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HomeMy WebLinkAboutA - Air Quality, Greenhouse Gas, and Energy Impact Study Homeless Prevention Resource and Care Center Air Quality, Greenhouse Gas, and Energy Impact Study City of Fontana, CA Prepared for: EcoTierra Consulting Mr. Brad Perrine 633 W 5th Street, 26th Floor Los Angeles, CA 90071 Prepared by: MD Acoustics, LLC Tyler Klassen, EIT 1197 Los Angeles Ave, Ste C-256 Simi Valley, CA 93065 Date: 6/14/2023 Homeless Prevention Resource and Care Center Air Quality, Greenhouse Gas, and Energy Impact Study City of Fontana, CA MD Acoustics, LLC ii JN: 03322324_Report TABLE OF CONTENTS 1.0 Introduction .................................................................................................................................... 1 1.1 Purpose of Analysis and Study Objectives 1 1.2 Project Summary 1 1.2.1 Site Location 1 1.2.2 Project Description 1 1.2.3 Sensitive Receptors 2 1.3 Executive Summary of Findings and Mitigation Measures 2 2.0 Regulatory Framework and Background ........................................................................................ 6 2.1 Air Quality Regulatory Setting 6 2.1.1 National and State 6 2.1.2 South Coast Air Quality Management District 8 2.1.3 City of Fontana 11 2.2 Greenhouse Gas Regulatory Setting 16 2.2.1 International 16 2.2.2 National 17 2.2.3 California 18 2.2.4 South Coast Air Quality Management District 26 2.2.5 County of San Bernardino 27 2.2.6 City of Fontana 28 2.3 Energy Regulatory Setting 30 2.3.1 Federal Regulations 30 2.3.2 State Regulations 31 3.0 Setting ........................................................................................................................................... 37 3.3 Existing Physical Setting 37 3.3.1 Local Climate and Meteorology 37 3.1.2 Local Air Quality 38 3.1.3 Attainment Status 41 3.2 Greenhouse Gases 42 3.3 Energy 44 3.3.1 Overview 44 3.3.2 Electricity and Natural Gas 46 3.3.3 Transportation Energy Resources 47 4.0 Modeling Parameters and Assumptions ....................................................................................... 49 4.1 Construction 49 4.2 Operations 50 4.3 Localized Construction Analysis 50 4.4 Localized Operational Analysis 51 5.0 Thresholds of Significance ............................................................................................................ 52 5.1 Air Quality Thresholds of Significance 52 Homeless Prevention Resource and Care Center Air Quality, Greenhouse Gas, and Energy Impact Study City of Fontana, CA MD Acoustics, LLC iii JN: 03322324_Report 5.1.1 CEQA Guidelines for Air Quality 52 5.1.2 Regional Significance Thresholds for Construction Emissions 52 5.1.3 Regional Significance Thresholds for Operational Emissions 53 5.1.4 Thresholds for Localized Significance 53 5.2 Greenhouse Gas Thresholds of Significance 53 5.2.1 CEQA Guidelines for Greenhouse Gas 53 5.3 Toxic Air Contaminants 54 6.0 Air Quality Emissions Impact ........................................................................................................ 55 6.1 Construction Air Quality Emissions Impact 55 6.1.1 Regional Construction Emissions 55 6.1.2 Localized Construction Emissions 56 6.1.3 Construction-Related Human Health Impacts 56 6.1.4 Construction-Related Toxic Air Contaminant Impact 56 6.2 Operational Air Quality Emissions Impact 57 6.2.1 Regional Operational Emissions 57 6.2.2 Localized Operational Emissions 57 6.2.3 Operations-Related Human Health Impacts 58 6.3 CO Hot Spot Emissions 58 6.4 Odors 59 6.5 Cumulative Regional Air Quality Impacts 60 6.6 Air Quality Compliance 60 7.0 Greenhouse Gas Impact Analysis .................................................................................................. 62 7.1 Construction Greenhouse Gas Emissions Impact 62 7.2 Operational Greenhouse Gas Emissions Impact 62 7.3 Greenhouse Gas Plan Consistency 63 7.4 Cumulative Regional Greenhouse Gas Impacts 63 8.0 Energy Analysis ............................................................................................................................. 64 8.1 Construction Energy Demand 64 8.1.1 Construction Equipment Electricity Usage Estimates 64 8.1.2 Construction Equipment Fuel Estimates 64 8.1.3 Construction Worker Fuel Estimates 65 8.1.4 Construction Vendor/Hauling Fuel Estimates 66 8.1.5 Construction Energy Efficiency/Conservation Measures 67 8.2 Operational Energy Demand 67 8.2.1 Transportation Fuel Consumption 67 8.2.2 Facility Energy Demands (Electricity and Natural Gas) 68 8.3 Renewable Energy and Energy Efficiency Plan Consistency 69 8.4 Cumulative Regional Energy Impacts 70 9.0 References .................................................................................................................................... 71 Homeless Prevention Resource and Care Center Air Quality, Greenhouse Gas, and Energy Impact Study City of Fontana, CA MD Acoustics, LLC iv JN: 03322324_Report LIST OF APPENDICES Appendix A: CalEEMod Emission Output Appendix B: EMFAC2017 Output LIST OF EXHIBITS Exhibit A ...................................................................................................................................................... 4 Location Map 4 Exhibit B ...................................................................................................................................................... 5 Site Plan 5 LIST OF TABLES Table 1: Land Use Summary ........................................................................................................................ 1 Table 2: Ambient Air Quality Standards ..................................................................................................... 7 Table 3: Meteorological Summary ............................................................................................................ 38 Table 4: Local Area Air Quality Levels from Local Monitoring Stations .................................................... 39 Table 5: South Coast Air Basin Attainment Status .................................................................................... 41 Table 6: Description of Greenhouse Gases ............................................................................................... 43 Table 7: Total Electricity System Power (California 2019) ........................................................................ 45 Table 8: SCE 2019 Power Content Mix ..................................................................................................... 46 Table 9: Construction Equipment Assumptions1 ...................................................................................... 51 Table 10: Regional Significance - Construction Emissions (pounds/day) ................................................. 55 Table 11: Localized Significance – Construction ....................................................................................... 56 Table 12: Regional Significance - Unmitigated Operational Emissions (lbs/day) ..................................... 57 Table 13: Localized Significance - Unmitigated Operational Emissions ................................................... 58 Table 14: Construction Greenhouse Gas Emissions ................................................................................. 62 Table 15: Opening Year Unmitigated Project-Related Greenhouse Gas Emissions ................................. 62 Table 16: Project Construction Power Cost and Electricity Usage ........................................................... 64 Table 17: Construction Equipment Fuel Consumption Estimates ............................................................ 65 Table 18: Construction Worker Fuel Consumption Estimates ................................................................. 66 Table 19: Construction Vendor Fuel Consumption Estimates (MHD Trucks)1 ......................................... 66 Table 20: Construction Hauling Fuel Consumption Estimates (HHD Trucks)1 .......................................... 67 Homeless Prevention Resource and Care Center Air Quality, Greenhouse Gas, and Energy Impact Study City of Fontana, CA MD Acoustics, LLC v JN: 03322324_Report Table 21: Estimated Vehicle Operations Fuel Consumption .................................................................... 68 Table 22: Project Unmitigated Annual Operational Energy Demand Summary1 ..................................... 69 Homeless Prevention Resource and Care Center Air Quality, Greenhouse Gas, and Energy Impact Study City of Fontana, CA MD Acoustics, LLC vi JN: 03322324_Report GLOSSARY OF TERMS AQMP Air Quality Management Plan CAAQS California Ambient Air Quality Standards CARB California Air Resources Board CEQA California Environmental Quality Act CFCs Chlorofluorocarbons CH4 Methane CNG Compressed natural gas CO Carbon monoxide CO2 Carbon dioxide CO2e Carbon dioxide equivalent DPM Diesel particulate matter GHG Greenhouse gas HFCs Hydrofluorocarbons LST Localized Significant Thresholds MTCO2e Metric tons of carbon dioxide equivalent MMTCO2e Million metric tons of carbon dioxide equivalent NAAQS National Ambient Air Quality Standards NOx Nitrogen Oxides NO2 Nitrogen dioxide N2O Nitrous oxide O3 Ozone PFCs Perfluorocarbons PM Particle matter PM10 Particles that are less than 10 micrometers in diameter PM2.5 Particles that are less than 2.5 micrometers in diameter PMI Point of maximum impact PPM Parts per million PPB Parts per billion RTIP Regional Transportation Improvement Plan RTP Regional Transportation Plan SCAB South Coast Air Basin SCAQMD South Coast Air Quality Management District SF6 Sulfur hexafluoride SIP State Implementation Plan SOx Sulfur Oxides SRA Source/Receptor Area TAC Toxic air contaminants VOC Volatile organic compounds WRCC Western Regional Climate Center Homeless Prevention Resource and Care Center Air Quality, Greenhouse Gas, and Energy Impact Study City of Fontana, CA Introduction 1 1.0 Introduction 1.1 Purpose of Analysis and Study Objectives This air quality and greenhouse gas (GHG) analysis was prepared to evaluate whether the estimated criteria pollutants and GHG emissions generated from the Project would cause a significant impact to the air resources in the Project area as well as evaluate whether the estimated energy usage by the project would cause a significant impact to the local energy resources. This assessment was conducted within the context of the California Environmental Quality Act (CEQA, California Public Resources Code Sections 21000, et seq.). The assessment is consistent with the methodology and emission factors endorsed by South Coast Air Quality Management District (SCAQMD), California Air Resource Board (CARB), and the United States Environmental Protection Agency (US EPA). 1.2 Project Summary 1.2.1 Site Location The project site is located at the southwest corner of Arrow Boulevard and Tokay Avenue, in the City of Fontana, California, as shown in Exhibit A. The site is currently zoned as open space - resource. The land directly surrounding the site is zoned as industrial to the north, transitional to the east, multi-family residential to the southeast, and open space – resource to the south and west. There are residential zones further north and southeast. Arrow Boulevard is to the north and Tokay Avenue is to the east. An aerial of the project site is shown in Exhibit A. 1.2.2 Project Description The proposed project is divided into two parts: Site A and Site B. Site A includes four parcels (APN’s 0232- 171-05, 06, 07, & 08) encompassing approximately 7 acres and Site B includes four parcels (APN’s 0232- 171-09, 12, 13, & 14) encompassing approximately 18 acres. The project will include a land redesignation from Open Space to Industrial for both sites. Project Site A proposes the construction and operation of a homelessness prevention resources and care center consisting of a maximum of 150 modular dwelling units, a 6,000 square-foot administration building, and support site amenities. Project Site B will only consist of the land use redesignation to Industrial without any planned development. The site plan for Site A is illustrated in Exhibit B. Construction activities within the Project area will consist of site preparation, on-site grading, building, paving, and architectural coating. Table 1 summarizes the land use description for the Project Site. Table 1: Land Use Summary Land Use Unit Amount Size Metric Congregate Care (Assisted Living) 150 Dwelling Units Parking Lot 65 Spaces Homeless Prevention Resource and Care Center Air Quality, Greenhouse Gas, and Energy Impact Study City of Fontana, CA Introduction 2 1.2.3 Sensitive Receptors Sensitive receptors are considered land uses or other types of population groups that are more sensitive to air pollution than others due to their exposure. Sensitive population groups include children, the elderly, the acutely and chronically ill, and those with cardio-respiratory diseases. For CEQA purposes, a sensitive receptor would be a location where a sensitive individual could remain for 24-hours or longer, such as residencies, hospitals, and schools (etc). The closest existing sensitive receptors (to the site area) are residential land uses located 85 feet to the southeast of the project site. 1.3 Executive Summary of Findings and Mitigation Measures The following is a summary of the analysis results: Construction-Source Emissions Project construction-source emissions would not exceed applicable regional thresholds of significance established by the SCAQMD. For localized emissions, the Project will not exceed applicable Localized Significance Thresholds (LSTs) established by the SCAQMD. Project construction-source emissions would not conflict with the Basin Air Quality Management Plan (AQMP). As discussed herein, the Project will comply with all applicable SCAQMD construction-source emission reduction rules and guidelines. Project construction source emissions would not cause or substantively contribute to violation of the California Ambient Air Quality Standards (CAAQS) or National Ambient Air Quality Standards (NAAQS). Established requirements addressing construction equipment operations, and construction material use, storage, and disposal requirements act to minimize odor impacts that may result from construction activities. Moreover, construction-source odor emissions would be temporary, short-term, and intermittent in nature and would not result in persistent impacts that would affect substantial numbers of people. Potential construction-source odor impacts are therefore considered less-than-significant. Operational-Source Emissions The Project operational-sourced emissions would not exceed applicable regional thresholds of significance established by the SCAQMD. Project operational-source emissions would not result in or cause a significant localized air quality impact as discussed in the Operations-Related Local Air Quality Impacts section of this report. Additionally, Project-related traffic will not cause or result in carbon dioxide (CO) concentrations exceeding applicable state and/or federal standards (CO “hotspots). Project operational-source emissions would therefore not adversely affect sensitive receptors within the vicinity of the Project. Project operational-source emissions would not conflict with the Basin Air Quality Management Plan (AQMP). The Project’s emissions meet SCAQMD regional thresholds and will not result in a significant cumulative impact. The Project does not propose any such uses or activities that would result in Homeless Prevention Resource and Care Center Air Quality, Greenhouse Gas, and Energy Impact Study City of Fontana, CA Introduction 3 potentially significant operational-source odor impacts. Potential operational-source odor impacts are therefore considered less-than-significant. Project-related GHG emissions meet the San Bernardino County and SCAQMD draft threshold. Therefore, Project emissions are considered to be less than significant. The Project also complies with the goals of the CARB Scoping Plan, Assembly Bill (AB) 32, Senate Bill (SB) 32, County of San Bernardino Greenhouse Gas Emissions Reduction Plan, the County of San Bernardino Climate Action Plan, and the City of Fontana General Plan. Neither construction nor operation of the project would result in wasteful, inefficient, or unnecessary consumption of energy, or wasteful use of energy resources. The proposed project does not include any unusual project characteristics or construction processes that would require the use of equipment that would be more energy intensive than is used for comparable activities and is an industrial project that is not proposing any additional features that would require a larger energy demand than other industrial projects of similar scale and configuration Mitigation Measures 3. Construction Measures No construction mitigation required. B. Operational Measures No operational mitigation required. Exhibit A Location Map 4 Introduction Homeless Prevention Resource and Care Center Air Quality, Greenhouse Gas, and Energy Impact Study City of Fontana, CA Site A Site B Exhibit B Site Plan 5 Introduction Homeless Prevention Resource and Care Center Air Quality, Greenhouse Gas, and Energy Impact Study City of Fontana, CA Homeless Prevention Resource and Care Center Air Quality, Greenhouse Gas, and Energy Impact Study City of Fontana, CA Regulatory Framework and Background 6 2.0 Regulatory Framework and Background 2.1 Air Quality Regulatory Setting Air pollutants are regulated at the national, state, and air basin level; each agency has a different level of regulatory responsibility. The United States EPA regulates at the national level. CARB regulates at the state level. SCAQMD regulates at the air basin level. 2.1.1 National and State The EPA is responsible for global, international, and interstate air pollution issues and policies. The EPA sets national vehicle and stationary source emission standards, oversees approval of all State Implementation Plans, provides research and guidance for air pollution programs, and sets National Air Quality Standards, also known as federal standards. There are six common air pollutants, called criteria pollutants, which were identified from the provisions of the Clean Air Act of 1970. • Ozone • Nitrogen Dioxide • Lead • Particulate Matter (PM10 and PM2.5) • Carbon Monoxide • Particulate Matter • Sulfur Dioxide The federal standards were set to protect public health, including that of sensitive individuals; thus, the standards continue to change as more medical research is available regarding the health effects of the criteria pollutants. Primary federal standards are the levels of air quality necessary, with an adequate margin of safety, to protect the public health. A State Implementation Plan is a document prepared by each state describing existing air quality conditions and measures that will be followed to attain and maintain federal standards. The State Implementation Plan for the State of California is administered by CARB, which has overall responsibility for statewide air quality maintenance and air pollution prevention. California’s State Implementation Plan incorporates individual federal attainment plans for regional air districts—air district prepares their federal attainment plan, which sent to CARB to be approved and incorporated into the California State Implementation Plan. Federal attainment plans include the technical foundation for understanding air quality (e.g., emission inventories and air quality monitoring), control measures and strategies, and enforcement mechanisms. See http://www.arb.ca.gov/research/aaqs/aaqs.htm for additional information on criteria pollutants and air quality standards. The federal and state ambient air quality standards are summarized in Table 2 and can also be found at http://www.arb.ca.gov/research/aaqs/aaqs2.pdf. Homeless Prevention Resource and Care Center Air Quality, Greenhouse Gas, and Energy Impact Study City of Fontana, CA Regulatory Framework and Background 7 Table 2: Ambient Air Quality Standards Pollutant Averaging Time California Standards1 National Standards2 Concentrations3 Method4 Primary3,5 Secondary3,6 Method7 Ozone (O3) 1-Hour 0.09 ppm Ultraviolet Photometry - - Same as Primary Standard Ultraviolet Photometry 8-Hour 0.070 ppm 0.070 ppm (147 μg/m3) Respirable Particulate Matter (PM10)8 24-Hour 50 μg/m3 Gravimetric or Beta Attenuation 150 μ/m3 Same as Primary Standard Inertial Separation and Gravimetric Analysis Annual Arithmetic Mean 20 μg/m3 - - Fine Particulate Matter (PM2.5)8 24-Hour - - - - 35 μg/m3 Same as Primary Standard Inertial Separation and Gravimetric Analysis Annual Arithmetic Mean 12 μg/m3 Gravimetric or Beta Attenuation 12 μg/m3 15 μg/m3 Carbon Monoxide (CO) 1-Hour 20 ppm (23 μg/m3) Non-Dispersive Infrared Photometry (NDIR) 35 ppm (40 μg/m3) - - Non-Dispersive Infrared Photometry (NDIR) 8-Hour 9.0 ppm (10 μg/m3) 9 ppm (10 μg/m3) - - Nitrogen Dioxide (NO2)9 1-Hour 0.18 ppm (339 μg/m3) Gas Phase Chemiluminescence 100 ppb (188 μg/m3) - - Gas Phase Chemiluminescence Annual Arithmetic Mean 0.030 ppm (357 μg/m3) 0.053 ppm (100 μg/m3) Same as Primary Standard Sulfur Dioxide (SO2)10 1-Hour 0.25 ppm (655 μg/m3) Ultraviolet Fluorescence 75 ppb (196 μg/m3) - - Ultraviolet Fluorescence; Spectrophotometry (Pararosaniline Method) 3-Hour - - - - 0.5 ppm (1300 mg/m3) 24-Hour 0.04 ppm (105 μg/m3) 0.14 ppm (for certain areas)10 - - Annual Arithmetic Mean - - 0.130ppm (for certain areas)10 - - Lead11,12 30 Day Average 1.5 μg/m3 Atomic Absorption - - Calendar Qrtr - - 1.5 μg/m3 (for certain areas)12 Same as Primary Standard High Volume Sampler and Atomic Absorption Rolling 3-Month Average - - 0.15 μg/m3 Visibility Reducing Particles13 8-Hour See footnote 13 Beta Attenuation and Transmittance through Filter Tape No National Standards Sulfates 24-Hour 25 μg/m3 Ion Chromatography Hydrogen Sulfide 1-Hour 0.03 ppm (42 μg/m3) Ultraviolet Fluorescence Vinyl Chloride11 24-Hour 0.01 ppm (26 μg/m3) Gas Chromatography Notes: 1. California standards for ozone, carbon monoxide, sulfur dioxide (1 and 24 hour), nitrogen dioxide, and particulate matter (PM10, PM2.5, and visibility reducing particles), are values that are not to be exceeded. All others are not to be equaled or exceeded. California ambient air quality standards are listed in the Table of Standards in Section 70200 of Title 17 of the California Code of Regulations. 2. National standards (other than ozone, particulate matter, and those based on annual arithmetic mean) are not to be exceeded more than once a year. The ozone standard is attained when the fourth highest 8-hour concentration measured at each site in a year, averaged over three years, is equal to or less than the standard. For PM10, the 24-hour standard is attained when the expected number of days per calendar year with a 24-hour average concentration above 150 μg/m3 is equal to or less than one. For PM2.5, the 24-hour standard is attained when 98 percent of the daily concentrations, averaged over three years, are equal to or less than the standard. Contact the U.S. EPA for further clarification and current national policies. 3. Concentration expressed first in units in which it was promulgated. Equivalent units given in parentheses are based upon a reference temperature of 25°C and a reference pressure of 760 torr. Most measurements of air quality are to be corrected to a reference temperature of 25°C and a reference pressure of 760 torr; ppm in this table refers to ppm by volume, or micromoles of pollutant per mole of gas. 4. Any equivalent measurement method which can be shown to the satisfaction of CARB to give equivalent results at or near the level of the air quality standard may be used. 5. National Primary Standards: The levels of air quality necessary, with an adequate margin of safety to protect the public health. Homeless Prevention Resource and Care Center Air Quality, Greenhouse Gas, and Energy Impact Study City of Fontana, CA Regulatory Framework and Background 8 6. National Secondary Standards: The levels of air quality necessary to protect the public welfare from any known or anticipated adverse effects of a pollutant. 7. Reference method as described by the U.S. EPA. An “equivalent method” of measurement may be used but must have a “consistent relationship to the reference method” and must be approved by the U.S. EPA. 8. On December 14, 2012, the national annual PM2.5 primary standard was lowered from 15 μg/m3 to 12.0 μg/m3. The existing national 24-hour PM2.5 standards (primary and secondary) were retained at 35 μg/m3, as was the annual secondary standard of 15 μg/m3. The existing 24-hour PM10 standards (primary and secondary) of 150 μg/m3 also were retained. The form of the annual primary and secondary standards is the annual mean, averaged over 3 years. 9. To attain the 1-hour national standard, the 3-year average of the annual 98th percentile of the 1-hour daily maximum concentrations at each site must not exceed 100 ppb. Note that the national 1-hour standard is in units of parts per billion (ppb). California standards are in units of parts per million (ppm). To directly compare the national 1-hour standard to the California standards the units can be converted from ppb to ppm. In this case, the national standard of 100 ppb is identical to 0.100 ppm. 10. On June 2, 2010, a new 1-hour SO2 standard was established and the existing 24-hour and annual primary standards were revoked. To attain the 1- hour national standard, the 3-year average of the annual 99th percentile of the 1-hour daily maximum concentrations at each site must not exceed 75 ppb. The 1971 SO2 national standards (24-hour and annual) remain in effect until one year after an area is designated for the 2010 standard, except that in areas designated nonattainment for the 1971 standards, the 1971 standards remain in effect until implementation plans to attain or maintain the 2010 standards are approved. Note that the 1-hour national standard is in units of parts per billion (ppb). California standards are in units of parts per million (ppm). To directly compare the 1-hour national standard to the California standard the units can be converted to ppm. In this case, the national standard of 75 ppb is identical to 0.075 ppm. 11. CARB has identified lead and vinyl chloride as ‘toxic air contaminants’ with no threshold level of exposure for adverse health effects determined. These actions allow for the implementation of control measures at levels below the ambient concentrations specified for these pollutants. 12. The national standard for lead was revised on October 15, 2008, to a rolling 3-month average. The 1978 lead standard (1.5 μg/m3 as a quarterly average) remains in effect until one year after an area is designated for the 2008 standard, except that in areas designated nonattainment for the 1978 standard, the 1978 standard remains in effect until implementation plans to attain or maintain the 2008 standard are approved. 13. In 1989, CARB converted the general statewide 10-mile visibility standard to an instrumental equivalent of “extinction of 0.23 per kilometer.” Several pollutants listed in Table 2 are not addressed in this analysis. Analysis of lead is not included in this report because the Project is not anticipated to emit lead. Visibility-reducing particles are not explicitly addressed in this analysis because particulate matter is addressed. The Project is not expected to generate or be exposed to vinyl chloride because proposed Project uses do not utilize the chemical processes that create this pollutant and there are no such uses in the Project vicinity. The proposed Project is not expected to cause exposure to hydrogen sulfide because it would not generate hydrogen sulfide in any substantial quantity. 