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Greenhouse Gas CEQA Significance Threshold Stakeholder Working Group #2

This document discusses the evaluation of greenhouse gas (GHG) emissions or life cycle emissions for projects. It presents staff recommendations to exclude life cycle analysis for now, but analyze direct and indirect project emissions. The document also considers the use of GHG thresholds as a means to implement AB 32 (California's Global Warming Solutions Act) and provides design criteria considerations for resource impacts, short-term vs long-term considerations, GHG pollutants, mitigation strategies, offsite offsets, and time frame of analysis.

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Greenhouse Gas CEQA Significance Threshold Stakeholder Working Group #2

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  1. Greenhouse Gas CEQA Significance Threshold Stakeholder Working Group #2 May 28, 2008 SCAQMD Diamond Bar, California

  2. Policy Objectives - Evaluate Project’s GHG Emissions or Life Cycle Emissions? • Staff recommendation – Exclude life cycle analysis at this time, but analyze direct & indirect project emissions • Life cycle factors not well established for all processes • Not all life cycle processes are known or well defined • Some life cycle processes occur outside CA. • CARB inventory - emissions from each source category • GHG reductions as mitigation – direct/indirect emissions • May reconsider in the future when the science is more mature

  3. Policy Objectives – Use GHG Thresholds as a Means to Implement AB 32 • Staff recommendations: No, but will complement AB 32 efforts • CEQA intent is to prevent or minimize environmental degradation, i.e., do not make impacts worse • AB 32 may be used as a guideline in developing significance thresholds • Reductions from non-regulated sources due to GHG thresholds may contribute to achieving AB 32 targets • Complying with AB 32 measures should not automatically deem a project is not significant for GHGs

  4. Design Criteria Considerations • Resource impacts – staff recommendations: • Avoid thresholds that would require EIRs for all projects • EIRs don’t necessarily result in more mitigation measures • Setting the significance threshold(s) too low may provide disincentive for implementing GHG mitigation • Need to consider resource impacts – should not be overly burdensome

  5. Design Criteria Considerations • Short-term (2008 through 2020) vs. long-term (2021 through 2050) considerations – staff recommendations: • Consider short-term thresholds at this time • Threshold is interim until statewide guidance or threshold established • Threshold applicable to SCAQMD jurisdiction only • Reevaluate long-term thresholds later when statewide guidance established

  6. Design Criteria Considerations • GHG pollutants – staff recommendations: • Analyze the 6 Kyoto pollutants to the extent EFs are available • Add others as scientific information becomes available &/or agreed to by national/international protocols • Consider carbon black in the future when more information is available

  7. Design Criteria Considerations • Mitigation considerations – preferred emission reduction strategies: • Incorporate GHG reduction strategies into project design • For modification projects, mitigate GHGs from other onsite sources • Mitigation may also consist of offsite GHG emission reduction projects • Mitigation applies to both construction & operational GHG impacts • Feasible mitigation considers economic factors (cost) per §15364

  8. Design Criteria Considerations • Mitigation considerations – offsite offsets: • Offset purchase acceptable with preference toward mitigation in-basin or in-state, offset cost a consideration • Offset market still developing, so need to ensure offsets are obtained from a creditable source • Offsets should be provided for at least 10 years of project operation (see SJVAPCD indirect source rule 9510 §6.2 mitigation requirements) • SCAQMD may consider an AQIP-type program

  9. Design Criteria Considerations • Time frame of analysis, impacts vs. mitigation – staff recommendations: • Analyze GHGs on an annual basis for both construction & operation • Because of the long ½-life of CO2, mitigation does not need to be precisely contemporaneous with emission impact, but commitment has to be enforceable & timely

  10. Discussion • Other policy considerations? • Other design criteria considerations?

  11. GHG Significance Threshold Staff Proposal – General Concepts • Tiered Approach: • 1st – Any applicable exemption; if not • 2nd – Consistent with approved general plans; if not • AB 32 reduction targets • Emissions inventory, tracking and reduction remedy • 3rd – Implement prescribed mitigation measures by sector / source; if not • 4th – Implement offsite emission reduction projects or offsets (full mitigation required); if not • 5th – Project is concluded to be significant

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