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based on the general anticipated construction schedule, including duration for each construction subphase, <br />anticipated equipment for each construction subphase, and estimated earthwork movement (If applicable), <br />as provided to PlaceWorks. Project -related construction emissions will be compared to the South Coast Air <br />Quality Management District (SCAQMD) regional significance construction thresholds. Localized air <br />pollution impacts from onslte construction equipment exhaust and fugitive dust generated at each <br />proposed park site will also be compared to SCAQMD's screening -level localized significance thresholds <br />(LST) for their potential to elevate concentrations of air pollutants at the adjacent land uses surrounding <br />the project site. If necessary, mitigation measures will be identified to reduce any potentially significant <br />regional and/or localized air quality impacts. <br />Operational Phase. Based on the preliminary information received, the proposed parks would generally <br />consist of open play areas and ancillary structures (e.g., restrooms) that would generate minimal to no <br />operation -phase criteria air pollutant and GHG emissions from energy and area sources. Additionally, it Is <br />assumed that the proposed parks would serve the local communities and would generate only limited <br />vehicular traffic that would result in nominal mobile -source emissions. Thus, the technical analysis will <br />provide a qualitative discussion describing potential operational -phase air quality and GHG emissions <br />impacts associated with the proposed parks. <br />Other Areas of Impact The SoCAB is currently designated nonattainment under the National and/or <br />California ambient air quality standards (AAQS) for ozone (03), fine inhalable particulate matter (PM2.5), <br />coarse inhalable particulate matter (PM10), and lead (Los Angeles County only). The SCAQMD has adopted <br />the 2016 Air Quality Management Plan (ACi The AQMP is prepared to ensure the SoCAB can attain the <br />long-term National and California AAQS. The air quality analysis will include a consistency evaluation of the <br />project's regional emissions to SCAQMD's AQMP. Furthermore, the SoCAB has been designated in <br />attainment for carbon monoxide (CO) under both the California and National AAQS. Therefore, the air <br />quality analysis will include only a qualitative assessment of CO hotspots. In addition, the environmental <br />document will also include a qualitative assessment of potential odor impacts. <br />Project Conslstency with Plans Adopted to Reduce GHG Emissions. The GHG section will discuss the GHG <br />reduction goals of Assembly Bill 32 (AB 32), Senate Bill 32 (SB 32), and SB 375. To achieve the GHG <br />reduction targets of AB 32, the California Air Resources Board (CARE) prepared the 2008 Scoping Plan and a <br />2014 update. CARE also recently released a draft of the 2017 update to achieve the SB 32 reduction target. <br />In addition, the Southern California Association of Governments (SCAG) has adopted a regional <br />transportation plan/sustainable communities strategy (2016-2040 RTP/SCS) to ensure that the southern <br />California region can attain the regional transportation -related GHG reduction goals of SB 375. <br />Furthermore, the City has prepared a Climate Action Plan. Project consistency with these statewide, <br />regional, and local GHG emissions reduction strategies and plans will be reviewed. <br />Biological Resources <br />There are no natural biological habitats on either site, and impacts to biological resources are noy <br />anticipated. <br />Cultural Resources <br />The cultural resources studies listed above will be used in preparing the related sections in the NEPA and <br />CEQA documents for Sites 1 and 2. <br />November 27, 2017 1 Page 6 <br />