2.1.2 South Coast Air Quality Management District The agency for air pollution control for the South Coast Air Basin (basin) is SCAQMD. SCAQMD is responsible for controlling emissions primarily from stationary sources. SCAQMD maintains air quality monitoring stations throughout the basin. SCAQMD, in coordination with the Southern California Association of Governments, is also responsible for developing, updating, and implementing the Air Homeless Prevention Resource and Care Center Air Quality, Greenhouse Gas, and Energy Impact Study City of Fontana, CA Regulatory Framework and Background 9 Quality Management Plan (AQMP) for the basin. An AQMP is a plan prepared and implemented by an air pollution district for a county or region designated as nonattainment of the federal and/or California ambient air quality standards. The term nonattainment area is used to refer to an air basin where one or more ambient air quality standards are exceeded. Every three (3) years the SCAQMD prepares a new AQMP, updating the previous plan and having a 20- year horizon. On March 23, 2017, CARB approved the 2016 AQMP. The 2016 AQMP is a regional blueprint for achieving the federal air quality standards and healthful air. The 2016 AQMP includes both stationary and mobile source strategies to ensure that rapidly approaching attainment deadlines are met, that public health is protected to the maximum extent feasible, and that the region is not faced with burdensome sanctions if the Plan is not approved or if the NAAQS are not met on time. As with every AQMP, a comprehensive analysis of emissions, meteorology, atmospheric chemistry, regional growth projections, and the impact of existing control measures is updated with the latest data and methods. The most significant air quality challenge in the Basin is to reduce nitrogen oxide (Nox) emissions sufficiently to meet the upcoming ozone standard deadlines. The primary goal of the 2016 AQMP is to meet clean air standards and protect public health, including ensuring benefits to environmental justice and disadvantaged communities. Now that the plan has been approved by CARB, it has been forwarded to the U.S. Environmental Protection Agency for its review. If approved by EPA, the plan becomes federally enforceable. South Coast AQMD has initiated the development of the 2022 AQMP to address the attainment of the 2015 8-hour ozone standard (70 ppb) for South Coast Air Basin and Coachella Valley. To support the development of mobile source strategies for the 2022 AQMP, South Coast AQMD, in conjunction with California Air Resources Board, has established Mobile Source Working Groups which are open to all interested parties. South Coast Air Quality Management District Rules The AQMP for the basin establishes a program of rules and regulations administered by SCAQMD to obtain attainment of the state and federal standards. Some of the rules and regulations that apply to this Project include, but are not limited to, the following: SCAQMD Rule 402 prohibits a person from discharging from any source whatsoever such quantities of air contaminants or other material which cause injury, detriment, nuisance, or annoyance to any considerable number of persons or to the public, or which endanger the comfort, repose, health or safety of any such persons or the public, or which cause, or have a natural tendency to cause, injury or damage to business or property. SCAQMD Rule 403 governs emissions of fugitive dust during construction and operation activities. Compliance with this rule is achieved through application of standard Best Management Practices, such as application of water or chemical stabilizers to disturbed soils, covering haul vehicles, restricting vehicle speeds on unpaved roads to 15 miles per hour, sweeping loose dirt from paved site access roadways, Homeless Prevention Resource and Care Center Air Quality, Greenhouse Gas, and Energy Impact Study City of Fontana, CA Regulatory Framework and Background 10 cessation of construction activity when winds exceed 25 mph, and establishing a permanent ground cover on finished sites. Rule 403 requires that fugitive dust be controlled with best available control measures so that the presence of such dust does not remain visible in the atmosphere beyond the property line of the emission source. In addition, Rule 403 requires implementation of dust suppression techniques to prevent fugitive dust from creating a nuisance off site. Applicable suppression techniques are indicated below and include but are not limited to the following: • Apply nontoxic chemical soil stabilizers according to manufacturers’ specifications to all inactive construction areas (previously graded areas in active for 10 days or more). • Water active sites at least three times daily. • Cover all trucks hauling dirt, sand, soil, or other loose materials, or maintain at least 2 feet of freeboard in accordance with the requirements of California Vehicle Code (CVC) section 23114. • Pave construction access roads at least 100 feet onto the site from the main road. • Reduce traffic speeds on all unpaved roads to 15 mph or less. • Suspension of all grading activities when wind speeds (including instantaneous wind gusts) exceed 25 mph. • Bumper strips or similar best management practices shall be provided where vehicles enter and exit the construction site onto paved roads or wash off trucks and any equipment leaving the site each trip. • Replanting disturbed areas as soon as practical. • During all construction activities, construction contractors shall sweep on-site and off-site streets if silt is carried to adjacent public thoroughfares, to reduce the amount of particulate matter on public streets. SCAQMD Rule 1113 governs the sale, use, and manufacturing of architectural coating and limits the VOC content in paints and paint solvents. This rule regulates the VOC content of paints available during construction. Therefore, all paints and solvents used during construction and operation of Project must comply with Rule 1113. Idling Diesel Vehicle Trucks – Idling for more than 5 minutes in any one location is prohibited within California borders. Rule 2702. The SCAQMD adopted Rule 2702 on February 6, 2009, which establishes a voluntary air quality investment program from which SCAQMD can collect funds from parties that desire certified GHG emission reductions, pool those funds, and use them to purchase or fund GHG emission reduction projects within two years, unless extended by the Governing Board. Priority will be given to projects that result in co-benefit emission reductions of GHG emissions and criteria or toxic air pollutants within environmental justice areas. Further, this voluntary program may compete with the cap-and-trade program identified for implementation in CARB’s Scoping Plan, or a Federal cap and trade program. Homeless Prevention Resource and Care Center Air Quality, Greenhouse Gas, and Energy Impact Study City of Fontana, CA Regulatory Framework and Background 11 2.1.3 City of Fontana City of Fontana General Plan The City of Fontana General Plan Final Environmental Impact Report contains the following air quality related mitigation measures that are applicable to the proposed project: MM-AQ-1 In order to reduce future project-related air pollutant emissions and promote sustainability through conservation of energy and other natural resources, building and site plan designs shall ensure the project energy efficiencies surpass (exceed) applicable (2016) California Title 24 Energy Efficiency Standards by a minimum of 5%. Verification of increased energy efficiencies shall be documented in Title 24 Compliance Reports provided by the applicant/developer and reviewed and approved by the City of Fontana prior to the issuance of the first building permit. MM-AQ-2 To reduce energy demand associated with potable water conveyance, future projects shall implement the following, as applicable: • Landscaping palette emphasizing drought tolerant plants • Use of water-efficient irrigation techniques U.S. Environmental Protection Agency (EPA) Certified WaterSense equivalent faucets, high-efficiency toilets, and water-conserving shower heads MM-AQ-3 Future projects shall comply with applicable provisions of state law, including the California Green Standards Code (Part 11 of Title 24 of the California Code of Regulations. MM-AQ-4 The applicant/developer shall encourage its tenants to use alternative- fueled vehicles such as compressed natural gas vehicles, electric vehicles, or other alternative fuels by providing publicly available information from the Southern California Air Quality Management District (SCAQMD), California Air Resources Board (GARB), and U.S. Environmental Protection Agency (EPA) on alternative fuel technologies. MM-AQ-5 To promote alternative fuels and help support "clean" truck fleets, the developer/successor-in-interest shall provide building occupants and businesses with information related to the Southern California Air Quality Management District's (SCAQMD) Carl Moyer Program or other state programs that restrict operations to "clean" trucks, such as 2007 or newer model year or 2010 compliant heavy-duty vehicles, and information about the health effects of diesel particulates, the benefits of reduced idling time, California Air Resources Board regulations, and the importance of not Homeless Prevention Resource and Care Center Air Quality, Greenhouse Gas, and Energy Impact Study City of Fontana, CA Regulatory Framework and Background 12 parking in residential areas. If trucks older than 2007 model year would be used at the project site, the developer/successor-in-interest shall encourage tenants, through contract specifications, to apply in good-faith for funding for diesel truck replacement/retrofit through grant programs such as the Carl Moyer, Prop 18, VIP [On-Road Heavy Duty Voucher Incentive Program], HVIP [Hybrid and Zero-Emission Truck and Bus Voucher Incentive Project], and SOON [Surplus Off-Road Opt-In for NOx] funding programs, as identified on SCAQMD's website (http://www.aqmd.gov). Tenants would be required to use those funds, if awarded. MM-AQ-6 The applicant/developer shall encourage its tenants to use water-based or low volatile organic compound (VOC) cleaning products by providing publicly available information from the Southern California Air Quality Management District (SCAQMD), California Air Resources Board (CARB}, and U.S. Environmental Protection Agency (EPA) on such cleaning products. MM-AQ-7 All on-site forklifts shall be non-diesel and shall be powered by electricity, compressed natural gas, or propane if technically feasible. MM-AQ-8 In the event that any off-site utility and/or infrastructure improvements are required as a direct result of future projects, construction of such off- site utility and infrastructure improvements shall not occur concurrently with the demolition, site preparation, and grading phases of project construction. This requirement shall be clearly noted on all applicable grading and/or building plans. MM-AQ-9 All construction equipment shall be maintained in good operation condition so as to reduce emissions. The construction contractor shall ensure that all construction equipment is being properly serviced and maintained as per the manufacturer’s specification. Maintenance records shall be available at the construction site for City of Fontana verification. The following additional measures, as determined applicable by the City Engineer, shall be included as conditions of the Grading Permit issuance: • Provide temporary traffic controls such as a flag person, during all phases of construction to maintain smooth traffic flow. • Provide dedicated turn lanes for movement of construction trucks and equipment on- and off-site. • Reroute construction trucks away from congested streets or sensitive receptor areas. Homeless Prevention Resource and Care Center Air Quality, Greenhouse Gas, and Energy Impact Study City of Fontana, CA Regulatory Framework and Background 13 • Appoint a construction relations officer to act as a community liaison concerning on-site construction activity including resolution of issues related to PM10 generation. • Improve traffic flow by signal synchronization and ensure that all vehicles and equipment will be properly tuned and maintained according to manufacturers’ specifications. • Require the use of 2010 and newer diesel haul trucks (e.g., material delivery trucks and soil import/export). If the lead agency determines that 2010 model year or newer diesel trucks cannot be obtained the lead agency shall use trucks that meet EPA 2007 model year NOx and PM emissions requirements. • During project construction, all internal combustion engines/construction equipment operating on the project site shall meet EPA-Certified Tier 3 emissions standards, or higher according to the following: J o January 1, 2012, to December 31, 2014: All off-road diesel- powered construction equipment greater than 50 hp shall meet Tier 3 off-road emissions standards. In addition, all construction equipment shall be outfitted with BACT devices certified by CARB. Any emissions control device used by the contractor shall achieve emissions reductions that are no less than what could be achieved by a Level 3 diesel emissions control strategy for a similarly sized engine as defined by CARB regulations. o Post-January 1, 2015: All off-road diesel-powered construction equipment greater than 50 hp shall meet the Tie. 4 emission standards, where available. In addition, all construction equipment shall be outfitted with BACT devices certified by CARB. Any emissions control device used by the contractor shall achieve emissions reductions that are no less than what could be achieved. by a Level 3 diesel emissions control strategy for similarly sized engine as defined by CARB regulations. o A copy of each unit’s certified tier specification, BACT documentation, and CARB or SCAQMD operating permit shall be provided at the time of mobilization of each applicable unit of equipment. MM-AQ-10 Prior to the issuance of any grading permits, all Applicants shall submit construction plans to the City of Fontana denoting the proposed schedule and projected equipment use. Construction contractors shall provide evidence that low emission mobile construction equipment will be utilized, or that their use was investigated and found to be infeasible for the Homeless Prevention Resource and Care Center Air Quality, Greenhouse Gas, and Energy Impact Study City of Fontana, CA Regulatory Framework and Background 14 project. Contractors shall also conform to any construction measures imposed by the SCAQMD as well as City Planning Staff. MM-AQ-11 All paints and coatings shall meet or exceed performance standards noted in SCAQMD Rule 1113. Specifically, the following measures shall be implemented, as feasible: • Use coatings and solvents with a VOC content lower than that required under AQMD Rule 1113. • Construct or build with materials that do not require painting. • Require the-use of pre-painted construction materials. MM-AQ-12 Projects that result in the construction of more than 19 single-family residential units, 40 multifamily residential units, or 45,000 square feet of retail/commercial/industrial space shall be required to apply paints either by hand or high volume, low pressure (HVLP) spay. These measures may reduce volatile organic compounds (VOC) associated with the application of paints and coatings by an estimated 60 to 75 percent. Alternatively, the contractor may specify the use of low volatility paints and coatings. Several of currently available primers have VOC contents of less than 0.85 pounds per gallon (e.g., Dulux professional exterior primer 100 percent acrylic). Top coats can be less than 0.07 pounds per gallon (8 grams per liter) (e.g., Lifemaster 2000-series). This latter measure would reduce these VOC emissions by more than 70 percent. Larger projects should incorporate both the use of HVLP or hand application and the requirement for low volatility coatings. MM-AQ-13 All asphalt shall meet or exceed performance standards noted in SCAQMD Rule 1108. MM-AQ-14 Prior to the issuance of grading permits or approval of grading plans for future development projects within the project area, future developments shall include a dust control plan as part of the construction contract standard specifications. The dust control plan shall include measures to meet the requirements of SCAQMD Rules 402 and 403. Such measures may include, but are not limited to, the following: • Phase and schedule activities to avoid high-ozone days and first- stage smog alerts. • Discontinue operation during second-stage smog alerts. • All haul trucks shall be covered prior to leaving the site to prevent dust from impacting the surrounding areas. • Comply with AQMD Rule 403, particularly to minimize fugitive dust and noise to surrounding areas. Homeless Prevention Resource and Care Center Air Quality, Greenhouse Gas, and Energy Impact Study City of Fontana, CA Regulatory Framework and Background 15 • Moisten soil each day prior to commencing grading to depth of soil cut. • Water exposed surfaces at least twice a day under calm conditions, and as often as needed on windy days or during very dry weather in order to maintain a surface crust and minimize the release of visible emissions from the construction site. • Treat any area that will be exposed for extended periods with a soil conditioner to stabilize soil or temporarily plant with vegetation. • Wash mud-covered tires and under carriages of trucks leaving construction sites. • Provide for street sweeping, as needed, on adjacent roadways to remove dirt dropped by construction vehicles or mud, which would otherwise be carried off by trucks departing project sites. • Securely cover all loads of fill coming to the site with a tight-fitting tarp. • Cease grading during periods when winds exceed 25 miles per hour. • Provide for permanent sealing of all graded areas, as applicable, at the earliest practicable time after soil disturbance. • Use low-sulfur diesel fuel in all equipment. • Use electric equipment whenever practicable. • Shut off engines when not in use. MM-AQ-15 All industrial and commercial facilities shall post signs requiring that trucks shall not be left idling for prolonged periods pursuant to Title 13 of the California Code of Regulations, Section 2485, which limits idle times to not more than five minutes. MM-AQ-16 The City of Fontana shall require that both industrial and commercial uses designate preferential parking for vanpools. MM-AQ-17 The proposed commercial and industrial areas shall incorporate food service. MM-AQ-18 All industrial and commercial site tenants with 50 or more employees shall be required to post both bus and MetroLink schedules in conspicuous areas. MM-AQ-19 All industrial and commercial site tenants with 50 or more employees shall be requested to configure their operating schedules around the MetroLink schedule to the extent reasonably feasible. Homeless Prevention Resource and Care Center Air Quality, Greenhouse Gas, and Energy Impact Study City of Fontana, CA Regulatory Framework and Background 16 MM-AQ-20 All residential and commercial structures shall be required to incorporate high efficiency/low polluting heating, air conditioning, appliances, and water heaters. MM-AQ-21 All residential and commercial structures shall be required to incorporate thermal pane windows and weather-stripping MM-AQ-22 All residential, commercial, and industrial structures shall be required to incorporate light colored roofing materials. MM-AQ-23 Prior to approval of future development projects within the project area, the City of Fontana shall conduct project-level environmental review to determine potential vehicle emission impacts associated with the project(s). Mitigation measures shall be developed for each project as it is considered to mitigate potentially significant impacts to the extent feasible. Potential mitigation measures may require that facilities with over 250 employees (full or part-time employees at a worksite for a consecutive six-month period calculated as a monthly average), as required by the Air Quality Management Plan, implement Transportation Demand Management (TDM) programs. 2.2 Greenhouse Gas Regulatory Setting 2.2.1 International Many countries around the globe have made an effort to reduce GHGs since climate change is a global issue. Intergovernmental Panel on Climate Change. In 1988, the United Nations and the World Meteorological Organization established the Intergovernmental Panel on Climate Change to assess the scientific, technical and socio-economic information relevant to understanding the scientific basis of risk of human- induced climate change, its potential impacts, and options for adaptation and mitigation. United Nations. The United States participates in the United Nations Framework Convention on Climate Change (UNFCCC) (signed on March 21, 1994). Under the Convention, governments gather and share information on greenhouse gas emissions, national policies, and best practices; launch national strategies for addressing greenhouse gas emissions and adapting to expected impacts, including the provision of financial and technological support to developing countries; and cooperate in preparing for adaptation to the impacts of climate change. The 2014 UN Climate Change Conference in Lima Peru provided a unique opportunity to engage all countries to assess how developed countries are implementing actions to reduce emissions. Homeless Prevention Resource and Care Center Air Quality, Greenhouse Gas, and Energy Impact Study City of Fontana, CA Regulatory Framework and Background 17 Kyoto Protocol. The Kyoto Protocol is a treaty made under the UNFCCC and was the first international agreement to regulate GHG emissions. It has been estimated that if the commitments outlined in the Kyoto Protocol are met, global GHG emissions could be reduced by an estimated 5 percent from 1990 levels during the first commitment period of 2008 – 2012 (UNFCCC 1997). On December 8, 2012, the Doha Amendment to the Kyoto Protocol was adopted. The amendment includes: New commitments for Annex I Parties to the Kyoto Protocol who agreed to take on commitments in a second commitment period from 2013 – 2020; a revised list of greenhouse gases (GHG) to be reported on by Parties in the second commitment period; and Amendments to several articles of the Kyoto Protocol which specifically referenced issues pertaining to the first commitment period and which needed to be updated for the second commitment period. 2.2.2 National Greenhouse Gas Endangerment. On December 2, 2009, the EPA announced that GHGs threaten the public health and welfare of the American people. The EPA also states that GHG emissions from on-road vehicles contribute to that threat. The decision was based on Massachusetts v. EPA (Supreme Court Case 05-1120) which argued that GHGs are air pollutants covered by the Clean Air Act and that the EPA has authority to regulate those emissions. Clean Vehicles. Congress first passed the Corporate Average Fuel Economy law in 1975 to increase the fuel economy of cars and light duty trucks. The law has become more stringent over time. On May 19, 2009, President Obama put in motion a new national policy to increase fuel economy for all new cars and trucks sold in the United States. On April 1, 2010, the EPA and the Department of Transportation’s National Highway Safety Administration announced a joint final rule establishing a national program that would reduce greenhouse gas emissions and improve fuel economy for new cars and trucks sold in the United States. The first phase of the national program would apply to passenger cars, light-duty trucks, and medium- duty passenger vehicles, covering model years 2012 through 2016. They require these vehicles to meet an estimated combined average emissions level of 250 grams of carbon dioxide per mile, equivalent to 35.5 miles per gallon if the automobile industry were to meet this carbon dioxide level solely through fuel economy improvements. Together, these standards would cut carbon dioxide emissions by an estimated 960 million metric tons and 1.8 billion barrels of oil over the lifetime of the vehicles sold under the program (model years 2012-2016). The second phase of the national program would involve proposing new fuel economy and greenhouse gas standards for model years 2017 – 2025 by September 1, 2011. On October 25, 2010, the EPA and the U.S. Department of Transportation proposed the first national standards to reduce greenhouse gas emissions and improve fuel efficiency of heavy-duty trucks and buses. For combination tractors, the agencies are proposing engine and vehicle standards that begin in the 2014 model year and achieve up to a 20 percent reduction in carbon dioxide emissions and fuel consumption by the 2018 model year. For heavy-duty pickup trucks and vans, the agencies are proposing separate gasoline and diesel truck standards, which phase in starting in the 2014 model year and achieve up to a 10 percent reduction for gasoline vehicles and 15 percent reduction for diesel vehicles by 2018 Homeless Prevention Resource and Care Center Air Quality, Greenhouse Gas, and Energy Impact Study City of Fontana, CA Regulatory Framework and Background 18 model year (12 and 17 percent respectively if accounting for air conditioning leakage). Lastly, for vocational vehicles, the agencies are proposing engine and vehicle standards starting in the 2014 model year which would achieve up to a 10 percent reduction in fuel consumption and carbon dioxide emissions by 2018 model year. Issued by the National Highway Traffic Safety Administration (NHTSA) and EPA in March 2020 (published on April 30, 2020, and effective after June 29, 2020), the Safer Affordable Fuel-Efficient Vehicles Rule would maintain the Corporate Average Fuel Economy (CAFÉ) and CO2 standards applicable in model year 2020 for model years 2021 through 2026. The estimated CAFÉ and CO2 standards for model year 2020 are 43.7 mpg and 204 grams of CO2 per mile for passenger cars and 31.3 mpg and 284 grams of CO2 per mile for light trucks, projecting an overall industry average of 37 mpg, as compared to 46.7 mpg under the standards issued in 2012. This Rule also excludes CO2- equivalent emission improvements associated with air conditioning refrigerants and leakage (and, optionally, offsets for nitrous oxide and methane emissions) after model year 2020.1 Mandatory Reporting of Greenhouse Gases. On January 1, 2010, the EPA started requiring large emitters of heat-trapping emissions to begin collecting GHG data under a new reporting system. Under the rule, suppliers of fossil fuels or industrial greenhouse gases, manufacturers of vehicles and engines, and facilities that emit 25,000 metric tons or more per year of greenhouse gas emissions are required to submit annual reports to the EPA. Climate Adaption Plan. The EPA Plan identifies priority actions the Agency will take to incorporate considerations of climate change into its programs, policies, rules and operations to ensure they are effective under future climatic conditions. The following link provides more information on the EPA Plan: https://www.epa.gov/arc-x/planning-climate-change-adaptation 2.2.3 California California Code of Regulations (CCR) Title 24, Part 6. CCR Title 24, Part 6: California’s Energy Efficiency Standards for Residential and Nonresidential Buildings (Title 24) were first established in 1978 in response to a legislative mandate to reduce California’s energy consumption. The standards are updated periodically to allow consideration and possible incorporation of new energy efficiency technologies and methods. Although it was not originally intended to reduce GHG emissions, electricity production by fossil fuels results in GHG emissions and energy efficient buildings require less electricity. Therefore, increased energy efficiency results in decreased GHG emissions. The Energy Commission adopted 2008 Standards on April 23, 2008, and Building Standards Commission approved them for publication on September 11, 2008. These updates became effective on August 1, 1 National Highway Traffic Safety Administration (NHTSA) and U.S. Environmental Protection Agency (USEPA), 2018. Federal Register / Vol. 83, No. 165 / Friday, August 24, 2018 / Proposed Rules, The Safer Affordable Fuel-Efficient (SAFE) Vehicles Rule for Model Years 2021–2026 Passenger Cars and Light Trucks 2018. Available at: https://www.gpo.gov/fdsys/pkg/FR-2018-08-24/pdf/2018-16820.pdf. Homeless Prevention Resource and Care Center Air Quality, Greenhouse Gas, and Energy Impact Study City of Fontana, CA Regulatory Framework and Background 19 2009. 2013, 2016, and 2019 standards have been approved and became effective July 1, 2014, January 1, 2016, and January 1, 2020, respectively. California Code of Regulations (CCR) Title 24, Part 11. All buildings for which an application for a building permit is submitted on or after January 1, 2020, must follow the 2019 standards. Energy efficient buildings require less electricity; therefore, increased energy efficiency reduces fossil fuel consumption and decreases greenhouse gas emissions. The following links provide more information on Title 24, Part 11: https://www.dgs.ca.gov/BSC/Codeshttps://www.energy.ca.gov/sites/default/files/2020- 03/Title_24_2019_Building_Standards_FAQ_ada.pdf California Green Building Standards. On January 12, 2010, the State Building Standards Commission unanimously adopted updates to the California Green Building Standards Code, which went into effect on January 1, 2011. The Housing and Community Development (HCD) updated CALGreen through the 2015 Triennial Code Adoption Cycle, during the 2016 to 2017 fiscal year. During the 2019-2020 fiscal year, the Department of Housing and Community Development (HCD) updated CALGreen through the 2019 Triennial Code Adoption Cycle. The Code is a comprehensive and uniform regulatory code for all residential, commercial and school buildings. CCR Title 24, Part 11: California Green Building Standards (Title 24) became effective in 2001 in response to continued efforts to reduce GHG emissions associated with energy consumption. CCR Title 24, Part 11 now require that new buildings reduce water consumption, employ building commissioning to increase building system efficiencies, divert construction waste from landfills, and install low pollutant-emitting finish materials. One focus of CCR Title 24, Part 11 is water conservation measures, which reduce GHG emissions by reducing electrical consumption associated with pumping and treating water. CCR Title 24, Part 11 has approximately 52 nonresidential mandatory measures and an additional 130 provisions for optional use. Some key mandatory measures for commercial occupancies include specified parking for clean air vehicles, a 20 percent reduction of potable water use within buildings, a 50 percent construction waste diversion from landfills, use of building finish materials that emit low levels of volatile organic compounds, and commissioning for new, nonresidential buildings over 10,000 square feet. The 2019 CalGreen Code includes the following changes and/or additional regulations: Single-family homes built with the 2019 standards will use about 7 percent less energy due to energy efficiency measures versus those built under the 2016 standards. Once rooftop solar electricity generation is factored in, homes built under the 2019 standards will use about 53 percent less energy Homeless Prevention Resource and Care Center Air Quality, Greenhouse Gas, and Energy Impact Study City of Fontana, CA Regulatory Framework and Background 20 than those under the 2016 standards. Nonresidential buildings will use about 30 percent less energy due mainly to lighting upgrades2. HCD modified the best management practices for stormwater pollution prevention adding Section 5.106.2 for projects that disturb one or more acres of land. This section requires projects that disturb one acre or more of land or less than one acre of land but are part of a larger common plan of development or sale must comply with the post-construction requirement detailed in the applicable National Pollutant Discharge Elimination System (NPDES) General Permit for Stormwater Discharges Associated with Construction and Land Disturbance Activities issued by the State Water Resources Control Board. The NPDES permits require post-construction runoff (post-project hydrology) to match the preconstruction runoff (pre-project hydrology) with installation of post-construction stormwater management measures. HCD added sections 5.106.4.1.3 and 5.106.4.1.5 in regard to bicycle parking. Section 5.106.4.1.3 requires new buildings with tenant spaces that have 10 or more tenant-occupants, provide secure bicycle parking for 5 percent of the tenant-occupant vehicular parking spaces with a minimum of one bicycle parking facility. In addition, Section 5.106.4.1.5 states that acceptable bicycle parking facility for Sections 5.106.4.1.2 through 5.106.4.1.4 shall be convenient from the street and shall meeting one of the following: (1) covered, lockable enclosures with permanently anchored racks for bicycles; (2) lockable bicycle rooms with permanently anchored racks; or (3) lockable, permanently anchored bicycle lockers. HCD amended section 5.106.5.3.5 allowing future charging spaces to qualify as designated parking for clean air vehicles. HCD updated section 5.303.3.3 in regard to showerhead flow rates. This update reduced the flow rate to 1.8 GPM. HCD amended section 5.304.1 for outdoor potable water use in landscape areas and repealed sections 5.304.2 and 5.304.3. The update requires nonresidential developments to comply with a local water efficient landscape ordinance or the current California Department of Water Resource’s’ Model Water Efficient Landscape Ordinance (MWELO), whichever is more stringent. Some updates were also made in regard to the outdoor potable water use in landscape areas for public schools and community colleges. HCD updated Section 5.504.5.3 in regard to the use of MERV filters in mechanically ventilated buildings. This update changed the filter use from MERV 8 to MERV 13. The California Green Building Standards Code does not prevent a local jurisdiction from adopting a more stringent code as state law provides methods for local enhancements. The Code recognizes that many jurisdictions have developed existing construction and demolition ordinances, and defers to them as the 2 https://ww2.energy.ca.gov/title24/2019standards/documents/2018_Title_24_2019_Building_Standards_FAQ.pdf Homeless Prevention Resource and Care Center Air Quality, Greenhouse Gas, and Energy Impact Study City of Fontana, CA Regulatory Framework and Background 21 ruling guidance provided, they provide a minimum 50-percent diversion requirement. The code also provides exemptions for areas not served by construction and demolition recycling infrastructure. State building code provides the minimum standard that buildings need to meet in order to be certified for occupancy. Enforcement is generally through the local building official. The following link provides more on CalGreen Building Standards: http://www.bsc.ca.gov/Home/CALGreen.aspx Executive Order S-3-05. California Governor issued Executive Order S-3-05, GHG Emission, in June 2005, which established the following targets: • By 2010, California shall reduce greenhouse gas emissions to 2000 levels; • By 2020, California shall reduce greenhouse gas emissions to 1990 levels; and • By 2050, California shall reduce greenhouse gas emissions to 80 percent below 1990 levels. The executive order directed the secretary of the California Environmental Protection Agency (CalEPA) to coordinate a multi-agency effort to reduce GHG emissions to the target levels. To comply with the Executive Order, the secretary of CalEPA created the California Climate Action Team (CAT), made up of members from various state agencies and commissions. The team released its first report in March 2006. The report proposed to achieve the targets by building on the voluntary actions of businesses, local governments, and communities and through State incentive and regulatory programs. Executive Order S-01-07. Executive Order S-1-07 was issued in 2007 and proclaims that the transportation sector is the main source of GHG emissions in the State, since it generates more than 40 percent of the State’s GHG emissions. It establishes a goal to reduce the carbon intensity of transportation fuels sold in the State by at least ten percent by 2020. This Order also directs CARB to determine whether this Low Carbon Fuel Standard (LCFS) could be adopted as a discrete early-action measure as part of the effort to meet the mandates in AB 32. On April 23, 2009 CARB approved the proposed regulation to implement the low carbon fuel standard and began implementation on January 1, 2011. The low carbon fuel standard is anticipated to reduce GHG emissions by about 16 MMT per year by 2020. CARB approved some amendments to the LCFS in December 2011, which were implemented on January 1, 2013. In September 2015, the Board approved the re-adoption of the LCFS, which became effective on January 1, 2016, to address procedural