific project details are known. Such compliance would reduce noise groundborne vibration and noise <br />levels associated with construction activities. This impact would be less than significant <br />45 City of Santa Ana Municipal Code, Chapter 18 Article VI —Noise Control. Section 18 -312 —Exterior noise <br />standards. <br />October 2015 <br />75B -139 <br />