deficiencies in the way the original regulation was adopted. In 2018, the Board approved amendments to the regulation, which included strengthening and smoothing the carbon intensity benchmarks through 2030 in-line with California’s 2030 GHG emission reduction target enacted through SB 32, adding new crediting opportunities to promote zero emission vehicle adoption, alternative jet fuel, carbon capture and sequestration, and advanced technologies to achieve deep decarbonization in the transportation sector. The LCFS is designed to encourage the use of cleaner low-carbon transportation fuels in California, encourage the production of those fuels, and therefore, reduce GHG emissions and decrease petroleum dependence in the transportation sector. Separate standards are established for gasoline and diesel Homeless Prevention Resource and Care Center Air Quality, Greenhouse Gas, and Energy Impact Study City of Fontana, CA Regulatory Framework and Background 22 fuels and the alternative fuels that can replace each. The standards are “back-loaded”, with more reductions required in the last five years, than the first five years. This schedule allows for the development of advanced fuels that are lower in carbon than today’s fuels and the market penetration of plug-in hybrid electric vehicles, battery electric vehicles, fuel cell vehicles, and flexible fuel vehicles. It is anticipated that compliance with the low carbon fuel standard will be based on a combination of both lower carbon fuels and more efficient vehicles. Reformulated gasoline mixed with corn-derived ethanol at ten percent by volume and low sulfur diesel fuel represent the baseline fuels. Lower carbon fuels may be ethanol, biodiesel, renewable diesel, or blends of these fuels with gasoline or diesel as appropriate. Compressed natural gas and liquefied natural gas also may be low carbon fuels. Hydrogen and electricity, when used in fuel cells or electric vehicles are also considered as low carbon fuels for the low carbon fuel standard. SB 97. Senate Bill 97 (SB 97) was adopted August 2007 and acknowledges that climate change is a prominent environmental issue that requires analysis under CEQA. SB 97 directed the Governor’s Office of Planning and Research (OPR), which is part of the State Resource Agency, to prepare, develop, and transmit to CARB guidelines for the feasible mitigation of GHG emissions or the effects of GHG emissions, as required by CEQA, by July 1, 2009. The Resources Agency was required to certify and adopt those guidelines by January 1, 2010. Pursuant to the requirements of SB 97 as stated above, on December 30, 2009, the Natural Resources Agency adopted amendments to the state CEQA guidelines that address GHG emissions. The CEQA Guidelines Amendments changed 14 sections of the CEQA Guidelines and incorporate GHG language throughout the Guidelines. However, no GHG emissions thresholds of significance are provided and no specific mitigation measures are identified. The GHG emission reduction amendments went into effect on March 18, 2010, and are summarized below: • Climate action plans and other greenhouse gas reduction plans can be used to determine whether a project has significant impacts, based upon its compliance with the plan. • Local governments are encouraged to quantify the greenhouse gas emissions of proposed projects, noting that they have the freedom to select the models and methodologies that best meet their needs and circumstances. The section also recommends consideration of several qualitative factors that may be used in the determination of significance, such as the extent to which the given Project complies with state, regional, or local GHG reduction plans and policies. OPR does not set or dictate specific thresholds of significance. Consistent with existing CEQA Guidelines, OPR encourages local governments to develop and publish their own thresholds of significance for GHG impacts assessment. • When creating their own thresholds of significance, local governments may consider the thresholds of significance adopted or recommended by other public agencies, or recommended by experts. • New amendments include guidelines for determining methods to mitigate the effects of greenhouse gas emissions in Appendix F of the CEQA Guidelines. Homeless Prevention Resource and Care Center Air Quality, Greenhouse Gas, and Energy Impact Study City of Fontana, CA Regulatory Framework and Background 23 • OPR is clear to state that “to qualify as mitigation, specific measures from an existing plan must be identified and incorporated into the Project; general compliance with a plan, by itself, is not mitigation.” • OPR’s emphasizes the advantages of analyzing GHG impacts on an institutional, programmatic level. OPR therefore approves tiering of environmental analyses and highlights some benefits of such an approach. • Environmental impact reports (EIRs) must specifically consider a project’s energy use and energy efficiency potential. AB 32. The California State Legislature enacted AB 32, the California Global Warming Solutions Act of 2006. AB 32 requires that greenhouse gases emitted in California be reduced to 1990 levels by the year 2020. “Greenhouse gases” as defined under AB 32 include carbon dioxide, methane, nitrous oxide, hydrofluorocarbons, perfluorocarbons, and sulfur hexafluoride. CARB is the state agency charged with monitoring and regulating sources of greenhouse gases. AB 32 states the following: Global warming poses a serious threat to the economic well-being, public health, natural resources, and the environment of California. The potential adverse impacts of global warming include the exacerbation of air quality problems, a reduction in the quality and supply of water to the state from the Sierra snowpack, a rise in sea levels resulting in the displacement of thousands of coastal businesses and residences, damage to marine ecosystems and the natural environment, and an increase in the incidences of infectious diseases, asthma, and other human health-related problems. The CARB Board approved the 1990 greenhouse gas emissions level of 427 million metric tons of carbon dioxide equivalent (MMTCO2e) on December 6, 2007 (California Air Resources Board 2007). Therefore, emissions generated in California in 2020 are required to be equal to or less than 427 MMTCO2e. Emissions in 2020 in a “business as usual” scenario are estimated to be 596 MMTCO2e. Under AB 32, CARB published its Final Expanded List of Early Action Measures to Reduce Greenhouse Gas Emissions in California. Discrete early action measures are currently underway or are enforceable by January 1, 2010. CARB has 44 early action measures that apply to the transportation, commercial, forestry, agriculture, cement, oil and gas, fire suppression, fuels, education, energy efficiency, electricity, and waste sectors. Of these early action measures, nine are considered discrete early action measures, as they are regulatory and enforceable by January 1, 2010. CARB estimates that the 44 recommendations are expected to result in reductions of at least 42 MMTCO2e by 2020, representing approximately 25 percent of the 2020 target. CARB’s Climate Change Scoping Plan (Scoping Plan) contains measures designed to reduce the State’s emissions to 1990 levels by the year 2020 (California Air Resources Board 2008). The Scoping Plan identifies recommended measures for multiple greenhouse gas emission sectors and the associated emission reductions needed to achieve the year 2020 emissions target—each sector has a different emission reduction target. Most of the measures target the transportation and electricity sectors. As stated in the Scoping Plan, the key elements of the strategy for achieving the 2020 greenhouse gas target include: Homeless Prevention Resource and Care Center Air Quality, Greenhouse Gas, and Energy Impact Study City of Fontana, CA Regulatory Framework and Background 24 • Expanding and strengthening existing energy efficiency programs as well as building and appliance standards; • Achieving a statewide renewables energy mix of 33 percent; • Developing a California cap-and-trade program that links with other Western Climate Initiative partner programs to create a regional market system; • Establishing targets for transportation-related greenhouse gas emissions for regions throughout California and pursuing policies and incentives to achieve those targets; • Adopting and implementing measures pursuant to existing State laws and policies, Including California’s clean car standards, goods movement measures, and the Low Carbon Fuel Standard; and • Creating targeted fees, including a public goods charge on water use, fees on high global warming potential gases, and a fee to fund the administrative costs of the State’s long-term commitment to AB 32 implementation. In addition, the Scoping Plan differentiates between “capped” and “uncapped” strategies. “Capped” strategies are subject to the proposed cap-and-trade program. The Scoping Plan states that the inclusion of these emissions within the cap-and trade program will help ensure that the year 2020 emission targets are met despite some degree of uncertainty in the emission reduction estimates for any individual measure. Implementation of the capped strategies is calculated to achieve a sufficient amount of reductions by 2020 to achieve the emission target contained in AB 32. “Uncapped” strategies that will not be subject to the cap-and-trade emissions caps and requirements are provided as a margin of safety by accounting for additional greenhouse gas emission reductions.4 Senate Bill 100. Senate Bill 100 (SB 100) requires 100 percent of total retail sales of electricity in California to come from eligible renewable energy resources and zero-carbon resources by December 31, 2045. SB 100 was adopted September 2018. The interim thresholds from prior Senate Bills and Executive Orders would also remain in effect. These include Senate Bill 1078 (SB 1078), which requires retail sellers of electricity, including investor-owned utilities and community choice aggregators, to provide at least 20 percent of their supply from renewable sources by 2017. Senate Bill 107 (SB 107) which changed the target date to 2010. Executive Order S-14- 08, which was signed on November 2008 and expanded the State’s Renewable Energy Standard to 33 percent renewable energy by 2020. Executive Order S-21-09 directed CARB to adopt regulations by July 31, 2010 to enforce S-14-08. Senate Bill X1-2 codifies the 33 percent renewable energy requirement by 2020. SB 375. Senate Bill 375 (SB 375) was adopted September 2008 and aligns regional transportation planning efforts, regional GHG emission reduction targets, and land use and housing allocation. SB 375 requires Metropolitan Planning Organizations (MPO) to adopt a sustainable communities strategy (SCS) or alternate planning strategy (APS) that will prescribe land use allocation in that MPOs Regional Transportation Plan (RTP). CARB, in consultation with each MPO, will provide each affected region with reduction targets for GHGs emitted by passenger cars and light trucks in the region for the years 2020 and 2035. These reduction targets will be updated every eight years but can be updated every four years Homeless Prevention Resource and Care Center Air Quality, Greenhouse Gas, and Energy Impact Study City of Fontana, CA Regulatory Framework and Background 25 if advancements in emissions technologies affect the reduction strategies to achieve the targets. CARB is also charged with reviewing each MPO’s sustainable communities strategy or alternate planning strategy for consistency with its assigned targets. The proposed Project is located within the Southern California Association of Governments (SCAG), which has authority to develop the SCS or APS. For the SCAG region, the targets set by CARB are at eight percent below 2005 per capita GHG emissions levels by 2020 and 13 percent below 2005 per capita GHG emissions levels by 2035. On April 4, 2012, SCAG adopted the 2012-2035 Regional Transportation Plan / Sustainable Communities Strategy (RTP/SCS), which meets the CARB emission reduction requirements. On September 3, 2020, SCAG’s Regional Council approved and fully adopted the Connect SoCal (2020– 2045 Regional Transportation Plan/Sustainable Communities Strategy), and the addendum to the Connect SoCal Program Environmental Impact Report. Connect SoCal is a long-range visioning plan that builds upon and expands land use and transportation strategies established over several planning cycles to increase mobility options and achieve a more sustainable growth pattern. Connect SoCal outlines more than $638 billion in transportation system investments through 2045. Connect SoCal is supported by a combination of transportation and land use strategies that help the region achieve state greenhouse gas emission reduction goals and federal Clean Air Act requirements, preserve open space areas, improve public health and roadway safety, support our vital goods movement industry and utilize resources more efficiently. By integrating the Forecasted Development Pattern with a suite of financially constrained transportation investments, Connect SoCal can reach the regional target of reducing greenhouse gases, or GHGs, from autos and light-duty trucks by 8 percent per capita by 2020, and 19 percent by 2035 (compared to 2005 levels). City and County land use policies, including General Plans, are not required to be consistent with the RTP and associated SCS or APS. However, new provisions of CEQA would incentivize, through streamlining and other provisions, qualified projects that are consistent with an approved SCS or APS and categorized as “transit priority projects.” Assembly Bill 939, Assembly Bill, and Senate Bill 1374. Assembly Bill 939 (AB 939) requires that each jurisdiction in California to divert at least 50 percent of its waste away from landfills, whether through waste reduction, recycling or other means. AB 341 requires at least 75 percent of generated waste be source reduced, recycled, or composted by the year 2020. Senate Bill 1374 (SB 1374) requires the California Integrated Waste Management Board to adopt a model ordinance by March 1, 2004 suitable for adoption by any local agency to require 50 to 75 percent diversion of construction and demolition of waste materials from landfills. Executive Order S-13-08. Executive Order S-13-08 indicates that “climate change in California during the next century is expected to shift precipitation patterns, accelerate sea level rise and increase temperatures, thereby posing a serious threat to California’s economy, to the health and welfare of its population and to its natural resources.” Pursuant to the requirements in the order, the 2009 California Climate Adaptation Strategy (California Natural Resource Agency 2009) was adopted, which is the “… first statewide, multi-sector, region-specific, and information-based climate change in California, Homeless Prevention Resource and Care Center Air Quality, Greenhouse Gas, and Energy Impact Study City of Fontana, CA Regulatory Framework and Background 26 identifying and exploring strategies to adapt to climate change, and specifying a direction for future research. Executive Order B-30-15. Executive Order B-30-15, establishing a new interim statewide greenhouse gas emission reduction target to reduce greenhouse gas emissions to 40 percent below 1990 levels by 2030, was signed by Governor Brown in April 2015. Executive Order B-29-15. Executive Order B-29-15, mandates a statewide 25% reduction in potable water usage and was signed into law on April 1, 2015. Executive Order B-37-16. Executive Order B-37-16, continuing the State’s adopted water reduction, was signed into law on May 9, 2016. The water reduction builds off the mandatory 25% reduction called for in EO B-29-15. Executive Order N-79-20. Executive Order N-79-20 was signed into law on September 23, 2020 and mandates 100 percent of in-state sales of new passenger cars and trucks be zero-emission by 2035; 100 percent of medium- and heavy-duty vehicles in the state be zero-emission vehicles by 2045 for all operations where feasible and by 2035 for drayage trucks; and to transition to 100 percent zero-emission off-road vehicles and equipment by 2035 where feasible. 2.2.4 South Coast Air Quality Management District The Project is within the South Coast Air Basin, which is under the jurisdiction of SCAQMD. SCAQMD Regulation XXVII currently includes three rules: • The purpose of Rule 2700 is to define terms and post global warming potentials. • The purpose of Rule 2701, SoCal Climate Solutions Exchange, is to establish a voluntary program to encourage, quantify, and certify voluntary, high quality certified greenhouse gas emission reductions in the SCAQMD. • Rule 2702, Greenhouse Gas Reduction Program, was adopted on February 6, 2009. The purpose of this rule is to create a Greenhouse Gas Reduction Program for greenhouse gas emission reductions in the SCAQMD. The SCAQMD will fund projects through contracts in response to requests for proposals or purchase reductions from other parties. SCAQMD Threshold Development The SCAQMD has established recommended significance thresholds for greenhouse gases for local lead agency consideration (“SCAQMD draft local agency threshold”). SCAQMD has published a five-tiered draft GHG threshold which includes a 10,000 metric ton of CO2e per year for stationary/industrial sources and 3,000 metric tons of CO2e per year significance threshold for residential/commercial projects (South Coast Air Quality Management District 2010c). Tier 3 is anticipated to be the primary tier by which the SCAQMD will determine significance for projects. The Tier 3 screening level for stationary sources is based on an emission capture rate of 90 percent for all new or modified projects. A 90-precent emission capture rate means that 90 percent of total emissions from all new or modified stationary source Homeless Prevention Resource and Care Center Air Quality, Greenhouse Gas, and Energy Impact Study City of Fontana, CA Regulatory Framework and Background 27 projects would be subject to CEQA analysis. The 90-percent capture rate GHG significance screening level in Tier 3 for stationary sources was derived using the SCAQMD’s annual Emissions Reporting Program. The current draft thresholds consist of the following tiered approach: • Tier 1 consists of evaluating whether or not the Project qualifies for any applicable exemption under CEQA. • Tier 2 consists of determining whether or not the Project is consistent with a greenhouse gas reduction plan. If a project is consistent with a qualifying local greenhouse gas reduction plan, it does not have significant greenhouse gas emissions. • Tier 3 consists of screening values, which the lead agency can choose but must be consistent. A project’s construction emissions are averaged over 30 years and are added to a project’s operational emissions. If a project’s emissions are under one of the following screening thresholds, then the project is less than significant: - All land use types: 3,000 MTCO2e per year; and - Based on land use types: residential is 3,500 MTCO2e per year; commercial is 1,400 MTCO2e per year; and mixed use is 3,000 MTCO2e per year • Tier 4 has the following options: - Option 1: Reduce emissions from business as usual by a certain percentage; this percentage is currently undefined; - Option 2: Early implementation of applicable AB 32 Scoping Plan measures; - Option 3: Year 2020 target for service populations (SP), which includes residents and employees: 4.8 MTCO2e/SP/year for projects and 6.6 MTCO2e/SP/year for plans; or - Option 3, 2035 target: 3.0 MTCO2e/SP/year for projects and 4.1 MTCO2e/SP/year for plans • Tier 5 involves mitigation offsets to achieve target significance threshold. 2.2.5 County of San Bernardino County of San Bernardino Climate Action Plan The County of San Bernardino adopted its “Greenhouse Gas Emissions Reduction Plan” in December in 2011. An update to the GHG Emissions Development Review Process was made in 2015. The purpose of the GHG Plan is to reduce the County’s internal and external GHG emissions by 15 percent below current (2011) levels by year 2020. The GHG Plan includes a two-tiered development review procedure to determine if a project could result in a significant impact related greenhouse gas emissions or otherwise comply with the Plan pursuant to Section 15183.5 of the state CEQA Guidelines. The initial screening procedure is to determine if a project will emit 3,000 metric tons of carbon dioxide equivalent (MTCO2e) per year or more. Projects that do not exceed this threshold require no further climate change analysis. Projects exceeding this threshold must meet a minimum 31 percent emissions reduction in order to garner a less than significant determination. This can be met by either (1) achieving Homeless Prevention Resource and Care Center Air Quality, Greenhouse Gas, and Energy Impact Study City of Fontana, CA Regulatory Framework and Background 28 100 points from a menu of mitigation options provided in the GHG Plan or (2) quantifying proposed reduction measures. Projects failing to meet the 31 percent reduction threshold would have a potentially significant impact related to climate change and greenhouse gas emissions. An update to the GHG Emissions Development Review Process was made in March 2015 to both improve upon the menu of options available in the screening tables and to bring performance standards up to current code. Therefore, to determine whether the Project’s GHG emissions are significant, this analysis uses the County of San Bernardino and SCAQMD draft local agency tier 3 threshold screening threshold of 3,000 MTCO2e per year for all land use types. The Project will be subject to the latest requirements of the California Green Building and Title 24 Energy Efficiency Standards (currently 2019) which would reduce Project-related greenhouse gas emissions. 2.2.6 City of Fontana City of Fontana General Plan The City of Fontana General Plan Final Environmental Impact Report contains the following greenhouse gas related mitigation measures that are applicable to the proposed project: MM-GHG-1 Prior to the issuance of building permits, future development projects shall demonstrate the incorporation of project design features that achieve a minimum of 28.5 percent reduction in GHG emissions from non-mobile sources as compared to business as usual conditions. With regard to expansions/modifications of existing facilities, this mitigation measure shall be applied to the resulting incremental net increase in enclosed floor area. Future projects shall include, but not be limited to, the following list of potential design features (which include measures for reducing GHG emissions related to Transportation and Motor Vehicles). Energy Efficiency • Design buildings to be energy efficient and exceed Title 24 requirements by at least 5 percent. • Install efficient lighting and lighting control systems. Site and design building to take advantage of daylight. • Use trees, landscaping and sun screens on west and south exterior building walls to reduce energy use. Install light colored “cool” roofs and cool pavements. • Provide information on energy management services for large energy users. • Install energy efficient heating and cooling systems, appliances and equipment, and control systems (e.g., minimum of Energy Star rated equipment). • Implement design features to increase the efficiency of the building envelope (i.e., the barrier between conditioned and unconditioned spaces). • Install light emitting diodes (LEDs) for traffic, street and other outdoor lighting. • Limit the hours of operation of outdoor lighting. Homeless Prevention Resource and Care Center Air Quality, Greenhouse Gas, and Energy Impact Study City of Fontana, CA Regulatory Framework and Background 29 Renewable Energy • Install solar panels on carports and over parking areas. Ensure all industrial buildings are designed to have “solar ready” roofs. • Use combined heat and power in appropriate applications. Water Conservation and Efficiency • Create water-efficient landscapes with a preference for a xeriscape landscape palette. • Install water-efficient irrigation systems and devices, such as soil moisture-based irrigation controls. • Design buildings to be water-efficient. Install water-efficient fixtures and appliances (e.g., EPA WaterSense labeled products). • Restrict watering methods (e.g., prohibit systems that apply water to non-vegetated surfaces) and control runoff. • Restrict the use of water for cleaning outdoor surfaces and vehicles. • Implement low-impact development practices that maintain the existing hydrologic character of the site to manage storm water and protect the environment. (Retaining storm water runoff on- site can drastically reduce the need for energy-intensive imported water at the site). • Devise a comprehensive water conservation strategy appropriate for the project and location. The strategy may include many of the specific items listed above, plus other innovative measures that are appropriate to the specific project. • Provide education about water conservation and available programs and incentives. Solid Waste Measures • Reuse and recycle construction and demolition waste (including, but not limited to, soil, vegetation, concrete, lumber, metal, and cardboard). • Provide interior and exterior storage areas for recyclables and green waste and adequate recycling containers located in public areas. • Provide education and publicity about reducing waste and available recycling services. Transportation and Motor Vehicles • Limit idling time for commercial vehicles, including delivery and construction vehicles. • Promote ride sharing programs (e.g., by designating certain percentage of parking spaces for ride sharing vehicles, designating adequate passenger loading and unloading and waiting areas for ride sharing vehicles, and providing a web site or message board for coordinating rides). • Create local “light vehicle” networks, such as neighborhood electric vehicle (NEV) systems. • Provide the necessary facilities and infrastructure to encourage the use of low or zero-emission vehicles (e.g., electric vehicle charging facilities and conveniently located alternative fueling stations). • Promote “least polluting” ways to connect people and goods to their destinations. Homeless Prevention Resource and Care Center Air Quality, Greenhouse Gas, and Energy Impact Study City of Fontana, CA Regulatory Framework and Background 30 • Incorporate bicycle lanes and routes into street systems, new subdivisions, and large developments. • Incorporate bicycle-friendly intersections into street design. • For commercial projects, provide adequate bicycle parking near building entrances to promote cyclist safety, security, and convenience. For large employers, provide facilities that encourage bicycle commuting (e.g., locked bicycle storage or covered or indoor bicycle parking). • Create bicycle lanes and walking paths directed to the location of schools, parks, and other destination points. 2.3 Energy Regulatory Setting Federal and state agencies regulate energy use and consumption through various means and programs. On the federal level, the United States Department of Transportation, the United States Department of Energy, and the United States Environmental Protection Agency are three federal agencies with substantial influence over energy policies and programs. On the state level, the PUC and the California Energy Commissions (CEC) are two agencies with authority over different aspects of energy. Relevant federal and state energy‐related laws and plans are summarized below. 2.3.1 Federal Regulations Corporate Average Fuel Economy (CAFÉ) Standards First established by the U.S. Congress in 1975, the Corporate Average Fuel Economy (CAFÉ) standards reduce energy consumption by increasing the fuel economy of cars and light trucks. The National Highway Traffic Safety Administration (NHTSA) and U.S. Environmental Protection Agency (USEPA) jointly administer the CAFÉ standards. The U.S. Congress has specified that CAFÉ standards must be set at the “maximum feasible level” with consideration given for: (1) technological feasibility; (2) economic practicality; (3) effect of other standards on fuel economy; and (4) need for the nation to conserve energy.3 Issued by NHTSA and EPA in March 2020 (published on April 30, 2020 and effective after June 29, 2020), the Safer Affordable Fuel-Efficient Vehicles Rule would maintain the CAFÉ and CO2 standards applicable in model year 2020 for model years 2021 through 2026. The estimated CAFÉ and CO2 standards for model year 2020 are 43.7 mpg and 204 grams of CO2 per mile for passenger cars and 31.3 mpg and 284 grams of CO2 per mile for light trucks, projecting an overall industry average of 37 mpg, as compared to 46.7 mpg under the standards issued in 2012.4 3 https://www.nhtsa.gov/lawsregulations/corporate-average-fuel-economy. 4 National Highway Traffic Safety Administration (NHTSA) and U.S. Environmental Protection Agency (USEPA), 2018. Federal Register / Vol. 83, No. 165 / Friday, August 24, 2018 / Proposed Rules, The Safer Affordable Fuel-Efficient (SAFE) Vehicles Rule for Model Years 2021–2026 Passenger Cars and Light Trucks 2018. Available at: https://www.epa.gov/regulations-emissions-vehicles-and-engines/safer-affordable-fuel-efficient-safe-vehicles-final-rule. Homeless Prevention Resource and Care Center Air Quality, Greenhouse Gas, and Energy Impact Study City of Fontana, CA Regulatory Framework and Background 31 Intermodal Surface transportation Efficiency Act of 1991 (ISTEA) The Intermodal Surface Transportation Efficiency Act of 1991 (ISTEA) promoted the development of inter‐modal transportation systems to maximize mobility as well as address national and local interests in air quality and energy. ISTEA contained factors that Metropolitan Planning Organizations (MPOs) were to address in developing transportation plans and programs, including some energy‐related factors. To meet the new ISTEA requirements, MPOs adopted explicit policies defining the social, economic, energy, and environmental values guiding transportation decisions. The Transportation Equity Act of the 21st Century (TEA-21) The Transportation Equity Act for the 21st Century (TEA‐21) was signed into law in 1998 and builds upon the initiatives established in the ISTEA legislation, discussed above. TEA‐21 authorizes highway, highway safety, transit, and other efficient surface transportation programs. TEA‐21 continues the program structure established for highways and transit under ISTEA, such as flexibility in the use of funds, emphasis on measures to improve the environment, and focus on a strong planning process as the foundation of good transportation decisions. TEA‐21 also provides for investment in research and its application to maximize the performance of the transportation system through, for example, deployment of Intelligent Transportation Systems, to help improve operations and management of transportation systems and vehicle safety. 2.3.2 State Regulations Integrated Energy Policy Report (IEPR) Senate Bill 1389 requires the California Energy Commission (CEC) to prepare a biennial integrated energy policy report that assesses major energy trends and issues facing the State’s electricity, natural gas, and transportation fuel sectors and provides policy recommendations to conserve resources; protect the environment; ensure reliable, secure, and diverse energy supplies; enhance the state’s economy; and protect public health and safety. The Energy Commission prepares these assessments and associated policy recommendations every two years, with updates in alternate years, as part of the Integrated Energy Policy Report. The 2019 Integrated Energy Policy Report (2019 IEPR) was adopted February 20, 2020, and continues to work towards improving electricity, natural gas, and transportation fuel energy use in California. The 2019 IEPR focuses on a variety of topics such as decarbonizing buildings, integrating renewables, energy efficiency, energy equity, integrating renewable energy, updates on Southern California electricity reliability, climate adaptation activities for the energy sector, natural gas assessment, transportation energy demand forecast, and the California Energy Demand Forecast.5 5 California Energy Commission. Final 2019 Integrated Energy Policy Report. February 20, 2020. https://www.energy.ca.gov/data-reports/reports/integrated- energy-policy-report/2019-integrated-energy-policy-report Homeless Prevention Resource and Care Center Air Quality, Greenhouse Gas, and Energy Impact Study City of Fontana, CA Regulatory Framework and Background 32 The 2020 IEPR was adopted March 23, 2021 and identifies actions the state and others can take to ensure a clean. Affordable, and reliable energy system. In 2020, the IEPR focuses on California’s transportation future and the transition to zero-emission vehicles, examines microgrids, lessons learned form a decade of state-supported research, and stakeholder feedback on the potential of microgrids to contribute to a lean and resilient energy system; and reports on California’s energy demand outlook, updated to reflect the global pandemic and help plan for a growth in zero-emission plug in electric vehicles.6 State of California Energy Plan The CEC is responsible for preparing the State Energy Plan, which identifies emerging trends related to energy supply, demand, conservation, public health and safety, and the maintenance of a healthy economy. The Plan calls for the state to assist in the transformation of the transportation system to improve air quality, reduce congestion, and increase the efficient use of fuel supplies with the least environmental and energy costs. To further this policy, the plan identifies a number of strategies, including assistance to public agencies and fleet operators and encouragement of urban designs that reduce vehicle miles traveled and accommodate pedestrian and bicycle access. California Building Standards Code (Title 24) California Building Energy Efficiency Standards (Title 24, Part 6) The California Building Energy Efficiency Standards for Residential and Nonresidential Buildings (California Code of Regulations, Title 24, Part 6) were adopted to ensure that building construction and system design and installation achieve energy efficiency and preserve outdoor and indoor environmental quality. The current California Building Energy Efficiency Standards (Title 24 standards) are the 2019 Title 24 standards, which became effective on January 1, 2020. The 2019 Title 24 standards include efficiency improvements to the lighting and efficiency improvements to the non-residential standards include alignment with the American Society of Heating and Air-Conditioning Engineers. All buildings for which an application for a building permit is submitted on or after January 1, 2020 must follow the 2019 standards. The 2016 residential standards were estimated to be approximately 28 percent more efficient than the 2013 standards, whereas the 2019 residential standards are estimated to be approximately 7 percent more efficient than the 2016 standards. Furthermore, once rooftop solar electricity generation is factored in, 2019 residential standards are estimated to be approximately 53 percent more efficient than the 2016 standards. Under the 2019 standards, nonresidential buildings are estimated to be approximately 30 percent more efficient than the 2016 standards. Energy efficient buildings require less electricity; therefore, increased energy efficiency reduces fossil fuel consumption and decreases greenhouse gas emissions. California Building Energy Efficiency Standards (Title 24, Part 11) 6 California Energy Commission. Final 2020 Integrated Energy Policy Report. March 23, 2020. https://www.energy.ca.gov/data-reports/reports/integrated- energy-policy-report/2020-integrated-energy-policy-report-update Homeless Prevention Resource and Care Center Air Quality, Greenhouse Gas, and Energy Impact Study City of Fontana, CA Regulatory Framework and Background 33 The 2019 California Green Building Standards Code (California Code of Regulations, Title 24, Part 11), commonly referred to as the CALGreen Code, went into effect on January 1, 2020. The 2019 CALGreen Code includes mandatory measures for non-residential development related to site development; energy efficiency; water efficiency and conservation; material conservation and resource efficiency; and environmental quality. The Department of Housing and Community Development (HCD) updated CALGreen through the 2019 Triennial Code Adoption Cycle. HCD modified the best management practices for stormwater pollution prevention adding Section 5.106.2; added sections 5.106.4.1.3 and 5.106.4.1.5 in regard to bicycle parking; amended section 5.106.5.3.5 allowing future charging spaces to qualify as designated parking for clean air vehicles; updated section 5.303.3.3 in regard to showerhead flow rates; amended section 5.304.1 for outdoor potable water use in landscape areas and repealed sections 5.304.2 and 5.304.3; and updated Section 5.504.5.3 in regard to the use of MERV filters in mechanically ventilated buildings. Senate Bill 100 Senate Bill 100 (SB 100) requires 100 percent of total retail sales of electricity in California to come from eligible renewable energy resources and zero-carbon resources by December 31, 2045. SB 100 was adopted September 2018. The interim thresholds from prior Senate Bills and Executive Orders would also remain in effect. These include Senate Bill 1078 (SB 1078), which requires retail sellers of electricity, including investor-owned utilities and community choice aggregators, to provide at least 20 percent of their supply from renewable sources by 2017. Senate Bill 107 (SB 107) which changed the target date to 2010. Executive Order S-14- 08, which was signed on November 2008 and expanded the State’s Renewable Energy Standard to 33 percent renewable energy by 2020. Executive Order S-21-09 directed the CARB to adopt regulations by July 31, 2010 to enforce S-14-08. Senate Bill X1-2 codifies the 33 percent renewable energy requirement by 2020. Senate Bill 350 Senate Bill 350 (SB 350) was signed into law October 7, 2015, SB 350 increases California’s renewable electricity procurement goal from 33 percent by 2020 to 50 percent by 2030. This will increase the use of Renewables Portfolio Standard (RPS) eligible resources, including solar, wind, biomass, geothermal, and others. In addition, SB 350 requires the state to double statewide energy efficiency savings in electricity and natural gas end uses by 2030. To help ensure these goals are met and the greenhouse gas emission reductions are realized, large utilities will be required to develop and submit Integrated Resource Plans (IRPs). These IRPs will detail how each entity will meet their customers resource needs, reduce greenhouse gas emissions and ramp up the deployment of clean energy resources. Assembly Bill 32 In 2006 the California State Legislature adopted Assembly Bill 32 (AB 32), the California Global Warming Solutions Act of 2006. AB 32 requires CARB, to adopt rules and regulations that would achieve GHG emissions equivalent to statewide levels in 1990 by 2020 through an enforceable statewide emission cap Homeless Prevention Resource and Care Center Air Quality, Greenhouse Gas, and Energy Impact Study City of Fontana, CA Regulatory Framework and Background 34 which will be phased in starting in 2012. Emission reductions shall include carbon sequestration projects that would remove carbon from the atmosphere and best management practices that are technologically feasible and cost effective. Assembly Bill 1493/Pavley Regulations California Assembly Bill 1493 enacted on July 22, 2002, required CARB to develop and adopt regulations that reduce GHGs emitted by passenger vehicles and light duty trucks. In 2005, the CARB submitted a “waiver” request to the EPA from a portion of the federal Clean Air Act in order to allow the State to set more stringent tailpipe emission standards for CO2 and other GHG emissions from passenger vehicles and light duty trucks. On December 19, 2007 the EPA announced that it denied the “waiver” request. On January 21, 2009, CARB submitted a letter to the EPA administrator regarding the State’s request to reconsider the waiver denial. The EPA approved the waiver on June 30, 2009. Executive Order S-1-07/Low Carbon Fuel Standard Executive Order S-1-07 was issued in 2007 and proclaims that the transportation sector is the main source of GHG emissions in the State, since it generates more than 40 percent of the State’s GHG emissions. It establishes a goal to reduce the carbon intensity of transportation fuels sold in the State by at least ten percent by 2020. This Order also directs CARB to determine whether this Low Carbon Fuel Standard (LCFS) could be adopted as a discrete early-action measure as part of the effort to meet the mandates in AB 32. On April 23, 2009 CARB approved the proposed regulation to implement the low carbon fuel standard and began implementation on January 1, 2011. The low carbon fuel standard is anticipated to reduce GHG emissions by about 16 MMT per year by 2020. CARB approved some amendments to the LCFS in December 2011, which were implemented on January 1, 2013. In September 2015, the Board approved the re-adoption of the LCFS, which became effective on January 1, 2016, to address procedural deficiencies in the way the original regulation was adopted. In 2018, the Board approved amendments to the regulation, which included strengthening and smoothing the carbon intensity benchmarks through 2030 in-line with California’s 2030 GHG emission reduction target enacted through SB 32, adding new crediting opportunities to promote zero emission vehicle adoption, alternative jet fuel, carbon capture and sequestration, and advanced technologies to achieve deep decarbonization in the transportation sector. The LCFS is designed to encourage the use of cleaner low-carbon transportation fuels in California, encourage the production of those fuels, and therefore, reduce GHG emissions and decrease petroleum dependence in the transportation sector. Separate standards are established for gasoline and diesel fuels and the alternative fuels that can replace each. The standards are “back-loaded”, with more reductions required in the last five years, than during the first five years. This schedule allows for the development of advanced fuels that are lower in carbon than today’s fuels and the market penetration of plug-in hybrid electric vehicles, battery electric vehicles, fuel cell vehicles, and flexible fuel vehicles. It is anticipated that compliance with the low carbon fuel standard will be based on a combination of both lower carbon fuels and more efficient vehicles. Homeless Prevention Resource and Care Center Air Quality, Greenhouse Gas, and Energy Impact Study City of Fontana, CA Regulatory Framework and Background 35 Reformulated gasoline mixed with corn-derived ethanol at ten percent by volume and low sulfur diesel fuel represent the baseline fuels. Lower carbon fuels may be ethanol, biodiesel, renewable diesel, or blends of these fuels with gasoline or diesel as appropriate. Compressed natural gas and liquefied natural gas also may be low carbon fuels. Hydrogen and electricity, when used in fuel cells or electric vehicles are also considered as low carbon fuels for the low carbon fuel standard. Executive Order N-79-20. Executive Order N-79-20 was signed into law on September 23, 2020 and mandates 100 percent of in- state sales of new passenger cars and trucks be zero-emission by 2035; 100 percent of medium- and heavy-duty vehicles in the state be zero-emission vehicles by 2045 for all operations where feasible and by 2035 for drayage trucks; and to transition to 100 percent zero-emission off-road vehicles and equipment by 2035 where feasible. California Air Resources Board CARB’s Advanced Clean Cars Program Closely associated with the Pavley regulations, the Advanced Clean Cars emissions control program was approved by CARB in 2012. The program combines the control of smog, soot, and GHGs with requirements for greater numbers of zero-emission vehicles for model years 2015–2025. The components of the Advanced Clean Cars program include the Low-Emission Vehicle (LEV) regulations that reduce criteria pollutants and GHG emissions from light- and medium-duty vehicles, and the Zero- Emission Vehicle (ZEV) regulation, which requires manufacturers to produce an increasing number of pure ZEVs (meaning battery electric and fuel cell electric vehicles), with provisions to also produce plug- in hybrid electric vehicles (PHEV) in the 2018 through 2025 model years.7 Airborne Toxic Control Measure to Limit Diesel-Fueled Commercial Motor Vehicle Idling The Airborne Toxic Control Measure to Limit Diesel-Fueled Commercial Motor Vehicle Idling (Title 13, California Code of Regulations, Division 3, Chapter 10, Section 2435) was adopted to reduce public exposure to diesel particulate matter and other air contaminants by limiting the idling of diesel-fueled commercial motor vehicles. This section applies to diesel-fueled commercial motor vehicles with gross vehicular weight ratings of greater than 10,000 pounds that are or must be licensed for operation on highways. Reducing idling of diesel-fueled commercial motor vehicles reduces the amount of petroleum- based fuel used by the vehicle. Regulation to Reduce Emissions of Diesel Particulate Matter, Oxides of Nitrogen, and other Criteria Pollutants, form In-Use Heavy-Duty Diesel-Fueled Vehicles 7 California Air Resources Board, California’s Advanced Clean Cars Program, January 18, 2017. www.arb.ca.gov/msprog/acc/acc.htm. Homeless Prevention Resource and Care Center Air Quality, Greenhouse Gas, and Energy Impact Study City of Fontana, CA Regulatory Framework and Background 36 The Regulation to Reduce Emissions of Diesel Particulate Matter, Oxides of Nitrogen and other Criteria Pollutants, from In-Use Heavy-Duty Diesel-Fueled Vehicles (Title 13, California Code of Regulations, Division 3, Chapter 1, Section 2025) was adopted to reduce emissions of diesel particulate matter, oxides of nitrogen (NOX) and other criteria pollutants from in-use diesel-fueled vehicles. This regulation is phased, with full implementation by 2023. The regulation aims to reduce emissions by requiring the installation of diesel soot filters and encouraging the retirement, replacement, or repower of older, dirtier engines with newer emission-controlled models. The newer emission controlled models would use petroleum-based fuel in a more efficient manner. Sustainable Communities Strategy The Sustainable Communities and Climate Protection Act of 2008, or Senate Bill 375 (SB 375), coordinates land use planning, regional transportation plans, and funding priorities to help California meet the GHG reduction mandates established in AB 32. Senate Bill 375 (SB 375) was adopted September 2008 and aligns regional transportation planning efforts, regional GHG emission reduction targets, and land use and housing allocation. SB 375 requires Metropolitan Planning Organizations (MPO) to adopt a sustainable communities strategy (SCS) or alternate planning strategy (APS) that will prescribe land use allocation in that MPOs Regional Transportation Plan (RTP). CARB, in consultation with each MPO, will provide each affected region with reduction targets for GHGs emitted by passenger cars and light trucks in the region for the years 2020 and 2035. These reduction targets will be updated every eight years but can be updated every four years if advancements in emissions technologies affect the reduction strategies to achieve the targets. CARB is also charged with reviewing each MPO’s sustainable communities strategy or alternate planning strategy for consistency with its assigned targets. Homeless Prevention Resource and Care Center Air Quality, Greenhouse Gas, and Energy Impact Study City of Fontana, CA Setting 37 3.0 Setting 3.3 Existing Physical Setting The Project site is located in the City of Fontana within the southwestern portion of County of San Bernardino, which is part of the South Coast Air Basin (SCAB) that includes all of Orange County as well as the non-desert portions of Los Angeles, Riverside, and San Bernardino Counties. The South Coast Air Basin is located on a coastal plain with connecting broad valleys and low hills to the east. Regionally, the South Coast Air Basin is bounded by the Pacific Ocean to the southwest and high mountains to the east forming the inland perimeter. 3.3.1 Local Climate and Meteorology Dominant airflows provide the driving mechanism for transport and dispersion of air pollution. The mountains surrounding the region form natural horizontal barriers to the dispersion of air contaminants. Air pollution created in the coastal areas and around the Los Angeles area is transported inland until it reaches the mountains where the combination of mountains and inversion layers generally prevent further dispersion. This poor ventilation results in a gradual degradation of air quality from the coastal areas to inland areas. Air stagnation may occur during the early evening and early morning periods of transition between day and nighttime flows. The region also experiences periods of hot, dry winds from the desert, known as Santa Ana winds. If the Santa Ana winds are strong, they can surpass the sea breeze, which blows from the ocean to the land, and carry the suspended dust and pollutants out to the ocean. If the winds are weak, they are opposed by the sea breeze and cause stagnation, resulting in high pollution events. The annual average temperature varies little throughout much of the basin, ranging from the low to middle 60s, measured in degrees Fahrenheit (°F). With more pronounced oceanic influence, coastal areas show less variability in annual minimum and maximum temperatures than inland areas where the Project site is located. The majority of the annual rainfall in the basin occurs between November and April. Summer rainfall is minimal and is generally limited to scattered thunderstorms in the coastal regions and slightly heavier showers in the eastern portion of the basin along the coastal side of the mountains. Year-to-year patterns in rainfall are unpredictable because of fluctuations in the weather. Temperature inversions limit the vertical depth through which pollution can be mixed. Among the most common temperature inversions in the basin are radiation inversions, which form on clear winter nights when cold air off mountains sink to the valley floor while the air aloft over the valley remains warm. These inversions, in conjunction with calm winds, trap pollutants near the source. Other types of temperature inversions that affect the basin include marine, subsidence, and high-pressure inversions. Summers are often periods of hazy visibility and occasionally unhealthful air. Strong temperature inversions may occur that limit the vertical depth through which air pollution can be dispersed. Air pollutants concentrate because they cannot rise through the inversion layer and disperse. These inversions are more common and persistent during the summer months. Over time, sunlight produces photochemical reactions within this inversion layer that creates ozone, a particularly harmful air Homeless Prevention Resource and Care Center Air Quality, Greenhouse Gas, and Energy Impact Study City of Fontana, CA Setting 38 pollutant. Occasionally, strong thermal convections occur which allows the air pollutants to rise high enough to pass over the mountains and ultimately dilute the smog cloudtrap pollutants such as automobile exhaust near their source. While these inversions may lead to air pollution “hot spots” in heavily developed coastal areas of the basin, there is not enough traffic in inland valleys to cause any winter air pollution problems. Despite light wind conditions, especially at night and in the early morning, winter is generally a period of good air quality in the Project vicinity. In the winter, light nocturnal winds result mainly from the drainage of cool air off of the mountains toward the valley floor while the air aloft over the valley remains warm. This forms a type of inversion known as a radiation inversion. Such winds are characterized by stagnation and poor local mixing and trap pollutants such as automobile exhaust near their source. While these inversions may lead to air pollution “hot spots” in heavily developed coastal areas of the basin, there is not enough traffic to cause any winter air pollution problems. Despite light wind conditions, especially at night and in the early morning, winter is generally a period of good air quality in the Project vicinity. The temperature and precipitation levels for the City of San Bernardino, the closest monitoring station to the Project site with available meteorological data, are in Table 3. Table 3 shows that July is typically the warmest month and January is typically the coolest month. Rainfall in the Project area varies considerably in both time and space. Almost all the annual rainfall comes from the fringes of mid-latitude storms from late November to early April, with summers being almost completely dry. Table 3: Meteorological Summary Month Temperature (˚F) Average Precipitation (inches) Average High Average Low January 66.2 39.4 3.10 February 68.1 41.6 3.45 March 70.5 43.7 2.72 April 75.9 47.2 1.28 May 81.1 51.6 0.38 June 88.6 55.5 0.09 July 96.6 60.4 0.04 August 96.5 61.0 0.16 September 92.4 57.7 0.34 October 83.4 51.3 0.64 November 74.4 43.4 1.39 December 67.7 39.4 2.49 Annual Average 80.1 49.3 16.1 Notes: 1 Source: https://wrcc.dri.edu/cgi-bin/cliMAIN.pl?ca9847 3.1.2 Local Air Quality The SCAQMD is divided into 38 air-monitoring areas with a designated ambient air monitoring station representative of each area. The Project site is located in the City of Fontana in the Central San Bernardino Valley (Area 34). The nearest air monitoring station to the Project site with available air Homeless Prevention Resource and Care Center Air Quality, Greenhouse Gas, and Energy Impact Study City of Fontana, CA Setting 39 quality data is the Fontana-Arrow Highway Station (Fontana Station) located approximately 1.85 miles west of the Project site; however, this location does not provide all ambient weather data. Therefore, additional data was pulled from the SCAQMD historical data for the Central San Bernardino Valley (Area 34) for both sulfur dioxide and carbon monoxide to provide the existing levels. Table 4 presents the monitored pollutant levels within the vicinity. However, it should be noted that due to the air monitoring station distance from the Project site, recorded air pollution levels at the air monitoring station reflect with varying degrees of accuracy, local air quality conditions at the Project site. Table 4: Local Area Air Quality Levels from Local Monitoring Stations Year Pollutant (Standard)2 2019 2020 2021 Ozone: Maximum 1-Hour Concentration (ppm) 0.124 0.151 0.125 Days > CAAQS (0.09 ppm) 41 56 44 Maximum 8-Hour Concentration (ppm) 0.109 0.111 0.103 Days > NAAQS (0.07 ppm) 67 89 81 Days > CAAQS (0.070 ppm) 71 91 83 Carbon Monoxide: Maximum 1-Hour Concentration (ppm) 2.7 1.7 2.0 Days > NAAQS (20 ppm) 0 0 0 Maximum 8-Hour Concentration (ppm) 1.0 1.2 1.6 Days > NAAQS (9 ppm) 0 0 0 Nitrogen Dioxide: Maximum 1-Hour Concentration (ppm) 0.076 0.066 0.067 Days > NAAQS (0.25 ppm) 0 0 0 Sulfur Dioxide: Maximum 1-Hour Concentration (ppm)3 0.002 0.003 0.005 Days > CAAQS (0.04 ppm)3 0 0 0 Inhalable Particulates (PM10): Maximum 24-Hour Concentration (ug/m3) 88.8 76.8 73.8 Days > NAAQS (150 ug/m3) 0 0 0 Days > CAAQS (50 ug/m3) 3 11 6 3 Annual Average (ug/m3) 35.3 37.2 30.1 Annual > NAAQS (50 ug/m3) No No No Annual > CAAQS (20 ug/m3) Yes Yes Yes Ultra-Fine Particulates (PM2.5): Maximum 24-Hour Concentration (ug/m3) 81.3 57.6 55.1 Days > NAAQS (35 ug/m3) 3 3 4 2 Annual Average (ug/m3) 3 11.3 12.7 12.0 Annual > NAAQS (15 ug/m3) 3 No No No Annual > CAAQS (12 ug/m3) 3 No Yes Yes 1. Source: obtained from https://www.aqmd.gov/home/air-quality/air-quality-data-studies/historical-data-by-year and /or https://www.arb.ca.gov/adam/topfour/topfour1.php 2 CAAQS = California Ambient Air Quality Standard; NAAQS = National Ambient Air Quality Standard; ppm = parts per million 3 No data available. Homeless Prevention Resource and Care Center Air Quality, Greenhouse Gas, and Energy Impact Study City of Fontana, CA Setting 40 The monitoring data presented in Table 4 shows that ozone and particulate matter (PM10 and PM2.5) are the air pollutants of primary concern in the Project area, which are detailed below. Ozone During the 2019 to 2021 monitoring period, the State 1-hour concentration standard for ozone has been exceeded between 41 and 56 days each year at the Fontana Station. The State 8-hour concentration standard for ozone has been exceeded between 71 and 91 days each year over the past three years at the Fontana Station. The Federal 8-hour concentration standard for ozone has been exceeded between 67 and 89 days each year over the past three years at the Fontana Station. Ozone is a secondary pollutant as it is not directly emitted. Ozone is the result of chemical reactions between other pollutants, most importantly hydrocarbons and NO2, which occur only in the presence of bright sunlight. Pollutants emitted from upwind cities react during transport downwind to produce the oxidant concentrations experienced in the area. Many areas of the SCAQMD contribute to the ozone levels experienced at the monitoring station, with the more significant areas being those directly upwind. Carbon Monoxide CO is another important pollutant that is due mainly to motor vehicles. The Central San Bernardino Valley Area did not record an exceedance of the state or federal 1-hour or 8-hour CO standards for the last three years. Nitrogen Dioxide The Fontana Station did not record an exceedance of the State or Federal NO2 standards for the last three years. Sulfur Dioxide The Central San Bernardino Valley area did not record an exceedance of the State SO2 standards for the last three years. Particulate Matter During the 2019 to 2021 monitoring period, the Fontana Station recorded between 3 and 11 days of exceedance of the State 24-hour concentration standard for PM10. Over the same time period the Federal 24-hour standard for PM10 was not exceeded at the Fontana Station. During the 2019 to 2021 monitoring period, the Federal 24-hour standard for PM2.5 was exceeded between 2 and 4 days annually at the Fontana Station. According to the EPA, some people are much more sensitive than others to breathing fine particles (PM10 and PM2.5). People with influenza, chronic respiratory and cardiovascular diseases, and the elderly may suffer worsening illness and premature death due to breathing these fine particles. People with bronchitis can expect aggravated symptoms from breathing in fine particles. Children may experience decline in lung function due to breathing in PM10 and PM2.5. Other groups considered Homeless Prevention Resource and Care Center Air Quality, Greenhouse Gas, and Energy Impact Study City of Fontana, CA Setting 41 sensitive are smokers and people who cannot breathe well through their noses. Exercising athletes are also considered sensitive because many breathe through their mouths during exercise. 3.1.3 Attainment Status The EPA and CARB designate air basins where ambient air quality standards are exceeded as “nonattainment” areas. If standards are met, the area is designated as an “attainment” area. If there is inadequate or inconclusive data to make a definitive attainment designation, they are considered “unclassified.” National nonattainment areas are further designated as marginal, moderate, serious, severe, or extreme as a function of deviation from standards. Each standard has a different definition, or ‘form’ of what constitutes attainment, based on specific air quality statistics. For example, the Federal 8-hour CO standard is not to be exceeded more than once per year; therefore, an area is in attainment of the CO standard if no more than one 8-hour ambient air monitoring values exceeds the threshold per year. In contrast, the federal annual PM2.5 standard is met if the three-year average of the annual average PM2.5 concentration is less than or equal to the standard. Table 5 lists the attainment status for the criteria pollutants in the basin. Table 5: South Coast Air Basin Attainment Status Pollutant Standard1 Averaging Time Designation2 Attainment Date3 1-Hour Ozone NAAQS 1979 1-Hour (0.12 ppm) Nonattainment (Extreme) 2/6/2023 (not attained)4 CAAQS 1-Hour (0.09 ppm) Nonattainment N/A 8-Hour Ozone5 NAAQS 1997 8-Hour (0.08 ppm) Nonattainment (Extreme) 6/15/2024 NAAQS 2008 8-Hour (0.075 ppm) Nonattainment (Extreme) 7/20/2032 NAAQS 2015 8-Hour (0.070 ppm) Nonattainment (Extreme) 8/3/2038 CAAQS 8-Hour (0.070 ppm) Nonattainment Beyond 2032 CO NAAQS 1-Hour (35 ppm) Attainment (Maintenance) 6/11/2007 (attained) CAAQS 8-Hour (9 ppm) Attainment 6/11/2007 (attained) NO2 6 NAAQS 1-Hour (0.1 ppm) Unclassifiable/Attainment N/A (attained) NAAQS Annual (0.053 ppm) Attainment (Maintenance) 9/22/1998 (attained) CAAQS 1-hour (0.18 ppm) Annual (0.030 ppm) Attainment - SO27 NAAQS 1-Hour (75 ppb) Designations Pending (expect Uncl./Attainment) N/A (attained) NAAQS 24-Hour (0.14 ppm) Annual (0.03 ppm) Unclassifiable/Attainment 3/19/1979 (attained) PM10 NAAQS 1987 24-Hour (150 µg/m3) Attainment (Maintenance)8 7/26/2013 (attained) CAAQS 24-Hour (50 µg/m3) Annual (20 µg/m3) Nonattainment N/A PM2.5 9 NAAQS 2006 24-Hour (35 µg/m3) Nonattainment (Serious) 12/31/2019 Homeless Prevention Resource and Care Center Air Quality, Greenhouse Gas, and Energy Impact Study City of Fontana, CA Setting 42 NAAQS 1997 Annual (15.0 µg/m3) Attainment 8/24/2016 NAAQS 2021 Annual (12.0 µg/m3) Nonattainment (Serious) 12/31/2025 CAAQS Annual (12.0 µg/m3) Nonattainment N/A Lead NAAQS 3-Months Rolling (0.15 µg/m3) Nonattainment (Partial)10 12/31/2015 Notes: Source: http://www.aqmd.gov/docs/default-source/clean-air-plans/air-quality-management-plans/naaqs-caaqs-feb2016.pdf 1 NAAQS = National Ambient Air Quality Standards, CAAQS = California Ambient Air Quality Standards 2 U.S. EPA often only declares Nonattainment areas; everywhere else is listed as Unclassifiable/Attainment or Unclassifiable. 3 A design value below the NAAQS for data through the full year or smog season prior to the attainment date is typically required for attainment demonstration. 4 1-hour O3 standard (0.12 ppm) was revoked, effective June 15, 2005; however, the Basin has not attained this standard based on 2008-2010 data and is still subject to anti-backsliding requirements. 5 1997 8-hour O3 standard (0.08 ppm) was reduced (0.075 ppm), effective May 27, 2008; the revoked 1997 O3 standard is still subject to anti-backsliding requirements. 6 New NO2 1-hour standard, effective August 2, 2010; attainment designations January 20, 2012; annual NO2 standard retained. 7 The 1971 annual and 24-hour SO2 standards were revoked, effective August 23, 2010; however, these 1971 standards will remain in effect until one year after U.S. EPA promulgates area designations for the 2010 SO2 1-hour standard. Area designations are still pending, with Basin expected to be designated Unclassifiable /Attainment. 8 Annual PM10 standard was revoked, effective December 18, 2006; 24-hour PM10 NAAQS deadline was 12/31/2006; SCAQMD request for attainment redesignation and PM10 maintenance plan was approved by U.S. EPA on June 26, 2013, effective July 26, 2013. 9 Attainment deadline for the 2006 24-Hour PM2.5 NAAQS (designation effective December 14, 2009) is December 31, 2019 (end of the 10th calendar year after effective date of designations for Serious nonattainment areas). Annual PM2.5 standard was revised on January 15, 2013, effective March 18, 2013, from 15 to 12 µg/m3. Designations effective April 15, 2015, so Serious area attainment deadline is December 31, 2025. 10 Partial Nonattainment designation – Los Angeles County portion of Basin only for near-source monitors. Expect redesignation to attainment based on current monitoring data. 3.2 Greenhouse Gases Constituent gases of the Earth’s atmosphere, called atmospheric greenhouse gases (GHG), play a critical role in the Earth’s radiation amount by trapping infrared radiation emitted from the Earth’s surface, which otherwise would have escaped to space. Prominent greenhouse gases contributing to this process include carbon dioxide (CO2), methane (CH4), ozone, water vapor, nitrous oxide (N2O), and chlorofluorocarbons (CFCs). This phenomenon, known as the Greenhouse Effect, is responsible for maintaining a habitable climate. Anthropogenic (caused or produced by humans) emissions of these greenhouse gases in excess of natural ambient concentrations are responsible for the enhancement of the Greenhouse Effect and have led to a trend of unnatural warming of the Earth’s natural climate, known as global warming or climate change. Emissions of gases that induce global warming are attributable to human activities associated with industrial/manufacturing, agriculture, utilities, transportation, and residential land uses. Transportation is responsible for 41 percent of the State’s greenhouse gas emissions, followed by electricity generation. Emissions of CO2 and nitrous oxide (NO2) are byproducts of fossil fuel combustion. Methane, a potent greenhouse gas, results from off-gassing associated with agricultural practices and landfills. Sinks of CO2, where CO2 is stored outside of the atmosphere, include uptake by vegetation and dissolution into the ocean. Table 6 provides a description of each of the greenhouse gases and their global warming potential. Homeless Prevention Resource and Care Center Air Quality, Greenhouse Gas, and Energy Impact Study City of Fontana, CA Setting 43 Additional information is available: https://www.arb.ca.gov/cc/inventory/data/data.htm Table 6: Description of Greenhouse Gases Greenhouse Gas Description and Physical Properties Sources Nitrous oxide Nitrous oxide (N20),also known as laughing gas is a colorless gas. It has a lifetime of 114 years. Its global warming potential is 298. Microbial processes in soil and water, fuel combustion, and industrial processes. In addition to agricultural sources, some industrial processes (nylon production, nitric acid production) also emit N20. Methane Methane (CH4) is a flammable gas and is the main component of natural gas. It has a lifetime of 12 years. Its global warming potential is 25. A natural source of CH4 is from the decay of organic matter. Methane is extracted from geological deposits (natural gas fields). Other sources are from the decay of organic material in landfills, fermentation of manure, and cattle farming. Carbon dioxide Carbon dioxide (CO2) is an odorless, colorless, natural greenhouse gas. Carbon dioxide’s global warming potential is 1. The concentration in 2005 was 379 parts per million (ppm), which is an increase of about 1.4 ppm per year since 1960. Natural sources include decomposition of dead organic matter; respiration of bacteria, plants, animals, and fungus; evaporation from oceans; and volcanic outgassing. Anthropogenic sources are from burning coal, oil, natural gas, and wood. Chlorofluorocarbons CFCs are nontoxic, nonflammable, insoluble, and chemically unreactive in the troposphere (the level of air at the earth’s surface). They are gases formed synthetically by replacing all hydrogen atoms in methane or methane with chlorine and/or fluorine atoms. Global warming potentials range from 3,800 to 8,100. Chlorofluorocarbons were synthesized in 1928 for use as refrigerants, aerosol propellants, and cleaning solvents. They destroy stratospheric ozone, therefore their production was stopped as required by the Montreal Protocol. Hydrofluorocarbons Hydrofluorocarbons (HFCs) are a group of greenhouse gases containing carbon, chlorine, and at least one hydrogen atom. Global warming potentials range from 140 to 11,700. Hydrofluorocarbons are synthetic manmade chemicals used as a substitute for chlorofluorocarbons in applications such as automobile air conditioners and refrigerants. Perfluorocarbons Perfluorocarbons (PFCs) have stable molecular structures and only break down by ultraviolet rays about 60 kilometers above the Earth’s surface. They have a lifetime 10,000 to 50,000 years. They have a global warming potential range of 6,200 to 9,500. Two main sources of perfluorocarbons are primary aluminum production and semiconductor manufacturing. Sulfur hexafluoride Sulfur hexafluoride (SF6) is an inorganic, odorless, colorless, and nontoxic, nonflammable gas. It has a lifetime of 3,200 years. It has a high global warming potential, 23,900. This gas is manmade and used for insulation in electric power transmission equipment, in the magnesium industry, in semiconductor manufacturing, and as a tracer gas for leak detection. Notes: 1. Sources: Intergovernmental Panel on Climate Change 2014a and Intergovernmental Panel on Climate Change 2014b. https://www.ipcc.ch/publications_and_data/ar4/wg1/en/ch2s2-10-2.html Homeless Prevention Resource and Care Center Air Quality, Greenhouse Gas, and Energy Impact Study City of Fontana, CA Setting 44 3.3 Energy 3.3.1 Overview California’s estimated annual energy use as of 2019 included: • Approximately 277,704 gigawatt hours of electricity; 8 • Approximately 2,136,907 million cubic feet of natural gas per year (for the year 2018)9;and • Approximately 23.2 billion gallons of transportation fuel (for the year 2015)10. As of 2019, the year of most recent data currently available by the United States Energy Information Administration (EIA), energy use in California by demand sector was: • Approximately 39.3 percent transportation; • Approximately 23.2 percent industrial; • Approximately 18.7 percent residential; and • Approximately 18.9 percent commercial.11 California’s electricity in-state generation system generates approximately 200,475 gigawatt-hours each year. In 2019, California produced approximately 72 percent of the electricity it uses; the rest was imported from the Pacific Northwest (approximately 9 percent) and the U.S. Southwest (approximately 19 percent). Natural gas is the main source for electricity generation at approximately 42.97 percent of the total in-state electric generation system power as shown in Table 7. <Table 7, next page> 8California Energy Commission. Energy Almanac. Total Electric Generation. [Online] 2020. https://www.energy.ca.gov/data-reports/energy-almanac/california-electricity-data/2019-total-system-electric-generation. 9Natural Gas Consumption by End Use. U.S. Energy Information Administration. [Online] August 31, 20020.https://www.eia.gov/dnav/ng/ng_cons_sum_dcu_SCA_a.htm. 10California Energy Commission. Revised Transportation Energy Demand Forecast 2018-2030. [Online] April 19, 2018. https://www.energy.ca.gov/assessments/ 11U.S. Energy Information Administration. California Energy Consumption by by End-Use Sector. California State Profile and Energy Estimates.[Online] January 16, 2020 https://www.eia.gov/state/?sid=CA#tabs-2 Homeless Prevention Resource and Care Center Air Quality, Greenhouse Gas, and Energy Impact Study City of Fontana, CA Setting 45 Table 7: Total Electricity System Power (California 2019) Fuel Type California In-State Generation (GWh) Percent of California In-State Generation Northwest Imports (GWh) Southwest Imports (GWh) Total Imports (GWh) Percent of Imports California Power Mix (GWh) Percent California Power Mix Coal 248 0.12% 219 7,765 7,985 10.34% 8,233 2.96% Natural Gas 86,136 42.97% 62 8,859 8,921 11.55% 95,057 34.23% Nuclear 16,163 8.06% 39 8,743 8,782 11.37% 24,945 8.98% Oil 36 0.02% 0 0 0 0.00% 36 0.01% Other (Petroleum Coke/Waste Heat) 411 0.20% 0 11 11 0.01% 422 0.15% Large Hydro 33,145 16.53% 6,387 1,071 7,458 9.66% 40,603 14.62% Unspecified Sources of Power 0 0.00% 6,609 13,767 20,376 26.38% 20,376 7.34% Renewables 64,336 32.09% 10,615 13,081 23,696 30.68% 88,032 31.70% Biomass 5,851 2.92% 903 33 936 1.21% 6,787 2.44% Geothermal 10,943 5.46% 99 2,218 2,318 3.00% 13,260 4.77% Somall Hydro 5,349 2.67% 292 4 296 0.38% 5,646 2.03% Solar 28,513 14.22% 282 5,295 5,577 7.22% 34,090 12.28% Wind 13,680 6.82% 9,038 5,531 14,569 18.87% 28,249 10.17% Total 200,475 100.00% 23,930 53,299 77,229 100.00% 277,704 100.00% Notes: 1 Source: California Energy Commission. 2019 Total System electric Generation. https://www.energy.ca.gov/data-reports/energy-almanac/california- electricity-data/2019-total-system-electric-generation A summary of and context for energy consumption and energy demands within the State is presented in “U.S. Energy Information Administration, California State Profile and Energy Estimates, Quick Facts” excerpted below: • California was the seventh-largest producer of crude oil among the 50 states in 2018, and, as of January 2019, it ranked third in oil refining capacity. • California is the largest consumer of jet fuel among the 50 states and accounted for one-fifth of the nation’s jet fuel consumption in 2018. • California’s total energy consumption is the second-highest in the nation, but, in 2018, the State’s per capita energy consumption ranked the fourth-lowest, due in part to its mild climate and its energy efficiency programs. • In 2018, California ranked first in the nation as a producer of electricity from solar, geothermal, and biomass resources and fourth in the nation in conventional hydroelectric power generation. • In 2018, large- and small-scale solar PV and solar thermal installations provided 19% of California’s net electricity generation12. 12 State Profile and Energy Estimates. Independent Statistics and Analysis. [Online] [Cited: January 16, 2020.] http://www.eia.gov/state/?sid=CA#tabs2. Homeless Prevention Resource and Care Center Air Quality, Greenhouse Gas, and Energy Impact Study City of Fontana, CA Setting 46 As indicated above, California is one of the nation’s leading energy‐producing states, and California per capita energy use is among the nation’s most efficient. Given the nature of the proposed project, the remainder of this discussion will focus on the three sources of energy that are most relevant to the project—namely, electricity and natural gas for building uses, and transportation fuel for vehicle trips associated with the proposed project. 3.3.2 Electricity and Natural Gas Electricity would be provided to the project by Southern California Edison (SCE). SCE provides electric power to more than 15 million persons, within a service area encompassing approximately 50,000 square miles.13 SCE derives electricity from varied energy resources including: fossil fuels, hydroelectric generators, nuclear power plants, geothermal power plants, solar power generation, and wind farms. SCE also purchases from independent power producers and utilities, including out‐of‐state suppliers.14 Table 2 identifies SCE’s specific proportional shares of electricity sources in 2019. Table 8: SCE 2019 Power Content Mix Energy Resources 2019 SDG&E Power Mix Eligible Renewable1 31.7% Biomass & Biowaste 2.4% Geothermal 4.8% Eligible Hydroelectric 2.0% Solar 12.3% Wind 10.2% Coal 3.0% Large Hydroelectric 14.6% Natural Gas 34.2% Nuclear 9.0% Other 0.2% Unspecified Sources of power2 7.3% Total 100% Notes: Source: 'https://www.energy.ca.gov/filebrowser/download/3265 (1) The eligible renewable percentage above does not reflect RPS compliance, which is determined using a different methodology. 13 https://www.sce.com/about-us/who-we-are/leadership/our-service-territory 14 California Energy Commission. Utility Energy Supply plans from 2015. https://www.energy.ca.gov/almanac/electricity_data/supply_forms.html Homeless Prevention Resource and Care Center Air Quality, Greenhouse Gas, and Energy Impact Study City of Fontana, CA Setting 47 (2) Unspecified sources of power means electricity from transactions that are not traceable to specific generation sources. Natural gas would be provided to the project by Southern California Gas (SoCalGas). The following summary of natural gas resources and service providers, delivery systems, and associated regulation is excerpted from information provided by the California Public Utilities Commission (CPUC). The CPUC regulates natural gas utility service for approximately 11 million customers that receive natural gas from Pacific Gas and Electric (PG&E), Southern California Gas (SoCalGas), San Diego Gas & Electric (SDG&E), Southwest Gas, and several smaller investor-owned natural gas utilities. The CPUC also regulates independent storage operators Lodi Gas Storage, Wild Goose Storage, Central Valley Storage and Gill Ranch Storage. The vast majority of California's natural gas customers are residential and small commercial customers, referred to as "core" customers. Larger volume gas customers, like electric generators and industrial customers, are called "noncore" customers. Although very small in number relative to core customers, noncore customers consume about 65% of the natural gas delivered by the state's natural gas utilities, while core customers consume about 35%. The PUC regulates the California utilities' natural gas rates and natural gas services, including in-state transportation over the utilities' transmission and distribution pipeline systems, storage, procurement, metering and billing. Most of the natural gas used in California comes from out-of-state natural gas basins. In 2017, for example, California utility customers received 38% of their natural gas supply from basins located in the U.S. Southwest, 27% from Canada, 27% from the U.S. Rocky Mountain area, and 8% from production located in California.”15 3.3.3 Transportation Energy Resources The project would attract additional vehicle trips with resulting consumption of energy resources, predominantly gasoline and diesel fuel. Gasoline (and other vehicle fuels) are commercially‐provided commodities and would be available to the project patrons and employees via commercial outlets. The most recent data available shows the transportation sector emits 40 percent of the total greenhouse gases in the state and about 84 percent of smog-forming oxides of nitrogen (NOx).16,17 About 28 percent of total United States energy consumption in 2019 was for transporting people and goods from one place to another. In 2019, petroleum comprised about 91 percent of all transportation energy use, excluding 15California Public Utilities Commission. Natural Gas and California. http://www.cpuc.ca.gov/natural_gas/ 16 CARB. California Greenhouse Gas Emissions Inventory – 2020 Edition. https://www.arb.ca.gov/cc/inventory/data/data.htm 17 CARB. 2016 SIP Emission Projection Data. https://www.arb.ca.gov/app/emsinv/2017/emseic1_query.php?F_DIV=- 4&F_YR=2012&F_SEASON=A&SP=SIP105ADJ&F_AREA=CA Homeless Prevention Resource and Care Center Air Quality, Greenhouse Gas, and Energy Impact Study City of Fontana, CA Setting 48 fuel consumed for aviation and most marine vessels.18 In 2020, about 123.49 billion gallons (or about 2.94 billion barrels) of finished motor gasoline were consumed in the United States, an average of about 337 million gallons (or about 8.03 million barrels) per day.19 18 US Energy Information Administration. Use of Energy in the United States Explained: Energy Use for Transportation. https://www.eia.gov/energyexplained/?page=us_energy_transportation 19 https://www.eia.gov/tools/faqs/faq.php?id=23&t=10 Homeless Prevention Resource and Care Center Air Quality, Greenhouse Gas, and Energy Impact Study City of Fontana, CA Modeling Parameters and Assumptions 49 4.0 Modeling Parameters and Assumptions 4.1 Construction Typical emission rates from construction activities were obtained from CalEEMod Version 2022.1.1.13 CalEEMod is a computer model published by the SCAQMD for estimating air pollutant emissions. The CalEEMod program uses the EMFAC2017 computer program to calculate the emission rates specific for the southwestern portion of San Bernardino County for construction-related employee vehicle trips and the OFFROAD2011 computer program to calculate emission rates for heavy truck operations. EMFAC2017 and OFFROAD2011 are computer programs generated by CARB that calculates composite emission rates for vehicles. Emission rates are reported by the program in grams per trip and grams per mile or grams per running hour. Using CalEEMod, the peak daily air pollutant emissions were calculated and presented below. These emissions represent the highest level of emissions for each of the construction phases in terms of air pollutant emissions. The analysis assesses the emissions associated with the construction of the proposed Project as indicated in Table 1. Construction is anticipated to begin April 2024 and end June 2025. The phases of the construction activities which have been analyzed below are: 1) site preparation, 2) grading, 3) building, 4) paving, and 5) architectural coating. For details on construction modeling and construction equipment for each phase, please see Appendix A. The Project will be required to comply with existing SCAQMD rules for the reduction of fugitive dust emissions. SCAQMD Rule 403 establishes these procedures. Compliance with this rule is achieved through application of standard best management practices in construction and operation activities, such as application of water or chemical stabilizers to disturbed soils, managing haul road dust by application of water, covering haul vehicles, restricting vehicle speeds on unpaved roads to 15 mph, sweeping loose dirt from paved site access roadways, cessation of construction activity when winds exceed 25 mph and establishing a permanent, stabilizing ground cover on finished sites. In addition, projects that disturb 50 acres or more of soil or move 5,000 cubic yards of materials per day are required to submit a Fugitive Dust Control Plan or a Large Operation Notification Form to SCAQMD. Based on the size of the Project area (approximately 7 acres) and the fact that the Project won’t export more than 5,000 cubic yards of material a day a Fugitive Dust Control Plan or Large Operation Notification would not be required. SCAQMD’s Rule 403 minimum requirements require that the application of the best available dust control measures are used for all grading operations and include the application of water or other soil stabilizers in sufficient quantity to prevent the generation of visible dust plumes. Compliance with Rule 403 would require the use of water trucks during all phases where earth moving operations would occur. Compliance with Rule 403 is required. Compliance is shown in the CalEEMod model as application of water three times daily, which is included in the model as a mitigation measure. Homeless Prevention Resource and Care Center Air Quality, Greenhouse Gas, and Energy Impact Study City of Fontana, CA Modeling Parameters and Assumptions 50 4.2 Operations Operational or long-term emissions occur over the life of the Project. Both mobile and area sources generate operational emissions. Area source emissions arise from consumer product usage, heaters that consume natural gas, gasoline-powered landscape equipment, and architectural coatings (painting). Mobile source emissions from motor vehicles are the largest single long-term source of air pollutants from the operation of the Project. Small amounts of emissions would also occur from area sources such as the consumption of natural gas for heating, from landscaping emissions, and consumer product usage. The operational emissions were estimated using the latest version of CalEEMod. Mobile Sources Mobile sources include emissions from the additional vehicle miles generated from the proposed Project. The vehicle trips associated with the proposed Project are based upon the trip generation rates give in the Project-specific trip generation analysis (LLG, 2023) which uses the ITE Trip Generation Manual 11th Edition. The trip generation analysis shows a net trip generation rate of 390 trips per day for the proposed Project. The program then applies the emission factors for each trip which is provided by the EMFAC2017 model to determine the vehicular traffic pollutant emissions. The CalEEMod default trip lengths were used in this analysis. Please see CalEEMod output comments sections in Appendix A for details. Area Sources Area sources include emissions from consumer products, landscape equipment and architectural coatings. Landscape maintenance includes fuel combustion emissions from equipment such as lawn mowers, rototillers, shredders/grinders, blowers, trimmers, chain saws, and hedge trimmers, as well as air compressors, generators, and pumps. As specifics were not known about the landscaping equipment fleet, CalEEMod defaults were used to estimate emissions from landscaping equipment. Per SCAQMD Rule 1113 as amended on June 3, 2011, the architectural coatings that would be applied after January 1, 2014 will be limited to an average of 50 grams per liter or less for buildings and 100 grams per liter or less for parking lot striping. No changes were made to the CalEEMod architectural coating default values. Per AB 341, at least 75 percent of generated waste will be source reduced, recycled, or composted. This is shown in the CalEEMod model as a mitigation measure; however, it is required. Energy Usage 2022.1.1.13 CalEEMod defaults were utilized. 4.3 Localized Construction Analysis The SCAQMD has published a “Fact Sheet for Applying CalEEMod to Localized Significance Thresholds” (South Coast Air Quality Management District 2011b). CalEEMod calculates construction emissions based on the number of equipment hours and the maximum daily disturbance activity possible for each Homeless Prevention Resource and Care Center Air Quality, Greenhouse Gas, and Energy Impact Study City of Fontana, CA Modeling Parameters and Assumptions 51 piece of equipment. In order to compare CalEEMod reported emissions against the localized significance threshold lookup tables, the CEQA document should contain in its project design features or its mitigation measures the following parameters: 1. The off-road equipment list (including type of equipment, horsepower, and hours of operation) assumed for the day of construction activity with maximum emissions. 2. The maximum number of acres disturbed on the peak day. 3. Any emission control devices added onto off-road equipment. 4. Specific dust suppression techniques used on the day of construction activity with maximum emissions. The construction equipment showing the equipment associated with the maximum area of disturbance is shown in Table 9. Table 9: Construction Equipment Assumptions1 Activity Equipment Number Acres/8hr-day Total Acres Site Preparation Rubber Tired Dozers 2 0.5 1.0 Tractors/Loaders/Backhoes 2 0.5 1.0 Total Per Phase 2.0 Grading Graders 1 0.5 0.5 Rubber Tired Dozers 1 0.5 0.5 Tractors/Loaders/Backhoes 3 0.5 1.5 Total Per Phase 2.5 Notes: 1. Source: South Coast AQMD, Fact Sheet for Applying CalEEMod to Localized Significance Thresholds. http://www.aqmd.gov/docs/default- source/ceqa/handbook/localized-significance-thresholds/caleemod-guidance.pdf?sfvrsn=2 As shown in Table 9, the maximum number of acres disturbed in a day would be 2.5 acres during site preparation and grading. The local air quality emissions from construction were analyzed using the SCAQMD’s Mass Rate Localized Significant Threshold Look-up Tables and the methodology described in Localized Significance Threshold Methodology, prepared by SCAQMD, revised July 2008. The Look-up Tables were developed by the SCAQMD in order to readily determine if the daily emissions of CO, NOx, PM10, and PM2.5 from the proposed Project could result in a significant impact to the local air quality. The emission thresholds were based on the Central San Bernardino Valley source receptor area (SRA 34) and a disturbance of 2 acres per day at a distance of 25 meters (82 feet). 4.4 Localized Operational Analysis For operational emissions, the screening tables for a disturbance area of 2 acres per day and a distance of 25 meters were used to determine significance. The tables were compared to the Project’s onsite operational emissions. Homeless Prevention Resource and Care Center Air Quality, Greenhouse Gas, and Energy Impact Study City of Fontana, CA Thresholds of Significance 52 5.0 Thresholds of Significance 5.1 Air Quality Thresholds of Significance 5.1.1 CEQA Guidelines for Air Quality The CEQA Guidelines define a significant effect on the environment as “a substantial, or potentially substantial, adverse change in the environment.” To determine if a project would have a significant impact on air quality, the type, level, and impact of emissions generated by the project must be evaluated. The following air quality significance thresholds are contained in Appendix G of the CEQA Guidelines. A significant impact would occur if the project would: a) Conflict with or obstruct implementation of the applicable air quality plan; b) Result in a cumulatively considerable net increase of any criteria pollutant for which the project region is nonattainment under an applicable national or state ambient air quality standard; c) Expose sensitive receptors to substantial pollutant concentrations; or d) Result in other emissions (such as those leading to odors) adversely affecting a substantial number of people. While the final determination of whether a project is significant is within the purview of the Lead Agency pursuant to Section 15064(b) of the CEQA Guidelines, SCAQMD recommends that its quantitative air pollution thresholds be used to determine the significance of project emissions. If the Lead Agency finds that the project has the potential to exceed these air pollution thresholds, the project should be considered to have significant air quality impacts. There are daily emission thresholds for construction and operation of a proposed project in the basin. 5.1.2 Regional Significance Thresholds for Construction Emissions The following CEQA significance thresholds for construction emissions are established for the Basin: • 75 pounds per day (lbs/day) of VOC • 100 lbs/day of NOx • 550 lbs/day of CO • 150 lbs/day of PM10 • 55 lbs/day of PM2.5 • 150 lbs/day of SO2 Projects in the basin with construction-related emissions that exceed any of the emission thresholds are considered to be significant under SCAQMD guidelines. Homeless Prevention Resource and Care Center Air Quality, Greenhouse Gas, and Energy Impact Study City of Fontana, CA Thresholds of Significance 53 5.1.3 Regional Significance Thresholds for Operational Emissions The daily operational emissions significance thresholds for the basin are as follows: • 55 pounds per day (lbs/day) of VOC • 55 lbs/day of NOx • 550 lbs/day of CO • 150 lbs/day of PM10 • 55 lbs/day of PM2.5 • 150 lbs/day of SO2 Local Microscale Concentration Standards The significance of localized project impacts under CEQA depends on whether ambient CO levels in the vicinity of the project are above or below State and federal CO standards. If ambient levels are below the standards, a project is considered to have a significant impact if project emissions result in an exceedance of one or more of these standards. If ambient levels already exceed a State or federal standard, project emissions are considered significant if they increase 1-hour CO concentrations by 1.0 ppm or more or 8-hour CO concentrations by 0.45 ppm or more. The following are applicable local emission concentration standards for CO: • California State 1-hour CO standard of 20.0 ppm • California State 8-hour CO standard of 9.0 ppm 5.1.4 Thresholds for Localized Significance Project-related construction air emissions may have the potential to exceed the State and Federal air quality standards in the project vicinity, even though these pollutant emissions may not be significant enough to create a regional impact to the South Coast Air Basin. In order to assess local air quality impacts the SCAQMD has developed Localized Significant Thresholds (LSTs) to assess the project-related air emissions in the project vicinity. The SCAQMD has also provided Final Localized Significant Threshold Methodology (LST Methodology), June 2003, which details the methodology to analyze local air emission impacts. The Localized Significant Threshold Methodology found that the primary emissions of concern are NO2, CO, PM10, and PM2.5. The emission thresholds were calculated based on the Southwestern San Bernardino Valley source receptor area (SRA 33) and a disturbance of 2 acres per day at a distance of 25 meters (82 feet), for construction. 5.2 Greenhouse Gas Thresholds of Significance 5.2.1 CEQA Guidelines for Greenhouse Gas CEQA Guidelines define a significant effect on the environment as “a substantial, or potentially substantial, adverse change in the environment.” To determine if a project would have a significant impact on greenhouse gases, the type, level, and impact of emissions generated by the project must be evaluated. Homeless Prevention Resource and Care Center Air Quality, Greenhouse Gas, and Energy Impact Study City of Fontana, CA Thresholds of Significance 54 The following greenhouse gas significance thresholds are contained in Appendix G of the CEQA Guidelines, which were amendments adopted into the Guidelines on March 18, 2010, pursuant to SB 97. A significant impact would occur if the project would: (a) Generate greenhouse gas emissions, either directly or indirectly, that may have a significant impact on the environment; or (b) Conflict with any applicable plan, policy or regulation of an agency adopted for the purpose of reducing the emissions of greenhouse gases. However, despite this, currently neither the CEQA statutes, OPR guidelines, nor the draft proposed changes to the CEQA Guidelines prescribe thresholds of significance or a particular methodology for performing an impact analysis; as with most environmental topics, significance criteria are left to the judgment and discretion of the Lead Agency. As previously discussed (Section 2.2.4 of this report), SCAQMD has drafted interim thresholds. The screening threshold of 3,000 MTCO2e per year for all land uses was used in this analysis. 5.3 Toxic Air Contaminants The threshold for toxic air contaminants (TACs) has a maximum incremental cancer risk of 10 per million and a non-cancer (acute and chronic) hazard index of 1.0 or greater. An exceedance to these values would be considered a significant impact. Homeless Prevention Resource and Care Center Air Quality, Greenhouse Gas, and Energy Impact Study City of Fontana, CA Air Quality Emissions Impact 55 6.0 Air Quality Emissions Impact 6.1 Construction Air Quality Emissions Impact The latest version of CalEEMod was used to estimate the onsite and offsite construction emissions. The emissions incorporate Rule 402 and 403. Rule 402 and 403 (fugitive dust) are not considered mitigation measures as the Project by default is required to incorporate these rules during construction. 6.1.1 Regional Construction Emissions The construction emissions for the Project would not exceed the SCAQMD’s daily emission thresholds at the regional level as demonstrated in Table 10, and therefore would be considered less than significant. Table 10: Regional Significance - Construction Emissions (pounds/day) Pollutant Emissions (pounds/day) Activity VOC NOx CO SO2 PM10 PM2.5 Site Preparation On-Site2 2.35 23.20 20.70 0.03 6.14 3.58 Off-Site3 0.05 0.05 0.85 0.00 0.13 0.03 Total 2.40 23.25 21.55 0.03 6.27 3.61 Grading On-Site2 1.90 18.20 18.80 0.03 3.60 2.11 Off-Site3 0.08 0.07 1.27 0.00 0.20 0.05 Total 1.98 18.27 20.07 0.03 3.80 2.16 Building Construction On-Site2 1.20 11.20 13.10 0.02 0.50 0.46 Off-Site3 0.58 1.22 9.45 0.00 1.55 0.38 Total 1.78 12.42 22.55 0.02 2.05 0.84 Paving On-Site2 0.93 7.45 9.98 0.01 0.35 0.32 Off-Site3 0.07 0.24 1.26 0.00 0.25 0.06 Total 1.00 7.69 11.24 0.01 0.60 0.38 Architectural Coating On-Site2 13.23 0.88 1.14 0.00 0.03 0.03 Off-Site3 0.10 0.10 1.68 0.00 0.28 0.07 Total 13.33 0.98 2.82 0.00 0.31 0.10 Total of overlapping phases4 16.11 21.09 36.61 0.03 2.96 1.32 SCAQMD Thresholds 75 100 550 150 150 55 Exceeds Thresholds No No No No No No Notes: 1 Source: CalEEMod Version 2022.1.1.13 2 On-site emissions from equipment operated on-site that is not operated on public roads 3 Off-site emissions from equipment operated on public roads. 4 Construction, architectural coatings and paving phases may overlap. 2 On-site emissions from equipment operated on-site that is not operated on public roads Homeless Prevention Resource and Care Center Air Quality, Greenhouse Gas, and Energy Impact Study City of Fontana, CA Air Quality Emissions Impact 56 6.1.2 Localized Construction Emissions The data provided in Table 11 shows that none of the analyzed criteria pollutants would exceed the local emissions thresholds at the nearest sensitive receptors. Therefore, a less than significant local air quality impact would occur from construction of the proposed Project. Table 11: Localized Significance – Construction Phase On-Site Pollutant Emissions (pounds/day)1 NOx CO PM10 PM2.5 Site Preparation 23.20 20.70 6.14 3.58 Grading 18.20 18.80 3.60 2.11 Building Construction 11.20 13.10 0.50 0.46 Paving 7.45 9.98 0.35 0.32 Architectural Coating 0.88 1.14 0.03 0.03 Total of overlapping phases 19.53 24.22 0.88 0.81 SCAQMD Threshold for 25 meters (82 feet) or less2 170 972 7 4 Exceeds Threshold? No No No No Notes: 1 Source: Calculated from CalEEMod and SCAQMD’s Mass Rate Look-up Tables for two acres, to be conservative, in Central San Bernardino Valley Source Receptor Area (SRA 34). Project will disturb a maximum of 2.5 acres per day (see Table 9). 2 The nearest sensitive receptor is located 25 meters to the southeast of the property line; therefore, the 25-meter threshold has been used. 6.1.3 Construction-Related Human Health Impacts Regarding health effects related to criteria pollutant emissions, the applicable significance thresholds are established for regional compliance with the state and federal ambient air quality standards, which are intended to protect public health from both acute and long-term health impacts, depending on the potential effects of the pollutant. Because regional and local emissions of criteria pollutants during construction of the Project would be below the applicable thresholds, it would not contribute to long- term health impacts related to nonattainment of the ambient air quality standards. Therefore, significant adverse acute health impacts as a result of Project construction are not anticipated. 6.1.4 Construction-Related Toxic Air Contaminant Impact The greatest potential for toxic air contaminant emissions would be related to diesel particulate emissions associated with heavy equipment operations during construction of the proposed Project. The Office of Environmental Health Hazard Assessment (OEHHA) has issued the Air Toxic Hot Spots Program Risk Assessment Guidelines and Guidance Manual for the Preparation of Health Risk Assessments, February 2015 to provide a description of the algorithms, recommended exposure variates, cancer and noncancer health values, and the air modeling protocols needed to perform a health risk assessment (HRA) under the Air Toxics Hot Spots Information and Assessment Act of 1987. Hazard identification includes identifying all substances that are evaluated for cancer risk and/or non-cancer acute, 8-hour, and chronic health impacts. In addition, identifying any multi-pathway substances that present a cancer risk or chronic non-cancer hazard via non-inhalation routes of exposure. Homeless Prevention Resource and Care Center Air Quality, Greenhouse Gas, and Energy Impact Study City of Fontana, CA Air Quality Emissions Impact 57 Given the relatively limited number of heavy-duty construction equipment and construction schedule, the proposed Project would not result in a long-term substantial source of toxic air containment emissions and corresponding individual cancer risk. Furthermore, construction-based particulate matter (PM) emissions (including diesel exhaust emissions) do not exceed any local or regional thresholds. Therefore, no significant short-term toxic air contaminant impacts would occur during construction of the proposed Project. 6.2 Operational Air Quality Emissions Impact 6.2.1 Regional Operational Emissions The operations-related criteria air quality impacts created by the proposed Project have been analyzed through the use of CalEEMod model. The operating emissions were based on year 2024, which is the anticipated opening year for the Project. The summer and winter emissions created by the proposed Project’s long-term operations were calculated and the highest emissions from either summer or winter are summarized in Table 12. Table 12: Regional Significance - Unmitigated Operational Emissions (lbs/day) Activity Pollutant Emissions (pounds/day)1 VOC NOx CO SO2 PM10 PM2.5 Area Sources2 1.71 0.08 8.48 0.00 0.00 0.00 Energy Usage3 0.02 0.42 0.18 0.00 0.03 0.03 Mobile Sources4 1.62 1.51 13.00 0.03 0.97 0.19 Total Emissions 3.35 2.01 21.66 0.03 1.00 0.22 SCAQMD Thresholds 55 55 550 150 150 55 Exceeds Threshold? No No No No No No Notes: 1 Source: CalEEMod Version 2022.1.1.13 2 Area sources consist of emissions from consumer products, architectural coatings, and landscaping equipment. 3 Energy usage consists of emissions from on-site natural gas usage. 4 Mobile sources consist of emissions from vehicles and road dust. Table 12 provides the Project's unmitigated operational emissions. Table 12 shows that the Project does not exceed the SCAQMD daily emission threshold and regional operational emissions are considered to be less than significant. 6.2.2 Localized Operational Emissions Table 13 shows the calculated emissions for the proposed operational activities compared with appropriate LSTs. The LST analysis only includes on-site sources; however, the CalEEMod software outputs do not separate on-site and off-site emissions for mobile sources. For a worst-case scenario assessment, the emissions shown in Table 13 include all on-site Project-related stationary sources and Homeless Prevention Resource and Care Center Air Quality, Greenhouse Gas, and Energy Impact Study City of Fontana, CA Air Quality Emissions Impact 58 10% of the Project-related new mobile sources.20 This percentage is an estimate of the amount of Project-related new vehicle traffic that will occur on-site. Table 13: Localized Significance - Unmitigated Operational Emissions On-Site Emission Source On-Site Pollutant Emissions (pounds/day)1 NOx CO PM10 PM2.5 Area Sources2 0.08 8.48 0.00 0.00 Energy Usage3 0.42 0.18 0.03 0.03 On-Site Vehicle Emissions4 0.15 1.30 0.10 0.02 Total Emissions 0.65 9.96 0.13 0.05 SCAQMD Threshold for 50 meters (164 feet)5 170 972 2 1 Exceeds Threshold? No No No No Notes: 1 Source: Calculated from CalEEMod and SCAQMD’s Mass Rate Look-up Tables for two acres in Central San Bernardino Valley Source Receptor Area (SRA 34). Project will disturb a maximum of 2.5 acres per day (see Table 9). 2 Area sources consist of emissions from consumer products, architectural coatings, and landscaping equipment. 3 Energy usage consists of emissions from generation of electricity and on-site natural gas usage. 4 On-site vehicular emissions based on 1/10 of the gross vehicular emissions and road dust. 5 The nearest sensitive receptor is located 25 meters to the southeast of the property line; therefore, the 25-meter threshold has been used. 6.2.3 Operations-Related Human Health Impacts As stated previously, regarding health effects related to criteria pollutant emissions, the applicable significance thresholds are established for regional compliance with the state and federal ambient air quality standards, which are intended to protect public health from both acute and long-term health impacts, depending on the potential effects of the pollutant. Because regional and local emissions of criteria pollutants during operation of the Project would be below the applicable thresholds, it would not contribute to long-term health impacts related to nonattainment of the ambient air quality standards. Therefore, significant adverse acute health impacts as a result of Project operation are not anticipated. 6.3 CO Hot Spot Emissions CO is the pollutant of major concern along roadways because the most notable source of CO is motor vehicles. For this reason, CO concentrations are usually indicative of the local air quality generated by a roadway network and are used as an indicator of potential local air quality impacts. Local air quality impacts can be assessed by comparing future without and with Project CO levels to the State and Federal CO standards which were presented in above in Section 5.0. 20 The project site is approximately 0.2 miles in length at its longest point; therefore the on-site mobile source emissions represent approximately 1/53rd of the shortest CalEEMod default distance of 6.9 miles. Therefore, to be conservative, 1/34th the distance (dividing the mobile source emissions by 10) was used to represent the portion of the overall mobile source emissions that would occur on-site. Homeless Prevention Resource and Care Center Air Quality, Greenhouse Gas, and Energy Impact Study City of Fontana, CA Air Quality Emissions Impact 59 To determine if the proposed Project could cause emission levels in excess of the CO standards discussed above in Section 5.0, a sensitivity analysis is typically conducted to determine the potential for CO “hot spots” at a number of intersections in the general Project vicinity. Because of reduced speeds and vehicle queuing, “hot spots” potentially can occur at high traffic volume intersections with a Level of Service E or worse. Micro-scale air quality emissions have traditionally been analyzed in environmental documents where the air basin was a non-attainment area for CO. However, the SCAQMD has demonstrated in the CO attainment redesignation request to EPA that there are no “hot spots” anywhere in the air basin, even at intersections with much higher volumes, much worse congestion, and much higher background CO levels than anywhere in San Bernardino County. If the worst-case intersections in the air basin have no “hot spot” potential, any local impacts will be below thresholds. The Project-specific trip generation analysis showed that the Project is only anticipated to generate 390 daily vehicle trips (LLG). The 1992 Federal Attainment Plan for Carbon Monoxide (1992 CO Plan) showed that an intersection which has a daily traffic volume of approximately 100,000 vehicles per day would not violate the CO standard. The volume of traffic at Project buildout would be well below 100,000 vehicles and below the necessary volume to even get close to causing a violation of the CO standard. Therefore, no CO “hot spot” modeling was performed and no significant long-term air quality impact is anticipated to local air quality with the on-going use of the proposed Project. 6.4 Odors Potential sources that may emit odors during construction activities include the application of materials such as asphalt pavement. The objectionable odors that may be produced during the construction process are of short-term in nature and the odor emissions are expected cease upon the drying or hardening of the odor producing materials. Diesel exhaust and VOCs would be emitted during construction of the Project, which are objectionable to some; however, emissions would disperse rapidly from the Project site and therefore should not reach an objectionable level at the nearest sensitive receptors. Due to the short-term nature and limited amounts of odor producing materials being utilized, no significant impact related to odors would occur during construction of the proposed Project. The SCAQMD recommends that odor impacts be addressed in a qualitative manner. Such an analysis shall determine whether the Project would result in excessive nuisance odors, as defined under the California Code of Regulations and Section 41700 of the California Health and Safety Code, and thus would constitute a public nuisance related to air quality. Potential sources that may emit odors during the on-going operations of the proposed Project would include odor emissions from vehicles and trash storage areas. Due to the distance of the nearest receptors from the Project site and through compliance with SCAQMD’s Rule 402 no significant impact related to odors would occur during the on-going operations of the proposed Project. Homeless Prevention Resource and Care Center Air Quality, Greenhouse Gas, and Energy Impact Study City of Fontana, CA Air Quality Emissions Impact 60 6.5 Cumulative Regional Air Quality Impacts Cumulative projects include local development as well as general growth within the project area. However, as with most development, the greatest source of emissions is from mobile sources, which travel well out of the local area. Therefore, from an air quality standpoint, the cumulative analysis would extend beyond any local projects and when wind patterns are considered, would cover an even larger area. Accordingly, the cumulative analysis for the Project’s air quality must be generic by nature. The Project area is out of attainment for both ozone and PM10 particulate matter. Construction and operation of cumulative projects will further degrade the local air quality, as well as the air quality of the South Coast Air Basin. The greatest cumulative impact on the quality of regional air cell will be the incremental addition of pollutants mainly from increased traffic from residential, commercial, and industrial development and the use of heavy equipment and trucks associated with the construction of these projects. Air quality will be temporarily degraded during construction activities that occur separately or simultaneously. However, in accordance with the SCAQMD methodology, projects that do not exceed the SCAQMD criteria or can be mitigated to less than criteria levels are not significant and do not add to the overall cumulative impact. The Project does not exceed any of the thresholds of significance and therefore is considered less than significant. 6.6 Air Quality Compliance The California Environmental Quality Act (CEQA) requires a discussion of any inconsistencies between a proposed project and applicable General Plans and Regional Plans (CEQA Guidelines Section 15125). The regional plan that applies to the proposed Project includes the SCAQMD Air Quality Management Plan (AQMP). Therefore, this section discusses any potential inconsistencies of the proposed Project with the AQMP. The purpose of this discussion is to set forth the issues regarding consistency with the assumptions and objectives of the AQMP and discuss whether the proposed Project would interfere with the region’s ability to comply with Federal and State air quality standards. If the decision-makers determine that the proposed Project is inconsistent, the lead agency may consider Project modifications or inclusion of mitigation to eliminate the inconsistency. The SCAQMD CEQA Handbook states that "New or amended General Plan Elements (including land use zoning and density amendments), Specific Plans, and significant projects must be analyzed for consistency with the AQMP." Strict consistency with all aspects of the plan is usually not required. A proposed Project should be considered to be consistent with the AQMP if it furthers one or more policies and does not obstruct other policies. The SCAQMD CEQA Handbook identifies two key indicators of consistency: (1) Whether the Project will result in an increase in the frequency or severity of existing air quality violations or cause or contribute to new violations or delay timely attainment of air quality standards or the interim emission reductions specified in the AQMP. Homeless Prevention Resource and Care Center Air Quality, Greenhouse Gas, and Energy Impact Study City of Fontana, CA Air Quality Emissions Impact 61 (2) Whether the Project will exceed the assumptions in the AQMP in 2016 or increments based on the year of Project buildout and phase. Both of these criteria are evaluated in the following sections. A. Criterion 1 - Increase in the Frequency or Severity of Violations? Based on the air quality modeling analysis contained in this Air Analysis in Section 6, neither short-term construction impacts, nor long-term operations will result in significant impacts based on the SCAQMD regional and local thresholds of significance. Therefore, the proposed Project is not projected to contribute to the exceedance of any air pollutant concentration standards and is found to be consistent with the AQMP for the first criterion. B. Criterion 2 - Exceed Assumptions in the AQMP? Consistency with the AQMP assumptions is determined by performing an analysis of the proposed Project with the assumptions in the AQMP. The emphasis of this criterion is to ensure that the analyses conducted for the proposed Project are based on the same forecasts as the AQMP. The 2016-2040 Regional Transportation/Sustainable Communities Strategy, prepared by SCAG, 2016, includes chapters on: the challenges in a changing region, creating a plan for our future, and the road to greater mobility and sustainable growth. These chapters currently respond directly to federal and state requirements placed on SCAG. Local governments are required to use these as the basis of their plans for purposes of consistency with applicable regional plans under CEQA. For this Project, the City of Fontana General Plan defines the assumptions that are represented in the AQMP. The City of Fontana Zoning map classifies the land use designation of the site as Open Space. The proposed project would be rezoned from Open Space to Light Industrial as well as adding an Emergency Shelter Overlay District. Therefore, it is not anticipated that the Project would exceed the AQMP assumptions for the Project site and is found to be consistent with the AQMP for the second criterion. Based on the above, the proposed Project will not result in an inconsistency with the SCAQMD AQMP. Therefore, a less than significant impact will occur. Homeless Prevention Resource and Care Center Air Quality, Greenhouse Gas, and Energy Impact Study City of Fontana, CA Greenhouse Gas Impact Analysis 62 7.0 Greenhouse Gas Impact Analysis 7.1 Construction Greenhouse Gas Emissions Impact The greenhouse gas emissions from Project construction equipment and worker vehicles are shown in Table 14. The emissions are from all phases of construction. The total construction emissions amortized over a period of 30 years are estimated at 18 metric tons of CO2e per year. Annual CalEEMod output calculations are provided in Appendix A. Table 14: Construction Greenhouse Gas Emissions Activity Emissions (MTCO2e)1 2024 348.00 2025 192.00 Total 540.00 Averaged over 30 years2 18.00 Notes: 1. MTCO2e=metric tons of carbon dioxide equivalents (includes carbon dioxide, methane and nitrous oxide). 2. The emissions are averaged over 30 years because the average is added to the operational emissions, pursuant to SCAQMD. * CalEEMod output (Appendix A) 7.2 Operational Greenhouse Gas Emissions Impact Operational emissions occur over the life of the Project. The operational emissions for the Project are 829.37 metric tons of CO2e per year (see Table 15). Furthermore, as shown in Table 15, the Project’s total emissions (with incorporation of construction related GHG emissions) would be 910.37 metric tons of CO2e per year. These emissions do not exceed the County of San Bernardino CAP and SCAQMD screening threshold of 3,000 metric tons of CO2e per year. Therefore, the Project's GHG emissions are considered to be less than significant. Table 15: Opening Year Unmitigated Project-Related Greenhouse Gas Emissions Category Greenhouse Gas Emissions (Metric Tons/Year)1 Bio-CO2 NonBio-CO2 CO2 CH4 N2O CO2e Area Sources2 0.00 2.58 2.58 0.00 0.00 2.59 Energy Usage3 0.00 253.00 253.00 0.02 0.00 254.00 Mobile Sources4 0.00 465.00 465.00 0.03 0.02 474.00 Solid Waste5 40.40 0.00 40.40 4.04 0.00 141.00 Water6 1.98 12.10 14.08 0.20 0.00 20.70 Refrigerants 0.00 0.00 0.00 0.00 0.00 0.08 Construction7 0.00 17.83 17.83 0.00 0.00 18.00 Total Emissions 42.38 750.51 792.89 4.29 0.02 910.37 SCAQMD Draft and San Bernardino County Screening Threshold 3,000 Exceeds Threshold? No Notes: 1 Source: CalEEMod Version 2022.1.1.13 2 Area sources consist of GHG emissions from consumer products, architectural coatings, and landscape equipment. Homeless Prevention Resource and Care Center Air Quality, Greenhouse Gas, and Energy Impact Study City of Fontana, CA Greenhouse Gas Impact Analysis 63 3 Energy usage consist of GHG emissions from electricity and natural gas usage. 4 Mobile sources consist of GHG emissions from vehicles. 5 Solid waste includes the CO2 and CH4 emissions created from the solid waste placed in landfills. 6 Water includes GHG emissions from electricity used for transport of water and processing of wastewater. 7 Construction GHG emissions based on a 30-year amortization rate. 7.3 Greenhouse Gas Plan Consistency The proposed Project would have the potential to conflict with any applicable plan, policy or regulation of an agency adopted for the purpose of reducing the emissions of greenhouse gases. According to the County of San Bernardino Greenhouse Gas Emissions Reduction Plan, "all development projects, including those otherwise determined to be exempt from CEQA will be subject to applicable Development Code provisions, including the GHG performance standards, and state requirements, such as the California Building Code requirements for energy efficiency. With the application of the GHG performance standards, projects that are exempt from CEQA and small projects that do not exceed 3,000 MTCO2e per year will be considered to be consistent with the Plan and determined to have a less than significant individual and cumulative impact for GHG emissions." The Project’s operational GHG emissions do not exceed the County's screening threshold of 3,000 MTCO2e per year. Therefore, the proposed Project is consistent with the GHG Plan pursuant to Section 15183.5 of the State CEQA Guidelines. The Project will not result in substantial emissions of greenhouse gases and will not conflict with the County of San Bernardino CAP or the goals of AB‐32 or SB‐32. 7.4 Cumulative Regional Greenhouse Gas Impacts Cumulative projects include local development as well as general growth within the project area. However, as with most development, the greatest source of emissions is from mobile sources, which travel well out of the local area. Therefore, from a greenhouse gas standpoint, the cumulative analysis would extend beyond any local projects and when wind patterns are considered, would cover an even larger area. Accordingly, the cumulative analysis for the Project’s greenhouse gas impacts must be generic by nature. Construction and operation of cumulative projects will add to greenhouse gas emissions. The greatest cumulative impact will be the incremental addition of pollutants mainly from increased traffic from residential, commercial, and industrial development and the use of heavy equipment and trucks associated with the construction of these projects. Greenhouse gas emissions will temporarily increase during construction activities that occur separately or simultaneously. However, in accordance with the SCAQMD methodology, projects that do not exceed the SCAQMD criteria or can be mitigated to less than criteria levels are not significant and do not add to the overall cumulative impact. The Project does not exceed any of the thresholds of significance and therefore is considered less than significant. Homeless Prevention Resource and Care Center Air Quality, Greenhouse Gas, and Energy Impact Study City of Fontana, CA References 64 8.0 Energy Analysis Information from the CalEEMod 2022.1.1.13 Daily and Annual Outputs contained in the air quality and greenhouse gas analyses above was utilized for this analysis. The CalEEMod outputs detail Project related construction equipment, transportation energy demands, and facility energy demands. 8.1 Construction Energy Demand 8.1.1 Construction Equipment Electricity Usage Estimates Electrical service will be provided by Southern California Edison (SCE). Based on the 2017 National Construction Estimator, Richard Pray (2017)21, the typical power cost per 1,000 square feet of building construction per month is estimated to be $2.32. The Project plans to develop the site with 40,000 square feet of new homelessness prevention resources and care center over the course of approximately 15 months. Based on Table 16, the total power cost of the on-site electricity usage during the construction of the proposed Project is estimated to be approximately $1,392. As shown in Table 16, the total electricity usage from Project construction related activities is estimated to be approximately 25,309 kWh.22 Table 16: Project Construction Power Cost and Electricity Usage Power Cost (per 1,000 square foot of building per month of construction) Total Building Size (1,000 Square Foot)1 Construction Duration (months) Total Project Construction Power Cost $2.32 40 15 $1,392.00 Cost per kWh Total Project Construction Electricity Usage (kWh) $0.06 25,309 * Assumes the Project will be under the GS-1 General Service rate under SCE. 8.1.2 Construction Equipment Fuel Estimates Using the CalEEMod data input, the Project’s construction phase would consume electricity and fossil fuels as a single energy demand, that is, once construction is completed their use would cease. CARB’s 2017 Emissions Factors Tables show that on average aggregate fuel consumption (gasoline and diesel 21 Pray, Richard. 2017 National Construction Estimator. Carlsbad: Craftsman Book Company, 2017. 22 LADWP’s Small Commercial & Multi-Family Service (A-1) is approximately $0.06 per kWh of electricity Southern California Edison (SCE). Rates & Pricing Choices: General Service/Industrial Rates. https://library.sce.com/content/dam/sce - doclib/public/regulatory/historical/electric/2020/schedules/general-service-&-industrial-rates/ELECTRIC_SCHEDULES_GS-1_2020.pdf Homeless Prevention Resource and Care Center Air Quality, Greenhouse Gas, and Energy Impact Study City of Fontana, CA References 65 fuel) would be approximately 18.5 hp-hr-gal.23 As presented in Table 17 below, Project construction activities would consume an estimated 27,603 gallons of diesel fuel. Table 17: Construction Equipment Fuel Consumption Estimates Phase Number of Days Offroad Equipment Type Amount Usage Hours Horse Power Load Factor HP hrs/ day Total Fuel Consumption (gal diesel fuel)1 Site Preparation 20 Rubber Tired Dozers 2 8 367 0.41 2,408 2,603 20 Tractors/Loaders/Backhoes 2 8 84 0.37 497 538 Grading 20 Excavators 1 8 36 0.38 109 118 20 Graders 1 8 148 0.41 485 525 20 Rubber Tired Dozers 1 8 367 0.4 1,174 1,270 20 Tractors/Loaders/Backhoes 3 8 84 0.37 746 806 Building Construction 230 Cranes 1 7 367 0.29 745 9,262 230 Forklifts 3 8 82 0.2 394 4,893 230 Generator Sets 1 8 14 0.74 83 1,030 230 Tractors/Loaders/Backhoes 3 7 46 0.37 357 4,444 230 Welders 1 8 84 0.45 302 3,760 Paving 20 Pavers 2 8 81 0.42 544 588 20 Paving Equipment 2 8 89 0.36 513 554 20 Rollers 2 8 36 0.38 219 237 Architectural Coating 20 Air Compressors 1 6 37 0.48 107 115 CONSTRUCTION FUEL DEMAND (gallons of diesel fuel) 27,603 Notes: 1Using Carl Moyer Guidelines Table D-21 Fuel consumption rate factors (bhp-hr/gal) for engines less than 750 hp. (Source: https://www.arb.ca.gov/msprog/moyer/guidelines/2017gl/2017_gl_appendix_d.pdf) 8.1.3 Construction Worker Fuel Estimates It is assumed that all construction worker trips are from light duty autos (LDA) along area roadways. With respect to estimated VMT, the construction worker trips would generate an estimated 478,632 VMT. Vehicle fuel efficiencies for construction workers were estimated in the air quality and greenhouse gas analysis using information generated using CARB’s EMFAC model (see Appendix B for details). Table 18 shows that an estimated 15,465 gallons of fuel would be consumed for construction worker trips. 23 Aggregate fuel consumption rate for all equipment was estimated at 18.5 hp-hr/day (from CARB’s 2017 Emissions Factors Tables and fuel consumption rate factors as shown in Table D-21 of the Moyer Guidelines: (https://www.arb.ca.gov/msprog/moyer/guidelines/2017gl/2017_gl_appendix_d.pdf). Homeless Prevention Resource and Care Center Air Quality, Greenhouse Gas, and Energy Impact Study City of Fontana, CA References 66 Table 18: Construction Worker Fuel Consumption Estimates Phase Number of Days Worker Trips/Day Trip Length (miles) Vehicle Miles Traveled Average Vehicle Fuel Economy (mpg) Estimated Fuel Consumption (gallons) Site Preparation 20 10 18.5 3,700 30.95 120 Grading 20 15 18.5 5,550 30.95 179 Building Construction 230 108 18.5 459,540 30.95 14,848 Paving 20 15 18.5 5,550 30.95 179 Architectural Coating 20 21.6 18.5 7,992 30.95 258 Total Construction Worker Fuel Consumption 15,465 Notes: 1Assumptions for the worker trip length and vehicle miles traveled are consistent with CalEEMod 2022.1.1.13 defaults. 8.1.4 Construction Vendor/Hauling Fuel Estimates Tables 19 and 20 show the estimated fuel consumption for vendor and hauling during building construction and architectural coating. With respect to estimated VMT, the vendor and hauling trips would generate an estimated 38,556 VMT. For the architectural coatings it is assumed that the contractors would be responsible for bringing coatings and equipment with them in their light duty vehicles.24 Tables 19 and 20 show that an estimated 4,182 gallons of fuel would be consumed for vendor and hauling trips. Table 19: Construction Vendor Fuel Consumption Estimates (MHD Trucks)1 Phase Number of Days Vendor Trips/Day Trip Length (miles) Vehicle Miles Traveled Average Vehicle Fuel Economy (mpg) Estimated Fuel Consumption (gallons) Site Preparation 20 0 10.2 0 9.22 0 Grading 20 0 10.2 0 9.22 0 Building Construction 230 16 10.2 37,536 9.22 4,071 Paving 20 5 10.2 1,020 9.22 111 Architectural Coating 20 0 10.2 0 9.22 0 Total Vendor Fuel Consumption 4,182 Notes: 1 Assumptions for the vendor trip length and vehicle miles traveled are consistent with CalEEMod 2022.1.1.13 defaults. 24 Vendors delivering construction material or hauling debris from the site during grading would use medium to heavy duty vehicles with an average fuel consumption of 9.22 mpg for medium heavy-duty trucks and 6.74 mpg for heavy heavy-duty trucks (see Appendix B for details). Homeless Prevention Resource and Care Center Air Quality, Greenhouse Gas, and Energy Impact Study City of Fontana, CA References 67 Table 20: Construction Hauling Fuel Consumption Estimates (HHD Trucks)1 Phase Number of Days Hauling Trips/Day Trip Length (miles) Vehicle Miles Traveled Average Vehicle Fuel Economy (mpg) Estimated Fuel Consumption (gallons) Site Preparation 20 0.0 20 0 6.74 0 Grading 20 0.0 20 0 6.74 0 Building Construction 230 0 20 0 6.74 0 Paving 20 0 20 0 6.74 0 Architectural Coating 20 0 20 0 6.74 0 Total Construction Hauling Fuel Consumption 0 Notes: 1Assumptions for the hauling trip length and vehicle miles traveled are consistent with CalEEMod 2022.1.1.13 defaults. 8.1.5 Construction Energy Efficiency/Conservation Measures Construction equipment used over the approximately 15-month construction phase would conform to CARB regulations and California emissions standards and is evidence of related fuel efficiencies. In addition, the CARB Airborne Toxic Control Measure limits idling times of construction vehicles to no more than five minutes, thereby minimizing unnecessary and wasteful consumption of fuel due to unproductive idling of construction equipment. Furthermore, the Project has been designed in compliance with California’s Energy Efficiency Standards and 2019 CALGreen Standards. Construction of the proposed residential development would require the typical use of energy resources. There are no unusual Project characteristics or construction processes that would require the use of equipment that would be more energy intensive than is used for comparable activities; or equipment that would not conform to current emissions standards (and related fuel efficiencies). Equipment employed in construction of the Project would therefore not result in inefficient wasteful, or unnecessary consumption of fuel. 8.2 Operational Energy Demand Energy consumption in support of or related to Project operations would include transportation energy demands (energy consumed by employee and patron vehicles accessing the Project site) and facilities energy demands (energy consumed by building operations and site maintenance activities). 8.2.1 Transportation Fuel Consumption The largest source of operational energy use would be vehicle operation of customers. The site is located in a rural area. Using the CalEEMod output, it is assumed that an average trip for autos were assumed to be 16.6 miles, light trucks were assumed to travel an average of 6.9 miles, and 3- 4-axle trucks were Homeless Prevention Resource and Care Center Air Quality, Greenhouse Gas, and Energy Impact Study City of Fontana, CA References 68 assumed to travel an average of 8.4 miles25. To show a worst-case analysis, as the proposed Project is a residential project, it was assumed that vehicles would operate 365 days per year. Table 21 shows the worst-case estimated annual fuel consumption for all classes of vehicles from autos to heavy-heavy trucks.26 Table 21 shows that an estimated 64,539 gallons of fuel would be consumed per year for the operation of the proposed Project. Table 21: Estimated Vehicle Operations Fuel Consumption Vehicle Type Vehicle Mix Number of Vehicles Average Trip (miles)1 Daily VMT Average Fuel Economy (mpg) Total Gallons per Day Total Annual Fuel Consumption (gallons) Light Auto Automobile 218 16.6 3,614 31.82 113.58 41,456 Light Truck Automobile 23 6.9 156 27.16 5.74 2,094 Light Truck Automobile 70 6.9 480 25.6 18.75 6,842 Medium Truck Automobile 55 6.9 379 20.81 18.23 6,653 Light Heavy Truck 2-Axle Truck 11 8.4 89 13.81 6.44 2,352 Light Heavy Truck 10,000 lbs + 2-Axle Truck 3 8.4 24 14.18 1.69 619 Medium Heavy Truck 3-Axle Truck 5 8.4 40 9.58 4.12 1,506 Heavy Heavy Truck 4-Axle Truck 7 8.4 59 7.14 8.27 3,018 Total 390 -- 4,841 -- 176.82 -- Total Annual Fuel Consumption 64,539 Notes: '1 The trip generation assessment, the Project is to generate 390 total net new trips. Default CalEEMod vehicle fleet mix utilized. 1Based on the size of the site and relative location, trips were assumed to be local rather than regional. Trip generation generated by the proposed Project are consistent with other similar residential uses of similar scale and configuration as reflected in the trip generation analysis (LLG, 2023). That is, the proposed Project does not propose uses or operations that would inherently result in excessive and wasteful vehicle trips, nor associated excess and wasteful vehicle energy consumption. Therefore, Project transportation energy consumption would not be considered inefficient, wasteful, or otherwise unnecessary. 8.2.2 Facility Energy Demands (Electricity and Natural Gas) The annual natural gas and electricity demands were provided per the CalEEMod output and are provided in Table 22. 25 CalEEMod default distance for H-W (home-work) or C-W (commercial-work) is 16.6 miles; 6.9 miles for H-S (home-shop) or C-C (commercial-customer); and 8.4 miles for H-O (home-other) or C-O (commercial-other). 26 Average fuel economy based on aggregate mileage calculated in EMFAC 2017 for opening year (2023). See Appendix B for EMFAC output. Homeless Prevention Resource and Care Center Air Quality, Greenhouse Gas, and Energy Impact Study City of Fontana, CA References 69 Table 22: Project Unmitigated Annual Operational Energy Demand Summary1 Natural Gas Demand kBTU/year Congregate Care (Assisted Living) 1,655,577 Total 1,655,577 Electricity Demand kWh/year Congregate Care (Assisted Living) 647,424 Parking Lot 38,159 Total 685,583 Notes: 1Taken from the CalEEMod 2022.1.1.13 annual output. As shown in Table 22, the estimated electricity demand for the proposed Project is approximately 685,583 kWh per year. In 2021, the non-residential sector of the County of San Bernardino consumed approximately 10,381 million kWh of electricity.27 In addition, the estimated natural gas consumption for the proposed Project is approximately 1,655,577 kBTU per year. In 2021, the non-residential sector of the County of San Bernardino consumed approximately 305 million therms of gas.28 Therefore, the increase in both electricity and natural gas demand from the proposed Project is insignificant compared to the County’s 2021 demand. 8.3 Renewable Energy and Energy Efficiency Plan Consistency Regarding federal transportation regulations, the Project site is located in an already developed area. Access to/from the Project site is from existing roads. These roads are already in place so the Project would not interfere with, nor otherwise obstruct intermodal transportation plans or projects that may be proposed pursuant to the ISTEA because SCAG is not planning for intermodal facilities in the Project area. Regarding the State’s Energy Plan and compliance with Title 24 CCR energy efficiency standards, the applicant is required to comply with the California Green Building Standard Code requirements for energy efficient buildings and appliances as well as utility energy efficiency programs implemented by the SCE and Southern California Gas Company. Regarding the State’s Renewable Energy Portfolio Standards, the Project would be required to meet or exceed the energy standards established in the California Green Building Standards Code, Title 24, Part 11 (CALGreen). CalGreen Standards require that new buildings reduce water consumption, employ 27 California Energy Commission, Electricity Consumption by County. https://ecdms.energy.ca.gov/elecbycounty.aspx 28 California Energy Commission, Gas Consumption by County. http://ecdms.energy.ca.gov/gasbycounty.aspx Homeless Prevention Resource and Care Center Air Quality, Greenhouse Gas, and Energy Impact Study City of Fontana, CA References 70 building commissioning to increase building system efficiencies, divert construction waste from landfills, and install low pollutant-emitting finish materials. 8.4 Cumulative Regional Energy Impacts Cumulative projects include local development as well as general growth within the project area. However, as with most development, the greatest source of energy usage is from mobile sources, which travel well out of the local area. Therefore, from an energy standpoint, the cumulative analysis would extend beyond any local projects and when wind patterns are considered, would cover an even larger area. Accordingly, the cumulative analysis for the Project’s energy must be generic by nature. The greatest cumulative impact on the regional energy usage will be from increased traffic from residential, commercial, and industrial development and the use of heavy equipment and trucks associated with the construction of these projects. Energy usage will temporarily increase during construction activities that occur separately or simultaneously. However, as the Project’s natural gas and electricity usage will both be under 0.01% of the County of San Bernardino’s 2020 usage, the Project is considered less than significant. Homeless Prevention Resource and Care Center Air Quality, Greenhouse Gas, and Energy Impact Study City of Fontana, CA References 71 9.0 References The following references were used in the preparing this analysis. California Air Pollution Control Officers Association 2009 Health Risk Assessments for Proposed Land Use Projects California Air Resources Board 2008 Resolution 08-43 2008 Recommended Approaches for Setting Interim Significance Thresholds for Greenhouse Gases under the California Environmental Quality Act 2008 ARB Recommended Interim Risk Management Policy for Inhalation-Based Residential Cancer Risk – Frequently Asked Questions 2008 Climate Change Scoping Plan, a framework for change. 2011 Supplement to the AB 32 Scoping Plan Functional Equivalent Document 2013 Revised Emission Factors for Gasoline Marketing Operations at California Gasoline Dispensing Facilities 2014 First Update to the Climate Change Scoping Plan, Building on the Framework Pursuant to AB32, the California Global Warming Solutions Act of 2006. May. 2018 Historical Air Quality, Top 4 Summary City of Fontana 2018 City of Fontana General Plan Final Environmental Impact Report, August 10. County of San Bernardino 2007 County of San Bernardino 2007 General Plan, March 13 (amended April 24, 2014). 2011 County of San Bernardino Greenhouse Gas Emissions Reduction Plan. Governor’s Office of Planning and Research 2008 CEQA and Climate: Addressing Climate Change Through California Environmental Quality Act (CEQA) Review 2009 CEQA Guideline Sections to be Added or Amended Homeless Prevention Resource and Care Center Air Quality, Greenhouse Gas, and Energy Impact Study City of Fontana, CA References 72 Linscott Law & Greenspan Engineers (LLG) 2023 Traffic Impact and VMT Assessment for the Proposed Homelessness Prevention Resource and Care Center Project, City of Fontana. April 26. Office of Environmental Health Hazard Assessment 2015 Air Toxics Hot Spots Program Risk Assessment Guidelines South Coast Air Quality Management District 1993 CEQA Air Quality Handbook 2005 Rule 403 Fugitive Dust 2007 2007 Air Quality Management Plan 2008 Final Localized Significance Threshold Methodology, Revised 2011 Appendix A Calculation Details for CalEEMod 2012 Final 2012 Air Quality Management Plan 2016 Final 2016 Air Quality Management Plan Appendix A: CalEEMod Emission Output Homelessness Prevention Resource and Care Center Detailed Report, 6/13/2023 1 / 76 Homelessness Prevention Resource and Care Center Detailed Report Table of Contents 1. Basic Project Information 1.1. Basic Project Information 1.2. Land Use Types 1.3. User-Selected Emission Reduction Measures by Emissions Sector 2. Emissions Summary 2.1. Construction Emissions Compared Against Thresholds 2.2. Construction Emissions by Year, Unmitigated 2.3. Construction Emissions by Year, Mitigated 2.4. Operations Emissions Compared Against Thresholds 2.5. Operations Emissions by Sector, Unmitigated 2.6. Operations Emissions by Sector, Mitigated 3. Construction Emissions Details 3.1. Site Preparation (2024) - Unmitigated 3.2. Site Preparation (2024) - Mitigated Homelessness Prevention Resource and Care Center Detailed Report, 6/13/2023 2 / 76 3.3. Grading (2024) - Unmitigated 3.4. Grading (2024) - Mitigated 3.5. Building Construction (2024) - Unmitigated 3.6. Building Construction (2024) - Mitigated 3.7. Building Construction (2025) - Unmitigated 3.8. Building Construction (2025) - Mitigated 3.9. Paving (2025) - Unmitigated 3.10. Paving (2025) - Mitigated 3.11. Architectural Coating (2025) - Unmitigated 3.12. Architectural Coating (2025) - Mitigated 4. Operations Emissions Details 4.1. Mobile Emissions by Land Use 4.1.1. Unmitigated 4.1.2. Mitigated 4.2. Energy 4.2.1. Electricity Emissions By Land Use - Unmitigated 4.2.2. Electricity Emissions By Land Use - Mitigated Homelessness Prevention Resource and Care Center Detailed Report, 6/13/2023 3 / 76 4.2.3. Natural Gas Emissions By Land Use - Unmitigated 4.2.4. Natural Gas Emissions By Land Use - Mitigated 4.3. Area Emissions by Source 4.3.2. Unmitigated 4.3.1. Mitigated 4.4. Water Emissions by Land Use 4.4.2. Unmitigated 4.4.1. Mitigated 4.5. Waste Emissions by Land Use 4.5.2. Unmitigated 4.5.1. Mitigated 4.6. Refrigerant Emissions by Land Use 4.6.1. Unmitigated 4.6.2. Mitigated 4.7. Offroad Emissions By Equipment Type 4.7.1. Unmitigated 4.7.2. Mitigated Homelessness Prevention Resource and Care Center Detailed Report, 6/13/2023 4 / 76 4.8. Stationary Emissions By Equipment Type 4.8.1. Unmitigated 4.8.2. Mitigated 4.9. User Defined Emissions By Equipment Type 4.9.1. Unmitigated 4.9.2. Mitigated 4.10. Soil Carbon Accumulation By Vegetation Type 4.10.1. Soil Carbon Accumulation By Vegetation Type - Unmitigated 4.10.2. Above and Belowground Carbon Accumulation by Land Use Type - Unmitigated 4.10.3. Avoided and Sequestered Emissions by Species - Unmitigated 4.10.4. Soil Carbon Accumulation By Vegetation Type - Mitigated 4.10.5. Above and Belowground Carbon Accumulation by Land Use Type - Mitigated 4.10.6. Avoided and Sequestered Emissions by Species - Mitigated 5. Activity Data 5.1. Construction Schedule 5.2. Off-Road Equipment 5.2.1. Unmitigated Homelessness Prevention Resource and Care Center Detailed Report, 6/13/2023 5 / 76 5.2.2. Mitigated 5.3. Construction Vehicles 5.3.1. Unmitigated 5.3.2. Mitigated 5.4. Vehicles 5.4.1. Construction Vehicle Control Strategies 5.5. Architectural Coatings 5.6. Dust Mitigation 5.6.1. Construction Earthmoving Activities 5.6.2. Construction Earthmoving Control Strategies 5.7. Construction Paving 5.8. Construction Electricity Consumption and Emissions Factors 5.9. Operational Mobile Sources 5.9.1. Unmitigated 5.9.2. Mitigated 5.10. Operational Area Sources 5.10.1. Hearths Homelessness Prevention Resource and Care Center Detailed Report, 6/13/2023 6 / 76 5.10.1.1. Unmitigated 5.10.1.2. Mitigated 5.10.2. Architectural Coatings 5.10.3. Landscape Equipment 5.10.4. Landscape Equipment - Mitigated 5.11. Operational Energy Consumption 5.11.1. Unmitigated 5.11.2. Mitigated 5.12. Operational Water and Wastewater Consumption 5.12.1. Unmitigated 5.12.2. Mitigated 5.13. Operational Waste Generation 5.13.1. Unmitigated 5.13.2. Mitigated 5.14. Operational Refrigeration and Air Conditioning Equipment 5.14.1. Unmitigated 5.14.2. Mitigated Homelessness Prevention Resource and Care Center Detailed Report, 6/13/2023 7 / 76 5.15. Operational Off-Road Equipment 5.15.1. Unmitigated 5.15.2. Mitigated 5.16. Stationary Sources 5.16.1. Emergency Generators and Fire Pumps 5.16.2. Process Boilers 5.17. User Defined 5.18. Vegetation 5.18.1. Land Use Change 5.18.1.1. Unmitigated 5.18.1.2. Mitigated 5.18.1. Biomass Cover Type 5.18.1.1. Unmitigated 5.18.1.2. Mitigated 5.18.2. Sequestration 5.18.2.1. Unmitigated 5.18.2.2. Mitigated Homelessness Prevention Resource and Care Center Detailed Report, 6/13/2023 8 / 76 6. Climate Risk Detailed Report 6.1. Climate Risk Summary 6.2. Initial Climate Risk Scores 6.3. Adjusted Climate Risk Scores 6.4. Climate Risk Reduction Measures 7. Health and Equity Details 7.1. CalEnviroScreen 4.0 Scores 7.2. Healthy Places Index Scores 7.3. Overall Health & Equity Scores 7.4. Health & Equity Measures 7.5. Evaluation Scorecard 7.6. Health & Equity Custom Measures 8. User Changes to Default Data Homelessness Prevention Resource and Care Center Detailed Report, 6/13/2023 9 / 76 1. Basic Project Information 1.1. Basic Project Information Data Field Value Project Name Homelessness Prevention Resource and Care Center Construction Start Date 4/1/2024 Operational Year 2024 Lead Agency — Land Use Scale Project/site Analysis Level for Defaults County Windspeed (m/s)2.80 Precipitation (days)6.40 Location 34.09898307596133, -117.45653511402011 County San Bernardino-South Coast City Fontana Air District South Coast AQMD Air Basin South Coast TAZ 5307 EDFZ 10 Electric Utility Southern California Edison Gas Utility Southern California Gas App Version 2022.1.1.13 1.2. Land Use Types Land Use Subtype Size Unit Lot Acreage Building Area (sq ft)Landscape Area (sq ft) Special Landscape Area (sq ft) Population Description Homelessness Prevention Resource and Care Center Detailed Report, 6/13/2023 10 / 76 Congregate Care (Assisted Living) 150 Dwelling Unit 6.00 40,000 0.00 —496 — Parking Lot 65.0 Space 1.00 0.00 90,000 ——— 1.3. User-Selected Emission Reduction Measures by Emissions Sector Sector #Measure Title Construction C-10-A Water Exposed Surfaces Construction C-11 Limit Vehicle Speeds on Unpaved Roads 2. Emissions Summary 2.1. Construction Emissions Compared Against Thresholds Criteria Pollutants (lb/day for daily, ton/yr for annual) and GHGs (lb/day for daily, MT/yr for annual) Un/Mit.ROG NOx CO SO2 PM10E PM10D PM10T PM2.5E PM2.5D PM2.5T BCO2 NBCO2 CO2T CH4 N2O R CO2e Daily, Summer (Max) ————————————————— Unmit.13.4 23.2 22.6 0.03 1.03 13.2 14.3 0.95 6.77 7.71 —4,455 4,455 0.20 0.15 7.62 4,512 Mit.13.4 23.2 22.6 0.03 1.03 5.24 6.27 0.95 2.66 3.61 —4,455 4,455 0.20 0.15 7.62 4,512 % Reduced —————60%56%—61%53%——————— Daily, Winter (Max) ————————————————— Unmit.1.75 12.4 20.3 0.03 0.50 1.55 2.05 0.47 0.37 0.83 —4,326 4,326 0.20 0.15 0.20 4,375 Mit.1.75 12.4 20.3 0.03 0.50 1.55 2.05 0.47 0.37 0.83 —4,326 4,326 0.20 0.15 0.20 4,375 % Reduced ————————————————— Homelessness Prevention Resource and Care Center Detailed Report, 6/13/2023 11 / 76 —————————————————Average Daily (Max) Unmit.1.16 7.19 10.4 0.01 0.30 1.73 2.04 0.28 0.71 0.98 —2,081 2,081 0.10 0.06 1.33 2,103 Mit.1.16 7.19 10.4 0.01 0.30 1.06 1.36 0.28 0.37 0.64 —2,081 2,081 0.10 0.06 1.33 2,103 % Reduced —————39%33%—48%35%——————— Annual (Max) ————————————————— Unmit.0.21 1.31 1.90 < 0.005 0.06 0.32 0.37 0.05 0.13 0.18 —345 345 0.02 0.01 0.22 348 Mit.0.21 1.31 1.90 < 0.005 0.06 0.19 0.25 0.05 0.07 0.12 —345 345 0.02 0.01 0.22 348 % Reduced —————39%33%—48%35%——————— 2.2. Construction Emissions by Year, Unmitigated Criteria Pollutants (lb/day for daily, ton/yr for annual) and GHGs (lb/day for daily, MT/yr for annual) Year ROG NOx CO SO2 PM10E PM10D PM10T PM2.5E PM2.5D PM2.5T BCO2 NBCO2 CO2T CH4 N2O R CO2e Daily - Summer (Max) ————————————————— 2024 2.40 23.2 22.6 0.03 1.03 13.2 14.3 0.95 6.77 7.71 —4,455 4,455 0.20 0.15 7.62 4,512 2025 13.4 11.5 21.7 0.03 0.44 1.55 1.99 0.40 0.37 0.77 —4,414 4,414 0.20 0.15 7.04 4,470 Daily - Winter (Max) ————————————————— 2024 1.75 12.4 20.3 0.03 0.50 1.55 2.05 0.47 0.37 0.83 —4,326 4,326 0.20 0.15 0.20 4,375 2025 1.60 11.5 19.7 0.03 0.44 1.55 1.99 0.40 0.37 0.77 —4,288 4,288 0.20 0.15 0.18 4,337 Average Daily ————————————————— 2024 0.93 7.19 10.4 0.01 0.30 1.73 2.04 0.28 0.71 0.98 —2,081 2,081 0.10 0.06 1.33 2,103 2025 1.16 3.22 5.48 0.01 0.12 0.39 0.52 0.11 0.09 0.21 —1,145 1,145 0.05 0.04 0.78 1,158 Homelessness Prevention Resource and Care Center Detailed Report, 6/13/2023 12 / 76 Annual ————————————————— 2024 0.17 1.31 1.90 < 0.005 0.06 0.32 0.37 0.05 0.13 0.18 —345 345 0.02 0.01 0.22 348 2025 0.21 0.59 1.00 < 0.005 0.02 0.07 0.09 0.02 0.02 0.04 —190 190 0.01 0.01 0.13 192 2.3. Construction Emissions by Year, Mitigated Criteria Pollutants (lb/day for daily, ton/yr for annual) and GHGs (lb/day for daily, MT/yr for annual) Year ROG NOx CO SO2 PM10E PM10D PM10T PM2.5E PM2.5D PM2.5T BCO2 NBCO2 CO2T CH4 N2O R CO2e Daily - Summer (Max) ————————————————— 2024 2.40 23.2 22.6 0.03 1.03 5.24 6.27 0.95 2.66 3.61 —4,455 4,455 0.20 0.15 7.62 4,512 2025 13.4 11.5 21.7 0.03 0.44 1.55 1.99 0.40 0.37 0.77 —4,414 4,414 0.20 0.15 7.04 4,470 Daily - Winter (Max) ————————————————— 2024 1.75 12.4 20.3 0.03 0.50 1.55 2.05 0.47 0.37 0.83 —4,326 4,326 0.20 0.15 0.20 4,375 2025 1.60 11.5 19.7 0.03 0.44 1.55 1.99 0.40 0.37 0.77 —4,288 4,288 0.20 0.15 0.18 4,337 Average Daily ————————————————— 2024 0.93 7.19 10.4 0.01 0.30 1.06 1.36 0.28 0.37 0.64 —2,081 2,081 0.10 0.06 1.33 2,103 2025 1.16 3.22 5.48 0.01 0.12 0.39 0.52 0.11 0.09 0.21 —1,145 1,145 0.05 0.04 0.78 1,158 Annual ————————————————— 2024 0.17 1.31 1.90 < 0.005 0.06 0.19 0.25 0.05 0.07 0.12 —345 345 0.02 0.01 0.22 348 2025 0.21 0.59 1.00 < 0.005 0.02 0.07 0.09 0.02 0.02 0.04 —190 190 0.01 0.01 0.13 192 2.4. Operations Emissions Compared Against Thresholds Criteria Pollutants (lb/day for daily, ton/yr for annual) and GHGs (lb/day for daily, MT/yr for annual) Un/Mit.ROG NOx CO SO2 PM10E PM10D PM10T PM2.5E PM2.5D PM2.5T BCO2 NBCO2 CO2T CH4 N2O R CO2e Homelessness Prevention Resource and Care Center Detailed Report, 6/13/2023 13 / 76 —————————————————Daily, Summer (Max) Unmit.3.36 1.90 21.6 0.03 0.06 0.95 1.00 0.06 0.17 0.23 256 4,595 4,851 25.9 0.18 12.3 5,563 Daily, Winter (Max) ————————————————— Unmit.2.45 1.92 11.1 0.03 0.05 0.95 1.00 0.05 0.17 0.22 256 4,385 4,641 25.9 0.18 0.81 5,344 Average Daily (Max) ————————————————— Unmit.2.97 2.01 17.4 0.03 0.06 0.95 1.00 0.06 0.17 0.22 256 4,430 4,686 25.9 0.18 5.59 5,394 Annual (Max) ————————————————— Unmit.0.54 0.37 3.17 0.01 0.01 0.17 0.18 0.01 0.03 0.04 42.4 733 776 4.29 0.03 0.93 893 2.5. Operations Emissions by Sector, Unmitigated Criteria Pollutants (lb/day for daily, ton/yr for annual) and GHGs (lb/day for daily, MT/yr for annual) Sector ROG NOx CO SO2 PM10E PM10D PM10T PM2.5E PM2.5D PM2.5T BCO2 NBCO2 CO2T CH4 N2O R CO2e Daily, Summer (Max) ————————————————— Mobile 1.62 1.40 13.0 0.03 0.02 0.95 0.97 0.02 0.17 0.19 —2,969 2,969 0.15 0.14 11.8 3,026 Area 1.71 0.08 8.48 < 0.005 < 0.005 —< 0.005 < 0.005 —< 0.005 —22.8 22.8 < 0.005 < 0.005 —22.8 Energy 0.02 0.42 0.18 < 0.005 0.03 —0.03 0.03 —0.03 —1,530 1,530 0.11 0.01 —1,535 Water ——————————12.0 73.2 85.2 1.23 0.03 —125 Waste ——————————244 0.00 244 24.4 0.00 —854 Refrig.———————————————0.51 0.51 Total 3.36 1.90 21.6 0.03 0.06 0.95 1.00 0.06 0.17 0.23 256 4,595 4,851 25.9 0.18 12.3 5,563 Homelessness Prevention Resource and Care Center Detailed Report, 6/13/2023 14 / 76 —————————————————Daily, Winter (Max) Mobile 1.50 1.51 11.0 0.03 0.02 0.95 0.97 0.02 0.17 0.19 —2,782 2,782 0.16 0.14 0.31 2,829 Area 0.93 ———————————————— Energy 0.02 0.42 0.18 < 0.005 0.03 —0.03 0.03 —0.03 —1,530 1,530 0.11 0.01 —1,535 Water ——————————12.0 73.2 85.2 1.23 0.03 —125 Waste ——————————244 0.00 244 24.4 0.00 —854 Refrig.———————————————0.51 0.51 Total 2.45 1.92 11.1 0.03 0.05 0.95 1.00 0.05 0.17 0.22 256 4,385 4,641 25.9 0.18 0.81 5,344 Average Daily ————————————————— Mobile 1.48 1.53 11.4 0.03 0.02 0.95 0.97 0.02 0.17 0.19 —2,811 2,811 0.16 0.15 5.08 2,864 Area 1.46 0.06 5.81 < 0.005 < 0.005 —< 0.005 < 0.005 —< 0.005 —15.6 15.6 < 0.005 < 0.005 —15.6 Energy 0.02 0.42 0.18 < 0.005 0.03 —0.03 0.03 —0.03 —1,530 1,530 0.11 0.01 —1,535 Water ——————————12.0 73.2 85.2 1.23 0.03 —125 Waste ——————————244 0.00 244 24.4 0.00 —854 Refrig.———————————————0.51 0.51 Total 2.97 2.01 17.4 0.03 0.06 0.95 1.00 0.06 0.17 0.22 256 4,430 4,686 25.9 0.18 5.59 5,394 Annual ————————————————— Mobile 0.27 0.28 2.07 < 0.005 < 0.005 0.17 0.18 < 0.005 0.03 0.03 —465 465 0.03 0.02 0.84 474 Area 0.27 0.01 1.06 < 0.005 < 0.005 —< 0.005 < 0.005 —< 0.005 —2.58 2.58 < 0.005 < 0.005 —2.59 Energy < 0.005 0.08 0.03 < 0.005 0.01 —0.01 0.01 —0.01 —253 253 0.02 < 0.005 —254 Water ——————————1.98 12.1 14.1 0.20 < 0.005 —20.7 Waste ——————————40.4 0.00 40.4 4.04 0.00 —141 Refrig.———————————————0.08 0.08 Total 0.54 0.37 3.17 0.01 0.01 0.17 0.18 0.01 0.03 0.04 42.4 733 776 4.29 0.03 0.93 893 Homelessness Prevention Resource and Care Center Detailed Report, 6/13/2023 15 / 76 2.6. Operations Emissions by Sector, Mitigated Criteria Pollutants (lb/day for daily, ton/yr for annual) and GHGs (lb/day for daily, MT/yr for annual) Sector ROG NOx CO SO2 PM10E PM10D PM10T PM2.5E PM2.5D PM2.5T BCO2 NBCO2 CO2T CH4 N2O R CO2e Daily, Summer (Max) ————————————————— Mobile 1.62 1.40 13.0 0.03 0.02 0.95 0.97 0.02 0.17 0.19 —2,969 2,969 0.15 0.14 11.8 3,026 Area 1.71 0.08 8.48 < 0.005 < 0.005 —< 0.005 < 0.005 —< 0.005 —22.8 22.8 < 0.005 < 0.005 —22.8 Energy 0.02 0.42 0.18 < 0.005 0.03 —0.03 0.03 —0.03 —1,530 1,530 0.11 0.01 —1,535 Water ——————————12.0 73.2 85.2 1.23 0.03 —125 Waste ——————————244 0.00 244 24.4 0.00 —854 Refrig.———————————————0.51 0.51 Total 3.36 1.90 21.6 0.03 0.06 0.95 1.00 0.06 0.17 0.23 256 4,595 4,851 25.9 0.18 12.3 5,563 Daily, Winter (Max) ————————————————— Mobile 1.50 1.51 11.0 0.03 0.02 0.95 0.97 0.02 0.17 0.19 —2,782 2,782 0.16 0.14 0.31 2,829 Area 0.93 ———————————————— Energy 0.02 0.42 0.18 < 0.005 0.03 —0.03 0.03 —0.03 —1,530 1,530 0.11 0.01 —1,535 Water ——————————12.0 73.2 85.2 1.23 0.03 —125 Waste ——————————244 0.00 244 24.4 0.00 —854 Refrig.———————————————0.51 0.51 Total 2.45 1.92 11.1 0.03 0.05 0.95 1.00 0.05 0.17 0.22 256 4,385 4,641 25.9 0.18 0.81 5,344 Average Daily ————————————————— Mobile 1.48 1.53 11.4 0.03 0.02 0.95 0.97 0.02 0.17 0.19 —2,811 2,811 0.16 0.15 5.08 2,864 Area 1.46 0.06 5.81 < 0.005 < 0.005 —< 0.005 < 0.005 —< 0.005 —15.6 15.6 < 0.005 < 0.005 —15.6 Energy 0.02 0.42 0.18 < 0.005 0.03 —0.03 0.03 —0.03 —1,530 1,530 0.11 0.01 —1,535 Water ——————————12.0 73.2 85.2 1.23 0.03 —125 Homelessness Prevention Resource and Care Center Detailed Report, 6/13/2023 16 / 76 Waste ——————————244 0.00 244 24.4 0.00 —854 Refrig.———————————————0.51 0.51 Total 2.97 2.01 17.4 0.03 0.06 0.95 1.00 0.06 0.17 0.22 256 4,430 4,686 25.9 0.18 5.59 5,394 Annual ————————————————— Mobile 0.27 0.28 2.07 < 0.005 < 0.005 0.17 0.18 < 0.005 0.03 0.03 —465 465 0.03 0.02 0.84 474 Area 0.27 0.01 1.06 < 0.005 < 0.005 —< 0.005 < 0.005 —< 0.005 —2.58 2.58 < 0.005 < 0.005 —2.59 Energy < 0.005 0.08 0.03 < 0.005 0.01 —0.01 0.01 —0.01 —253 253 0.02 < 0.005 —254 Water ——————————1.98 12.1 14.1 0.20 < 0.005 —20.7 Waste ——————————40.4 0.00 40.4 4.04 0.00 —141 Refrig.———————————————0.08 0.08 Total 0.54 0.37 3.17 0.01 0.01 0.17 0.18 0.01 0.03 0.04 42.4 733 776 4.29 0.03 0.93 893 3. Construction Emissions Details 3.1. Site Preparation (2024) - Unmitigated Criteria Pollutants (lb/day for daily, ton/yr for annual) and GHGs (lb/day for daily, MT/yr for annual) Location ROG NOx CO SO2 PM10E PM10D PM10T PM2.5E PM2.5D PM2.5T BCO2 NBCO2 CO2T CH4 N2O R CO2e Onsite ————————————————— Daily, Summer (Max) ————————————————— Off-Road Equipment 2.35 23.2 20.7 0.03 1.03 —1.03 0.95 —0.95 —3,337 3,337 0.14 0.03 —3,348 Dust From Material Movement —————13.1 13.1 —6.73 6.73 ——————— Onsite truck 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 —0.00 0.00 0.00 0.00 0.00 0.00 Homelessness Prevention Resource and Care Center Detailed Report, 6/13/2023 17 / 76 —————————————————Daily, Winter (Max) Average Daily ————————————————— Off-Road Equipment 0.13 1.27 1.13 < 0.005 0.06 —0.06 0.05 —0.05 —183 183 0.01 < 0.005 —183 Dust From Material Movement —————0.72 0.72 —0.37 0.37 ——————— Onsite truck 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 —0.00 0.00 0.00 0.00 0.00 0.00 Annual ————————————————— Off-Road Equipment 0.02 0.23 0.21 < 0.005 0.01 —0.01 0.01 —0.01 —30.3 30.3 < 0.005 < 0.005 —30.4 Dust From Material Movement —————0.13 0.13 —0.07 0.07 ——————— Onsite truck 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 —0.00 0.00 0.00 0.00 0.00 0.00 Offsite ————————————————— Daily, Summer (Max) ————————————————— Worker 0.05 0.05 0.85 0.00 0.00 0.13 0.13 0.00 0.03 0.03 —144 144 0.01 < 0.005 0.58 146 Vendor 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 —0.00 0.00 0.00 0.00 0.00 0.00 Hauling 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 —0.00 0.00 0.00 0.00 0.00 0.00 Daily, Winter (Max) ————————————————— Average Daily ————————————————— Homelessness Prevention Resource and Care Center Detailed Report, 6/13/2023 18 / 76 Worker < 0.005 < 0.005 0.04 0.00 0.00 0.01 0.01 0.00 < 0.005 < 0.005 —7.33 7.33 < 0.005 < 0.005 0.01 7.44 Vendor 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 —0.00 0.00 0.00 0.00 0.00 0.00 Hauling 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 —0.00 0.00 0.00 0.00 0.00 0.00 Annual ————————————————— Worker < 0.005 < 0.005 0.01 0.00 0.00 < 0.005 < 0.005 0.00 < 0.005 < 0.005 —1.21 1.21 < 0.005 < 0.005 < 0.005 1.23 Vendor 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 —0.00 0.00 0.00 0.00 0.00 0.00 Hauling 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 —0.00 0.00 0.00 0.00 0.00 0.00 3.2. Site Preparation (2024) - Mitigated Criteria Pollutants (lb/day for daily, ton/yr for annual) and GHGs (lb/day for daily, MT/yr for annual) Location ROG NOx CO SO2 PM10E PM10D PM10T PM2.5E PM2.5D PM2.5T BCO2 NBCO2 CO2T CH4 N2O R CO2e Onsite ————————————————— Daily, Summer (Max) ————————————————— Off-Road Equipment 2.35 23.2 20.7 0.03 1.03 —1.03 0.95 —0.95 —3,337 3,337 0.14 0.03 —3,348 Dust From Material Movement —————5.11 5.11 —2.63 2.63 ——————— Onsite truck 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 —0.00 0.00 0.00 0.00 0.00 0.00 Daily, Winter (Max) ————————————————— Average Daily ————————————————— Off-Road Equipment 0.13 1.27 1.13 < 0.005 0.06 —0.06 0.05 —0.05 —183 183 0.01 < 0.005 —183 Homelessness Prevention Resource and Care Center Detailed Report, 6/13/2023 19 / 76 ———————0.140.14—0.280.28—————Dust From Material Movement Onsite truck 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 —0.00 0.00 0.00 0.00 0.00 0.00 Annual ————————————————— Off-Road Equipment 0.02 0.23 0.21 < 0.005 0.01 —0.01 0.01 —0.01 —30.3 30.3 < 0.005 < 0.005 —30.4 Dust From Material Movement —————0.05 0.05 —0.03 0.03 ——————— Onsite truck 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 —0.00 0.00 0.00 0.00 0.00 0.00 Offsite ————————————————— Daily, Summer (Max) ————————————————— Worker 0.05 0.05 0.85 0.00 0.00 0.13 0.13 0.00 0.03 0.03 —144 144 0.01 < 0.005 0.58 146 Vendor 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 —0.00 0.00 0.00 0.00 0.00 0.00 Hauling 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 —0.00 0.00 0.00 0.00 0.00 0.00 Daily, Winter (Max) ————————————————— Average Daily ————————————————— Worker < 0.005 < 0.005 0.04 0.00 0.00 0.01 0.01 0.00 < 0.005 < 0.005 —7.33 7.33 < 0.005 < 0.005 0.01 7.44 Vendor 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 —0.00 0.00 0.00 0.00 0.00 0.00 Hauling 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 —0.00 0.00 0.00 0.00 0.00 0.00 Annual ————————————————— Worker < 0.005 < 0.005 0.01 0.00 0.00 < 0.005 < 0.005 0.00 < 0.005 < 0.005 —1.21 1.21 < 0.005 < 0.005 < 0.005 1.23 Vendor 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 —0.00 0.00 0.00 0.00 0.00 0.00 Homelessness Prevention Resource and Care Center Detailed Report, 6/13/2023 20 / 76 Hauling 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 —0.00 0.00 0.00 0.00 0.00 0.00 3.3. Grading (2024) - Unmitigated Criteria Pollutants (lb/day for daily, ton/yr for annual) and GHGs (lb/day for daily, MT/yr for annual) Location ROG NOx CO SO2 PM10E PM10D PM10T PM2.5E PM2.5D PM2.5T BCO2 NBCO2 CO2T CH4 N2O R CO2e Onsite ————————————————— Daily, Summer (Max) ————————————————— Off-Road Equipment 1.90 18.2 18.8 0.03 0.84 —0.84 0.77 —0.77 —2,958 2,958 0.12 0.02 —2,969 Dust From Material Movement —————7.08 7.08 —3.42 3.42 ——————— Onsite truck 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 —0.00 0.00 0.00 0.00 0.00 0.00 Daily, Winter (Max) ————————————————— Average Daily ————————————————— Off-Road Equipment 0.10 1.00 1.03 < 0.005 0.05 —0.05 0.04 —0.04 —162 162 0.01 < 0.005 —163 Dust From Material Movement —————0.39 0.39 —0.19 0.19 ——————— Onsite truck 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 —0.00 0.00 0.00 0.00 0.00 0.00 Annual ————————————————— Off-Road Equipment 0.02 0.18 0.19 < 0.005 0.01 —0.01 0.01 —0.01 —26.8 26.8 < 0.005 < 0.005 —26.9 Homelessness Prevention Resource and Care Center Detailed Report, 6/13/2023 21 / 76 Dust From Material Movement —————0.07 0.07 —0.03 0.03 ——————— Onsite truck 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 —0.00 0.00 0.00 0.00 0.00 0.00 Offsite ————————————————— Daily, Summer (Max) ————————————————— Worker 0.08 0.07 1.27 0.00 0.00 0.20 0.20 0.00 0.05 0.05 —216 216 0.01 0.01 0.86 219 Vendor 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 —0.00 0.00 0.00 0.00 0.00 0.00 Hauling 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 —0.00 0.00 0.00 0.00 0.00 0.00 Daily, Winter (Max) ————————————————— Average Daily ————————————————— Worker < 0.005 < 0.005 0.06 0.00 0.00 0.01 0.01 0.00 < 0.005 < 0.005 —11.0 11.0 < 0.005 < 0.005 0.02 11.2 Vendor 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 —0.00 0.00 0.00 0.00 0.00 0.00 Hauling 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 —0.00 0.00 0.00 0.00 0.00 0.00 Annual ————————————————— Worker < 0.005 < 0.005 0.01 0.00 0.00 < 0.005 < 0.005 0.00 < 0.005 < 0.005 —1.82 1.82 < 0.005 < 0.005 < 0.005 1.85 Vendor 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 —0.00 0.00 0.00 0.00 0.00 0.00 Hauling 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 —0.00 0.00 0.00 0.00 0.00 0.00 3.4. Grading (2024) - Mitigated Criteria Pollutants (lb/day for daily, ton/yr for annual) and GHGs (lb/day for daily, MT/yr for annual) Location ROG NOx CO SO2 PM10E PM10D PM10T PM2.5E PM2.5D PM2.5T BCO2 NBCO2 CO2T CH4 N2O R CO2e Onsite ————————————————— Homelessness Prevention Resource and Care Center Detailed Report, 6/13/2023 22 / 76 Daily, Summer (Max) ————————————————— Off-Road Equipment 1.90 18.2 18.8 0.03 0.84 —0.84 0.77 —0.77 —2,958 2,958 0.12 0.02 —2,969 Dust From Material Movement —————2.76 2.76 —1.34 1.34 ——————— Onsite truck 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 —0.00 0.00 0.00 0.00 0.00 0.00 Daily, Winter (Max) ————————————————— Average Daily ————————————————— Off-Road Equipment 0.10 1.00 1.03 < 0.005 0.05 —0.05 0.04 —0.04 —162 162 0.01 < 0.005 —163 Dust From Material Movement —————0.15 0.15 —0.07 0.07 ——————— Onsite truck 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 —0.00 0.00 0.00 0.00 0.00 0.00 Annual ————————————————— Off-Road Equipment 0.02 0.18 0.19 < 0.005 0.01 —0.01 0.01 —0.01 —26.8 26.8 < 0.005 < 0.005 —26.9 Dust From Material Movement —————0.03 0.03 —0.01 0.01 ——————— Onsite truck 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 —0.00 0.00 0.00 0.00 0.00 0.00 Offsite ————————————————— Homelessness Prevention Resource and Care Center Detailed Report, 6/13/2023 23 / 76 —————————————————Daily, Summer (Max) Worker 0.08 0.07 1.27 0.00 0.00 0.20 0.20 0.00 0.05 0.05 —216 216 0.01 0.01 0.86 219 Vendor 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 —0.00 0.00 0.00 0.00 0.00 0.00 Hauling 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 —0.00 0.00 0.00 0.00 0.00 0.00 Daily, Winter (Max) ————————————————— Average Daily ————————————————— Worker < 0.005 < 0.005 0.06 0.00 0.00 0.01 0.01 0.00 < 0.005 < 0.005 —11.0 11.0 < 0.005 < 0.005 0.02 11.2 Vendor 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 —0.00 0.00 0.00 0.00 0.00 0.00 Hauling 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 —0.00 0.00 0.00 0.00 0.00 0.00 Annual ————————————————— Worker < 0.005 < 0.005 0.01 0.00 0.00 < 0.005 < 0.005 0.00 < 0.005 < 0.005 —1.82 1.82 < 0.005 < 0.005 < 0.005 1.85 Vendor 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 —0.00 0.00 0.00 0.00 0.00 0.00 Hauling 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 —0.00 0.00 0.00 0.00 0.00 0.00 3.5. Building Construction (2024) - Unmitigated Criteria Pollutants (lb/day for daily, ton/yr for annual) and GHGs (lb/day for daily, MT/yr for annual) Location ROG NOx CO SO2 PM10E PM10D PM10T PM2.5E PM2.5D PM2.5T BCO2 NBCO2 CO2T CH4 N2O R CO2e Onsite ————————————————— Daily, Summer (Max) ————————————————— Off-Road Equipment 1.20 11.2 13.1 0.02 0.50 —0.50 0.46 —0.46 —2,398 2,398 0.10 0.02 —2,406 Onsite truck 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 —0.00 0.00 0.00 0.00 0.00 0.00 Homelessness Prevention Resource and Care Center Detailed Report, 6/13/2023 24 / 76 Daily, Winter (Max) ————————————————— Off-Road Equipment 1.20 11.2 13.1 0.02 0.50 —0.50 0.46 —0.46 —2,398 2,398 0.10 0.02 —2,406 Onsite truck 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 —0.00 0.00 0.00 0.00 0.00 0.00 Average Daily ————————————————— Off-Road Equipment 0.48 4.44 5.18 0.01 0.20 —0.20 0.18 —0.18 —948 948 0.04 0.01 —951 Onsite truck 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 —0.00 0.00 0.00 0.00 0.00 0.00 Annual ————————————————— Off-Road Equipment 0.09 0.81 0.95 < 0.005 0.04 —0.04 0.03 —0.03 —157 157 0.01 < 0.005 —157 Onsite truck 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 —0.00 0.00 0.00 0.00 0.00 0.00 Offsite ————————————————— Daily, Summer (Max) ————————————————— Worker 0.57 0.52 9.14 0.00 0.00 1.41 1.41 0.00 0.33 0.33 —1,555 1,555 0.07 0.05 6.22 1,579 Vendor 0.01 0.58 0.31 < 0.005 0.01 0.14 0.14 0.01 0.04 0.05 —503 503 0.04 0.07 1.40 527 Hauling 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 —0.00 0.00 0.00 0.00 0.00 0.00 Daily, Winter (Max) ————————————————— Worker 0.53 0.62 6.90 0.00 0.00 1.41 1.41 0.00 0.33 0.33 —1,425 1,425 0.07 0.05 0.16 1,443 Vendor 0.01 0.60 0.31 < 0.005 0.01 0.14 0.14 0.01 0.04 0.05 —503 503 0.04 0.07 0.04 526 Hauling 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 —0.00 0.00 0.00 0.00 0.00 0.00 Average Daily ————————————————— Homelessness Prevention Resource and Care Center Detailed Report, 6/13/2023 25 / 76 Worker 0.21 0.24 2.87 0.00 0.00 0.56 0.56 0.00 0.13 0.13 —571 571 0.03 0.02 1.06 579 Vendor 0.01 0.24 0.12 < 0.005 < 0.005 0.05 0.06 < 0.005 0.01 0.02 —199 199 0.02 0.03 0.24 208 Hauling 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 —0.00 0.00 0.00 0.00 0.00 0.00 Annual ————————————————— Worker 0.04 0.04 0.52 0.00 0.00 0.10 0.10 0.00 0.02 0.02 —94.6 94.6 < 0.005 < 0.005 0.18 95.9 Vendor < 0.005 0.04 0.02 < 0.005 < 0.005 0.01 0.01 < 0.005 < 0.005 < 0.005 —32.9 32.9 < 0.005 < 0.005 0.04 34.5 Hauling 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 —0.00 0.00 0.00 0.00 0.00 0.00 3.6. Building Construction (2024) - Mitigated Criteria Pollutants (lb/day for daily, ton/yr for annual) and GHGs (lb/day for daily, MT/yr for annual) Location ROG NOx CO SO2 PM10E PM10D PM10T PM2.5E PM2.5D PM2.5T BCO2 NBCO2 CO2T CH4 N2O R CO2e Onsite ————————————————— Daily, Summer (Max) ————————————————— Off-Road Equipment 1.20 11.2 13.1 0.02 0.50 —0.50 0.46 —0.46 —2,398 2,398 0.10 0.02 —2,406 Onsite truck 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 —0.00 0.00 0.00 0.00 0.00 0.00 Daily, Winter (Max) ————————————————— Off-Road Equipment 1.20 11.2 13.1 0.02 0.50 —0.50 0.46 —0.46 —2,398 2,398 0.10 0.02 —2,406 Onsite truck 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 —0.00 0.00 0.00 0.00 0.00 0.00 Average Daily ————————————————— Off-Road Equipment 0.48 4.44 5.18 0.01 0.20 —0.20 0.18 —0.18 —948 948 0.04 0.01 —951 Homelessness Prevention Resource and Care Center Detailed Report, 6/13/2023 26 / 76 0.000.000.000.000.000.00—0.000.000.000.000.000.000.000.000.000.00Onsite truck Annual ————————————————— Off-Road Equipment 0.09 0.81 0.95 < 0.005 0.04 —0.04 0.03 —0.03 —157 157 0.01 < 0.005 —157 Onsite truck 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 —0.00 0.00 0.00 0.00 0.00 0.00 Offsite ————————————————— Daily, Summer (Max) ————————————————— Worker 0.57 0.52 9.14 0.00 0.00 1.41 1.41 0.00 0.33 0.33 —1,555 1,555 0.07 0.05 6.22 1,579 Vendor 0.01 0.58 0.31 < 0.005 0.01 0.14 0.14 0.01 0.04 0.05 —503 503 0.04 0.07 1.40 527 Hauling 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 —0.00 0.00 0.00 0.00 0.00 0.00 Daily, Winter (Max) ————————————————— Worker 0.53 0.62 6.90 0.00 0.00 1.41 1.41 0.00 0.33 0.33 —1,425 1,425 0.07 0.05 0.16 1,443 Vendor 0.01 0.60 0.31 < 0.005 0.01 0.14 0.14 0.01 0.04 0.05 —503 503 0.04 0.07 0.04 526 Hauling 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 —0.00 0.00 0.00 0.00 0.00 0.00 Average Daily ————————————————— Worker 0.21 0.24 2.87 0.00 0.00 0.56 0.56 0.00 0.13 0.13 —571 571 0.03 0.02 1.06 579 Vendor 0.01 0.24 0.12 < 0.005 < 0.005 0.05 0.06 < 0.005 0.01 0.02 —199 199 0.02 0.03 0.24 208 Hauling 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 —0.00 0.00 0.00 0.00 0.00 0.00 Annual ————————————————— Worker 0.04 0.04 0.52 0.00 0.00 0.10 0.10 0.00 0.02 0.02 —94.6 94.6 < 0.005 < 0.005 0.18 95.9 Vendor < 0.005 0.04 0.02 < 0.005 < 0.005 0.01 0.01 < 0.005 < 0.005 < 0.005 —32.9 32.9 < 0.005 < 0.005 0.04 34.5 Hauling 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 —0.00 0.00 0.00 0.00 0.00 0.00 Homelessness Prevention Resource and Care Center Detailed Report, 6/13/2023 27 / 76 3.7. Building Construction (2025) - Unmitigated Criteria Pollutants (lb/day for daily, ton/yr for annual) and GHGs (lb/day for daily, MT/yr for annual) Location ROG NOx CO SO2 PM10E PM10D PM10T PM2.5E PM2.5D PM2.5T BCO2 NBCO2 CO2T CH4 N2O R CO2e Onsite ————————————————— Daily, Summer (Max) ————————————————— Off-Road Equipment 1.13 10.4 13.0 0.02 0.43 —0.43 0.40 —0.40 —2,398 2,398 0.10 0.02 —2,406 Onsite truck 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 —0.00 0.00 0.00 0.00 0.00 0.00 Daily, Winter (Max) ————————————————— Off-Road Equipment 1.13 10.4 13.0 0.02 0.43 —0.43 0.40 —0.40 —2,398 2,398 0.10 0.02 —2,406 Onsite truck 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 —0.00 0.00 0.00 0.00 0.00 0.00 Average Daily ————————————————— Off-Road Equipment 0.27 2.47 3.09 0.01 0.10 —0.10 0.09 —0.09 —568 568 0.02 < 0.005 —570 Onsite truck 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 —0.00 0.00 0.00 0.00 0.00 0.00 Annual ————————————————— Off-Road Equipment 0.05 0.45 0.56 < 0.005 0.02 —0.02 0.02 —0.02 —94.0 94.0 < 0.005 < 0.005 —94.3 Onsite truck 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 —0.00 0.00 0.00 0.00 0.00 0.00 Offsite ————————————————— Homelessness Prevention Resource and Care Center Detailed Report, 6/13/2023 28 / 76 —————————————————Daily, Summer (Max) Worker 0.50 0.48 8.41 0.00 0.00 1.41 1.41 0.00 0.33 0.33 —1,522 1,522 0.06 0.05 5.64 1,545 Vendor 0.01 0.55 0.30 < 0.005 0.01 0.14 0.14 0.01 0.04 0.05 —495 495 0.04 0.07 1.39 519 Hauling 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 —0.00 0.00 0.00 0.00 0.00 0.00 Daily, Winter (Max) ————————————————— Worker 0.46 0.52 6.34 0.00 0.00 1.41 1.41 0.00 0.33 0.33 —1,395 1,395 0.07 0.05 0.15 1,413 Vendor 0.01 0.57 0.30 < 0.005 0.01 0.14 0.14 0.01 0.04 0.05 —495 495 0.04 0.07 0.04 518 Hauling 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 —0.00 0.00 0.00 0.00 0.00 0.00 Average Daily ————————————————— Worker 0.11 0.13 1.58 0.00 0.00 0.33 0.33 0.00 0.08 0.08 —335 335 0.02 0.01 0.58 340 Vendor < 0.005 0.14 0.07 < 0.005 < 0.005 0.03 0.03 < 0.005 0.01 0.01 —117 117 0.01 0.02 0.14 123 Hauling 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 —0.00 0.00 0.00 0.00 0.00 0.00 Annual ————————————————— Worker 0.02 0.02 0.29 0.00 0.00 0.06 0.06 0.00 0.01 0.01 —55.5 55.5 < 0.005 < 0.005 0.10 56.3 Vendor < 0.005 0.02 0.01 < 0.005 < 0.005 0.01 0.01 < 0.005 < 0.005 < 0.005 —19.4 19.4 < 0.005 < 0.005 0.02 20.3 Hauling 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 —0.00 0.00 0.00 0.00 0.00 0.00 3.8. Building Construction (2025) - Mitigated Criteria Pollutants (lb/day for daily, ton/yr for annual) and GHGs (lb/day for daily, MT/yr for annual) Location ROG NOx CO SO2 PM10E PM10D PM10T PM2.5E PM2.5D PM2.5T BCO2 NBCO2 CO2T CH4 N2O R CO2e Onsite ————————————————— Daily, Summer (Max) ————————————————— Homelessness Prevention Resource and Care Center Detailed Report, 6/13/2023 29 / 76 2,406—0.020.102,3982,398—0.40—0.400.43—0.430.0213.010.41.13Off-Road Equipment Onsite truck 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 —0.00 0.00 0.00 0.00 0.00 0.00 Daily, Winter (Max) ————————————————— Off-Road Equipment 1.13 10.4 13.0 0.02 0.43 —0.43 0.40 —0.40 —2,398 2,398 0.10 0.02 —2,406 Onsite truck 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 —0.00 0.00 0.00 0.00 0.00 0.00 Average Daily ————————————————— Off-Road Equipment 0.27 2.47 3.09 0.01 0.10 —0.10 0.09 —0.09 —568 568 0.02 < 0.005 —570 Onsite truck 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 —0.00 0.00 0.00 0.00 0.00 0.00 Annual ————————————————— Off-Road Equipment 0.05 0.45 0.56 < 0.005 0.02 —0.02 0.02 —0.02 —94.0 94.0 < 0.005 < 0.005 —94.3 Onsite truck 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 —0.00 0.00 0.00 0.00 0.00 0.00 Offsite ————————————————— Daily, Summer (Max) ————————————————— Worker 0.50 0.48 8.41 0.00 0.00 1.41 1.41 0.00 0.33 0.33 —1,522 1,522 0.06 0.05 5.64 1,545 Vendor 0.01 0.55 0.30 < 0.005 0.01 0.14 0.14 0.01 0.04 0.05 —495 495 0.04 0.07 1.39 519 Hauling 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 —0.00 0.00 0.00 0.00 0.00 0.00 Daily, Winter (Max) ————————————————— Worker 0.46 0.52 6.34 0.00 0.00 1.41 1.41 0.00 0.33 0.33 —1,395 1,395 0.07 0.05 0.15 1,413 Homelessness Prevention Resource and Care Center Detailed Report, 6/13/2023 30 / 76 Vendor 0.01 0.57 0.30 < 0.005 0.01 0.14 0.14 0.01 0.04 0.05 —495 495 0.04 0.07 0.04 518 Hauling 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 —0.00 0.00 0.00 0.00 0.00 0.00 Average Daily ————————————————— Worker 0.11 0.13 1.58 0.00 0.00 0.33 0.33 0.00 0.08 0.08 —335 335 0.02 0.01 0.58 340 Vendor < 0.005 0.14 0.07 < 0.005 < 0.005 0.03 0.03 < 0.005 0.01 0.01 —117 117 0.01 0.02 0.14 123 Hauling 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 —0.00 0.00 0.00 0.00 0.00 0.00 Annual ————————————————— Worker 0.02 0.02 0.29 0.00 0.00 0.06 0.06 0.00 0.01 0.01 —55.5 55.5 < 0.005 < 0.005 0.10 56.3 Vendor < 0.005 0.02 0.01 < 0.005 < 0.005 0.01 0.01 < 0.005 < 0.005 < 0.005 —19.4 19.4 < 0.005 < 0.005 0.02 20.3 Hauling 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 —0.00 0.00 0.00 0.00 0.00 0.00 3.9. Paving (2025) - Unmitigated Criteria Pollutants (lb/day for daily, ton/yr for annual) and GHGs (lb/day for daily, MT/yr for annual) Location ROG NOx CO SO2 PM10E PM10D PM10T PM2.5E PM2.5D PM2.5T BCO2 NBCO2 CO2T CH4 N2O R CO2e Onsite ————————————————— Daily, Summer (Max) ————————————————— Off-Road Equipment 0.80 7.45 9.98 0.01 0.35 —0.35 0.32 —0.32 —1,511 1,511 0.06 0.01 —1,517 Paving 0.13 ———————————————— Onsite truck 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 —0.00 0.00 0.00 0.00 0.00 0.00 Daily, Winter (Max) ————————————————— Average Daily ————————————————— Homelessness Prevention Resource and Care Center Detailed Report, 6/13/2023 31 / 76 83.1—< 0.005< 0.00582.882.8—0.02—0.020.02—0.02< 0.0050.550.410.04Off-Road Equipment Paving 0.01 ———————————————— Onsite truck 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 —0.00 0.00 0.00 0.00 0.00 0.00 Annual ————————————————— Off-Road Equipment 0.01 0.07 0.10 < 0.005 < 0.005 —< 0.005 < 0.005 —< 0.005 —13.7 13.7 < 0.005 < 0.005 —13.8 Paving < 0.005 ———————————————— Onsite truck 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 —0.00 0.00 0.00 0.00 0.00 0.00 Offsite ————————————————— Daily, Summer (Max) ————————————————— Worker 0.07 0.07 1.17 0.00 0.00 0.20 0.20 0.00 0.05 0.05 —211 211 0.01 0.01 0.78 215 Vendor < 0.005 0.17 0.09 < 0.005 < 0.005 0.04 0.05 < 0.005 0.01 0.01 —154 154 0.01 0.02 0.43 162 Hauling 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 —0.00 0.00 0.00 0.00 0.00 0.00 Daily, Winter (Max) ————————————————— Average Daily ————————————————— Worker < 0.005 < 0.005 0.05 0.00 0.00 0.01 0.01 0.00 < 0.005 < 0.005 —10.8 10.8 < 0.005 < 0.005 0.02 10.9 Vendor < 0.005 0.01 0.01 < 0.005 < 0.005 < 0.005 < 0.005 < 0.005 < 0.005 < 0.005 —8.45 8.45 < 0.005 < 0.005 0.01 8.86 Hauling 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 —0.00 0.00 0.00 0.00 0.00 0.00 Annual ————————————————— Worker < 0.005 < 0.005 0.01 0.00 0.00 < 0.005 < 0.005 0.00 < 0.005 < 0.005 —1.78 1.78 < 0.005 < 0.005 < 0.005 1.81 Vendor < 0.005 < 0.005 < 0.005 < 0.005 < 0.005 < 0.005 < 0.005 < 0.005 < 0.005 < 0.005 —1.40 1.40 < 0.005 < 0.005 < 0.005 1.47 Hauling 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 —0.00 0.00 0.00 0.00 0.00 0.00 Homelessness Prevention Resource and Care Center Detailed Report, 6/13/2023 32 / 76 3.10. Paving (2025) - Mitigated Criteria Pollutants (lb/day for daily, ton/yr for annual) and GHGs (lb/day for daily, MT/yr for annual) Location ROG NOx CO SO2 PM10E PM10D PM10T PM2.5E PM2.5D PM2.5T BCO2 NBCO2 CO2T CH4 N2O R CO2e Onsite ————————————————— Daily, Summer (Max) ————————————————— Off-Road Equipment 0.80 7.45 9.98 0.01 0.35 —0.35 0.32 —0.32 —1,511 1,511 0.06 0.01 —1,517 Paving 0.13 ———————————————— Onsite truck 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 —0.00 0.00 0.00 0.00 0.00 0.00 Daily, Winter (Max) ————————————————— Average Daily ————————————————— Off-Road Equipment 0.04 0.41 0.55 < 0.005 0.02 —0.02 0.02 —0.02 —82.8 82.8 < 0.005 < 0.005 —83.1 Paving 0.01 ———————————————— Onsite truck 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 —0.00 0.00 0.00 0.00 0.00 0.00 Annual ————————————————— Off-Road Equipment 0.01 0.07 0.10 < 0.005 < 0.005 —< 0.005 < 0.005 —< 0.005 —13.7 13.7 < 0.005 < 0.005 —13.8 Paving < 0.005 ———————————————— Onsite truck 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 —0.00 0.00 0.00 0.00 0.00 0.00 Offsite ————————————————— Daily, Summer (Max) ————————————————— Homelessness Prevention Resource and Care Center Detailed Report, 6/13/2023 33 / 76 Worker 0.07 0.07 1.17 0.00 0.00 0.20 0.20 0.00 0.05 0.05 —211 211 0.01 0.01 0.78 215 Vendor < 0.005 0.17 0.09 < 0.005 < 0.005 0.04 0.05 < 0.005 0.01 0.01 —154 154 0.01 0.02 0.43 162 Hauling 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 —0.00 0.00 0.00 0.00 0.00 0.00 Daily, Winter (Max) ————————————————— Average Daily ————————————————— Worker < 0.005 < 0.005 0.05 0.00 0.00 0.01 0.01 0.00 < 0.005 < 0.005 —10.8 10.8 < 0.005 < 0.005 0.02 10.9 Vendor < 0.005 0.01 0.01 < 0.005 < 0.005 < 0.005 < 0.005 < 0.005 < 0.005 < 0.005 —8.45 8.45 < 0.005 < 0.005 0.01 8.86 Hauling 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 —0.00 0.00 0.00 0.00 0.00 0.00 Annual ————————————————— Worker < 0.005 < 0.005 0.01 0.00 0.00 < 0.005 < 0.005 0.00 < 0.005 < 0.005 —1.78 1.78 < 0.005 < 0.005 < 0.005 1.81 Vendor < 0.005 < 0.005 < 0.005 < 0.005 < 0.005 < 0.005 < 0.005 < 0.005 < 0.005 < 0.005 —1.40 1.40 < 0.005 < 0.005 < 0.005 1.47 Hauling 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 —0.00 0.00 0.00 0.00 0.00 0.00 3.11. Architectural Coating (2025) - Unmitigated Criteria Pollutants (lb/day for daily, ton/yr for annual) and GHGs (lb/day for daily, MT/yr for annual) Location ROG NOx CO SO2 PM10E PM10D PM10T PM2.5E PM2.5D PM2.5T BCO2 NBCO2 CO2T CH4 N2O R CO2e Onsite ————————————————— Daily, Summer (Max) ————————————————— Off-Road Equipment 0.13 0.88 1.14 < 0.005 0.03 —0.03 0.03 —0.03 —134 134 0.01 < 0.005 —134 Architectu ral Coatings 13.1 ———————————————— Onsite truck 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 —0.00 0.00 0.00 0.00 0.00 0.00 Homelessness Prevention Resource and Care Center Detailed Report, 6/13/2023 34 / 76 Daily, Winter (Max) ————————————————— Average Daily ————————————————— Off-Road Equipment 0.01 0.05 0.06 < 0.005 < 0.005 —< 0.005 < 0.005 —< 0.005 —7.32 7.32 < 0.005 < 0.005 —7.34 Architectu ral Coatings 0.72 ———————————————— Onsite truck 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 —0.00 0.00 0.00 0.00 0.00 0.00 Annual ————————————————— Off-Road Equipment < 0.005 0.01 0.01 < 0.005 < 0.005 —< 0.005 < 0.005 —< 0.005 —1.21 1.21 < 0.005 < 0.005 —1.22 Architectu ral Coatings 0.13 ———————————————— Onsite truck 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 —0.00 0.00 0.00 0.00 0.00 0.00 Offsite ————————————————— Daily, Summer (Max) ————————————————— Worker 0.10 0.10 1.68 0.00 0.00 0.28 0.28 0.00 0.07 0.07 —304 304 0.01 0.01 1.13 309 Vendor 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 —0.00 0.00 0.00 0.00 0.00 0.00 Hauling 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 —0.00 0.00 0.00 0.00 0.00 0.00 Daily, Winter (Max) ————————————————— Average Daily ————————————————— Worker 0.01 0.01 0.07 0.00 0.00 0.02 0.02 0.00 < 0.005 < 0.005 —15.5 15.5 < 0.005 < 0.005 0.03 15.7 Homelessness Prevention Resource and Care Center Detailed Report, 6/13/2023 35 / 76 Vendor 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 —0.00 0.00 0.00 0.00 0.00 0.00 Hauling 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 —0.00 0.00 0.00 0.00 0.00 0.00 Annual ————————————————— Worker < 0.005 < 0.005 0.01 0.00 0.00 < 0.005 < 0.005 0.00 < 0.005 < 0.005 —2.57 2.57 < 0.005 < 0.005 < 0.005 2.60 Vendor 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 —0.00 0.00 0.00 0.00 0.00 0.00 Hauling 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 —0.00 0.00 0.00 0.00 0.00 0.00 3.12. Architectural Coating (2025) - Mitigated Criteria Pollutants (lb/day for daily, ton/yr for annual) and GHGs (lb/day for daily, MT/yr for annual) Location ROG NOx CO SO2 PM10E PM10D PM10T PM2.5E PM2.5D PM2.5T BCO2 NBCO2 CO2T CH4 N2O R CO2e Onsite ————————————————— Daily, Summer (Max) ————————————————— Off-Road Equipment 0.13 0.88 1.14 < 0.005 0.03 —0.03 0.03 —0.03 —134 134 0.01 < 0.005 —134 Architectu ral Coatings 13.1 ———————————————— Onsite truck 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 —0.00 0.00 0.00 0.00 0.00 0.00 Daily, Winter (Max) ————————————————— Average Daily ————————————————— Off-Road Equipment 0.01 0.05 0.06 < 0.005 < 0.005 —< 0.005 < 0.005 —< 0.005 —7.32 7.32 < 0.005 < 0.005 —7.34 Architectu ral Coatings 0.72 ———————————————— Homelessness Prevention Resource and Care Center Detailed Report, 6/13/2023 36 / 76 0.000.000.000.000.000.00—0.000.000.000.000.000.000.000.000.000.00Onsite truck Annual ————————————————— Off-Road Equipment < 0.005 0.01 0.01 < 0.005 < 0.005 —< 0.005 < 0.005 —< 0.005 —1.21 1.21 < 0.005 < 0.005 —1.22 Architectu ral Coatings 0.13 ———————————————— Onsite truck 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 —0.00 0.00 0.00 0.00 0.00 0.00 Offsite ————————————————— Daily, Summer (Max) ————————————————— Worker 0.10 0.10 1.68 0.00 0.00 0.28 0.28 0.00 0.07 0.07 —304 304 0.01 0.01 1.13 309 Vendor 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 —0.00 0.00 0.00 0.00 0.00 0.00 Hauling 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 —0.00 0.00 0.00 0.00 0.00 0.00 Daily, Winter (Max) ————————————————— Average Daily ————————————————— Worker 0.01 0.01 0.07 0.00 0.00 0.02 0.02 0.00 < 0.005 < 0.005 —15.5 15.5 < 0.005 < 0.005 0.03 15.7 Vendor 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 —0.00 0.00 0.00 0.00 0.00 0.00 Hauling 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 —0.00 0.00 0.00 0.00 0.00 0.00 Annual ————————————————— Worker < 0.005 < 0.005 0.01 0.00 0.00 < 0.005 < 0.005 0.00 < 0.005 < 0.005 —2.57 2.57 < 0.005 < 0.005 < 0.005 2.60 Vendor 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 —0.00 0.00 0.00 0.00 0.00 0.00 Hauling 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 —0.00 0.00 0.00 0.00 0.00 0.00 Homelessness Prevention Resource and Care Center Detailed Report, 6/13/2023 37 / 76 4. Operations Emissions Details 4.1. Mobile Emissions by Land Use 4.1.1. Unmitigated Criteria Pollutants (lb/day for daily, ton/yr for annual) and GHGs (lb/day for daily, MT/yr for annual) Land Use ROG NOx CO SO2 PM10E PM10D PM10T PM2.5E PM2.5D PM2.5T BCO2 NBCO2 CO2T CH4 N2O R CO2e Daily, Summer (Max) ————————————————— Congrega te Care (Assisted Living) 1.62 1.40 13.0 0.03 0.02 0.95 0.97 0.02 0.17 0.19 —2,969 2,969 0.15 0.14 11.8 3,026 Parking Lot 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 —0.00 0.00 0.00 0.00 0.00 0.00 Total 1.62 1.40 13.0 0.03 0.02 0.95 0.97 0.02 0.17 0.19 —2,969 2,969 0.15 0.14 11.8 3,026 Daily, Winter (Max) ————————————————— Congrega te Care (Assisted Living) 1.50 1.51 11.0 0.03 0.02 0.95 0.97 0.02 0.17 0.19 —2,782 2,782 0.16 0.14 0.31 2,829 Parking Lot 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 —0.00 0.00 0.00 0.00 0.00 0.00 Total 1.50 1.51 11.0 0.03 0.02 0.95 0.97 0.02 0.17 0.19 —2,782 2,782 0.16 0.14 0.31 2,829 Annual ————————————————— Homelessness Prevention Resource and Care Center Detailed Report, 6/13/2023 38 / 76 4740.840.020.03465465—0.030.03< 0.0050.180.17< 0.005< 0.0052.070.280.27Congrega te Care (Assisted Living) Parking Lot 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 —0.00 0.00 0.00 0.00 0.00 0.00 Total 0.27 0.28 2.07 < 0.005 < 0.005 0.17 0.18 < 0.005 0.03 0.03 —465 465 0.03 0.02 0.84 474 4.1.2. Mitigated Criteria Pollutants (lb/day for daily, ton/yr for annual) and GHGs (lb/day for daily, MT/yr for annual) Land Use ROG NOx CO SO2 PM10E PM10D PM10T PM2.5E PM2.5D PM2.5T BCO2 NBCO2 CO2T CH4 N2O R CO2e Daily, Summer (Max) ————————————————— Congrega te Care (Assisted Living) 1.62 1.40 13.0 0.03 0.02 0.95 0.97 0.02 0.17 0.19 —2,969 2,969 0.15 0.14 11.8 3,026 Parking Lot 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 —0.00 0.00 0.00 0.00 0.00 0.00 Total 1.62 1.40 13.0 0.03 0.02 0.95 0.97 0.02 0.17 0.19 —2,969 2,969 0.15 0.14 11.8 3,026 Daily, Winter (Max) ————————————————— Congrega te Care (Assisted Living) 1.50 1.51 11.0 0.03 0.02 0.95 0.97 0.02 0.17 0.19 —2,782 2,782 0.16 0.14 0.31 2,829 Parking Lot 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 —0.00 0.00 0.00 0.00 0.00 0.00 Total 1.50 1.51 11.0 0.03 0.02 0.95 0.97 0.02 0.17 0.19 —2,782 2,782 0.16 0.14 0.31 2,829 Homelessness Prevention Resource and Care Center Detailed Report, 6/13/2023 39 / 76 Annual ————————————————— Congrega te Care (Assisted Living) 0.27 0.28 2.07 < 0.005 < 0.005 0.17 0.18 < 0.005 0.03 0.03 —465 465 0.03 0.02 0.84 474 Parking Lot 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 —0.00 0.00 0.00 0.00 0.00 0.00 Total 0.27 0.28 2.07 < 0.005 < 0.005 0.17 0.18 < 0.005 0.03 0.03 —465 465 0.03 0.02 0.84 474 4.2. Energy 4.2.1. Electricity Emissions By Land Use - Unmitigated Criteria Pollutants (lb/day for daily, ton/yr for annual) and GHGs (lb/day for daily, MT/yr for annual) Land Use ROG NOx CO SO2 PM10E PM10D PM10T PM2.5E PM2.5D PM2.5T BCO2 NBCO2 CO2T CH4 N2O R CO2e Daily, Summer (Max) ————————————————— Congrega te Care (Assisted Living) ———————————944 944 0.06 0.01 —947 Parking Lot ———————————55.6 55.6 < 0.005 < 0.005 —55.8 Total ———————————999 999 0.06 0.01 —1,003 Daily, Winter (Max) ————————————————— Congrega te Care (Assisted Living) ———————————944 944 0.06 0.01 —947 Homelessness Prevention Resource and Care Center Detailed Report, 6/13/2023 40 / 76 Parking Lot ———————————55.6 55.6 < 0.005 < 0.005 —55.8 Total ———————————999 999 0.06 0.01 —1,003 Annual ————————————————— Congrega te Care (Assisted Living) ———————————156 156 0.01 < 0.005 —157 Parking Lot ———————————9.21 9.21 < 0.005 < 0.005 —9.24 Total ———————————165 165 0.01 < 0.005 —166 4.2.2. Electricity Emissions By Land Use - Mitigated Criteria Pollutants (lb/day for daily, ton/yr for annual) and GHGs (lb/day for daily, MT/yr for annual) Land Use ROG NOx CO SO2 PM10E PM10D PM10T PM2.5E PM2.5D PM2.5T BCO2 NBCO2 CO2T CH4 N2O R CO2e Daily, Summer (Max) ————————————————— Congrega te Care (Assisted Living) ———————————944 944 0.06 0.01 —947 Parking Lot ———————————55.6 55.6 < 0.005 < 0.005 —55.8 Total ———————————999 999 0.06 0.01 —1,003 Daily, Winter (Max) ————————————————— Homelessness Prevention Resource and Care Center Detailed Report, 6/13/2023 41 / 76 947—0.010.06944944———————————Congrega te Care (Assisted Living) Parking Lot ———————————55.6 55.6 < 0.005 < 0.005 —55.8 Total ———————————999 999 0.06 0.01 —1,003 Annual ————————————————— Congrega te Care (Assisted Living) ———————————156 156 0.01 < 0.005 —157 Parking Lot ———————————9.21 9.21 < 0.005 < 0.005 —9.24 Total ———————————165 165 0.01 < 0.005 —166 4.2.3. Natural Gas Emissions By Land Use - Unmitigated Criteria Pollutants (lb/day for daily, ton/yr for annual) and GHGs (lb/day for daily, MT/yr for annual) Land Use ROG NOx CO SO2 PM10E PM10D PM10T PM2.5E PM2.5D PM2.5T BCO2 NBCO2 CO2T CH4 N2O R CO2e Daily, Summer (Max) ————————————————— Congrega te Care (Assisted Living) 0.02 0.42 0.18 < 0.005 0.03 —0.03 0.03 —0.03 —531 531 0.05 < 0.005 —532 Parking Lot 0.00 0.00 0.00 0.00 0.00 —0.00 0.00 —0.00 —0.00 0.00 0.00 0.00 —0.00 Total 0.02 0.42 0.18 < 0.005 0.03 —0.03 0.03 —0.03 —531 531 0.05 < 0.005 —532 Homelessness Prevention Resource and Care Center Detailed Report, 6/13/2023 42 / 76 —————————————————Daily, Winter (Max) Congrega te Care (Assisted Living) 0.02 0.42 0.18 < 0.005 0.03 —0.03 0.03 —0.03 —531 531 0.05 < 0.005 —532 Parking Lot 0.00 0.00 0.00 0.00 0.00 —0.00 0.00 —0.00 —0.00 0.00 0.00 0.00 —0.00 Total 0.02 0.42 0.18 < 0.005 0.03 —0.03 0.03 —0.03 —531 531 0.05 < 0.005 —532 Annual ————————————————— Congrega te Care (Assisted Living) < 0.005 0.08 0.03 < 0.005 0.01 —0.01 0.01 —0.01 —87.8 87.8 0.01 < 0.005 —88.1 Parking Lot 0.00 0.00 0.00 0.00 0.00 —0.00 0.00 —0.00 —0.00 0.00 0.00 0.00 —0.00 Total < 0.005 0.08 0.03 < 0.005 0.01 —0.01 0.01 —0.01 —87.8 87.8 0.01 < 0.005 —88.1 4.2.4. Natural Gas Emissions By Land Use - Mitigated Criteria Pollutants (lb/day for daily, ton/yr for annual) and GHGs (lb/day for daily, MT/yr for annual) Land Use ROG NOx CO SO2 PM10E PM10D PM10T PM2.5E PM2.5D PM2.5T BCO2 NBCO2 CO2T CH4 N2O R CO2e Daily, Summer (Max) ————————————————— Congrega te Care (Assisted Living) 0.02 0.42 0.18 < 0.005 0.03 —0.03 0.03 —0.03 —531 531 0.05 < 0.005 —532 Parking Lot 0.00 0.00 0.00 0.00 0.00 —0.00 0.00 —0.00 —0.00 0.00 0.00 0.00 —0.00 Homelessness Prevention Resource and Care Center Detailed Report, 6/13/2023 43 / 76 Total 0.02 0.42 0.18 < 0.005 0.03 —0.03 0.03 —0.03 —531 531 0.05 < 0.005 —532 Daily, Winter (Max) ————————————————— Congrega te Care (Assisted Living) 0.02 0.42 0.18 < 0.005 0.03 —0.03 0.03 —0.03 —531 531 0.05 < 0.005 —532 Parking Lot 0.00 0.00 0.00 0.00 0.00 —0.00 0.00 —0.00 —0.00 0.00 0.00 0.00 —0.00 Total 0.02 0.42 0.18 < 0.005 0.03 —0.03 0.03 —0.03 —531 531 0.05 < 0.005 —532 Annual ————————————————— Congrega te Care (Assisted Living) < 0.005 0.08 0.03 < 0.005 0.01 —0.01 0.01 —0.01 —87.8 87.8 0.01 < 0.005 —88.1 Parking Lot 0.00 0.00 0.00 0.00 0.00 —0.00 0.00 —0.00 —0.00 0.00 0.00 0.00 —0.00 Total < 0.005 0.08 0.03 < 0.005 0.01 —0.01 0.01 —0.01 —87.8 87.8 0.01 < 0.005 —88.1 4.3. Area Emissions by Source 4.3.2. Unmitigated Criteria Pollutants (lb/day for daily, ton/yr for annual) and GHGs (lb/day for daily, MT/yr for annual) Source ROG NOx CO SO2 PM10E PM10D PM10T PM2.5E PM2.5D PM2.5T BCO2 NBCO2 CO2T CH4 N2O R CO2e Daily, Summer (Max) ————————————————— Consume r Products 0.86 ———————————————— Homelessness Prevention Resource and Care Center Detailed Report, 6/13/2023 44 / 76 Architectu Coatings 0.07 ———————————————— Landscap e Equipme nt 0.78 0.08 8.48 < 0.005 < 0.005 —< 0.005 < 0.005 —< 0.005 —22.8 22.8 < 0.005 < 0.005 —22.8 Total 1.71 0.08 8.48 < 0.005 < 0.005 —< 0.005 < 0.005 —< 0.005 —22.8 22.8 < 0.005 < 0.005 —22.8 Daily, Winter (Max) ————————————————— Consume r Products 0.86 ———————————————— Architectu ral Coatings 0.07 ———————————————— Total 0.93 ———————————————— Annual ————————————————— Consume r Products 0.16 ———————————————— Architectu ral Coatings 0.01 ———————————————— Landscap e Equipme nt 0.10 0.01 1.06 < 0.005 < 0.005 —< 0.005 < 0.005 —< 0.005 —2.58 2.58 < 0.005 < 0.005 —2.59 Total 0.27 0.01 1.06 < 0.005 < 0.005 —< 0.005 < 0.005 —< 0.005 —2.58 2.58 < 0.005 < 0.005 —2.59 4.3.1. Mitigated Criteria Pollutants (lb/day for daily, ton/yr for annual) and GHGs (lb/day for daily, MT/yr for annual) Source ROG NOx CO SO2 PM10E PM10D PM10T PM2.5E PM2.5D PM2.5T BCO2 NBCO2 CO2T CH4 N2O R CO2e Homelessness Prevention Resource and Care Center Detailed Report, 6/13/2023 45 / 76 —————————————————Daily, Summer (Max) Consume r Products 0.86 ———————————————— Architectu ral Coatings 0.07 ———————————————— Landscap e Equipme nt 0.78 0.08 8.48 < 0.005 < 0.005 —< 0.005 < 0.005 —< 0.005 —22.8 22.8 < 0.005 < 0.005 —22.8 Total 1.71 0.08 8.48 < 0.005 < 0.005 —< 0.005 < 0.005 —< 0.005 —22.8 22.8 < 0.005 < 0.005 —22.8 Daily, Winter (Max) ————————————————— Consume r Products 0.86 ———————————————— Architectu ral Coatings 0.07 ———————————————— Total 0.93 ———————————————— Annual ————————————————— Consume r Products 0.16 ———————————————— Architectu ral Coatings 0.01 ———————————————— Landscap e Equipme nt 0.10 0.01 1.06 < 0.005 < 0.005 —< 0.005 < 0.005 —< 0.005 —2.58 2.58 < 0.005 < 0.005 —2.59 Total 0.27 0.01 1.06 < 0.005 < 0.005 —< 0.005 < 0.005 —< 0.005 —2.58 2.58 < 0.005 < 0.005 —2.59 Homelessness Prevention Resource and Care Center Detailed Report, 6/13/2023 46 / 76 4.4. Water Emissions by Land Use 4.4.2. Unmitigated Criteria Pollutants (lb/day for daily, ton/yr for annual) and GHGs (lb/day for daily, MT/yr for annual) Land Use ROG NOx CO SO2 PM10E PM10D PM10T PM2.5E PM2.5D PM2.5T BCO2 NBCO2 CO2T CH4 N2O R CO2e Daily, Summer (Max) ————————————————— Congrega te Care (Assisted Living) ——————————12.0 62.0 74.0 1.23 0.03 —114 Parking Lot ——————————0.00 11.2 11.2 < 0.005 < 0.005 —11.2 Total ——————————12.0 73.2 85.2 1.23 0.03 —125 Daily, Winter (Max) ————————————————— Congrega te Care (Assisted Living) ——————————12.0 62.0 74.0 1.23 0.03 —114 Parking Lot ——————————0.00 11.2 11.2 < 0.005 < 0.005 —11.2 Total ——————————12.0 73.2 85.2 1.23 0.03 —125 Annual ————————————————— Congrega te Care (Assisted Living) ——————————1.98 10.3 12.3 0.20 < 0.005 —18.8 Homelessness Prevention Resource and Care Center Detailed Report, 6/13/2023 47 / 76 1.86—< 0.005< 0.0051.851.850.00——————————Parking Lot Total ——————————1.98 12.1 14.1 0.20 < 0.005 —20.7 4.4.1. Mitigated Criteria Pollutants (lb/day for daily, ton/yr for annual) and GHGs (lb/day for daily, MT/yr for annual) Land Use ROG NOx CO SO2 PM10E PM10D PM10T PM2.5E PM2.5D PM2.5T BCO2 NBCO2 CO2T CH4 N2O R CO2e Daily, Summer (Max) ————————————————— Congrega te Care (Assisted Living) ——————————12.0 62.0 74.0 1.23 0.03 —114 Parking Lot ——————————0.00 11.2 11.2 < 0.005 < 0.005 —11.2 Total ——————————12.0 73.2 85.2 1.23 0.03 —125 Daily, Winter (Max) ————————————————— Congrega te Care (Assisted Living) ——————————12.0 62.0 74.0 1.23 0.03 —114 Parking Lot ——————————0.00 11.2 11.2 < 0.005 < 0.005 —11.2 Total ——————————12.0 73.2 85.2 1.23 0.03 —125 Annual ————————————————— Homelessness Prevention Resource and Care Center Detailed Report, 6/13/2023 48 / 76 18.8—< 0.0050.2012.310.31.98——————————Congrega te Care (Assisted Living) Parking Lot ——————————0.00 1.85 1.85 < 0.005 < 0.005 —1.86 Total ——————————1.98 12.1 14.1 0.20 < 0.005 —20.7 4.5. Waste Emissions by Land Use 4.5.2. Unmitigated Criteria Pollutants (lb/day for daily, ton/yr for annual) and GHGs (lb/day for daily, MT/yr for annual) Land Use ROG NOx CO SO2 PM10E PM10D PM10T PM2.5E PM2.5D PM2.5T BCO2 NBCO2 CO2T CH4 N2O R CO2e Daily, Summer (Max) ————————————————— Congrega te Care (Assisted Living) ——————————244 0.00 244 24.4 0.00 —854 Parking Lot ——————————0.00 0.00 0.00 0.00 0.00 —0.00 Total ——————————244 0.00 244 24.4 0.00 —854 Daily, Winter (Max) ————————————————— Congrega te Care (Assisted Living) ——————————244 0.00 244 24.4 0.00 —854 Parking Lot ——————————0.00 0.00 0.00 0.00 0.00 —0.00 Homelessness Prevention Resource and Care Center Detailed Report, 6/13/2023 49 / 76 Total ——————————244 0.00 244 24.4 0.00 —854 Annual ————————————————— Congrega te Care (Assisted Living) ——————————40.4 0.00 40.4 4.04 0.00 —141 Parking Lot ——————————0.00 0.00 0.00 0.00 0.00 —0.00 Total ——————————40.4 0.00 40.4 4.04 0.00 —141 4.5.1. Mitigated Criteria Pollutants (lb/day for daily, ton/yr for annual) and GHGs (lb/day for daily, MT/yr for annual) Land Use ROG NOx CO SO2 PM10E PM10D PM10T PM2.5E PM2.5D PM2.5T BCO2 NBCO2 CO2T CH4 N2O R CO2e Daily, Summer (Max) ————————————————— Congrega te Care (Assisted Living) ——————————244 0.00 244 24.4 0.00 —854 Parking Lot ——————————0.00 0.00 0.00 0.00 0.00 —0.00 Total ——————————244 0.00 244 24.4 0.00 —854 Daily, Winter (Max) ————————————————— Congrega te Care (Assisted Living) ——————————244 0.00 244 24.4 0.00 —854 Homelessness Prevention Resource and Care Center Detailed Report, 6/13/2023 50 / 76 0.00—0.000.000.000.000.00——————————Parking Lot Total ——————————244 0.00 244 24.4 0.00 —854 Annual ————————————————— Congrega te Care (Assisted Living) ——————————40.4 0.00 40.4 4.04 0.00 —141 Parking Lot ——————————0.00 0.00 0.00 0.00 0.00 —0.00 Total ——————————40.4 0.00 40.4 4.04 0.00 —141 4.6. Refrigerant Emissions by Land Use 4.6.1. Unmitigated Criteria Pollutants (lb/day for daily, ton/yr for annual) and GHGs (lb/day for daily, MT/yr for annual) Land Use ROG NOx CO SO2 PM10E PM10D PM10T PM2.5E PM2.5D PM2.5T BCO2 NBCO2 CO2T CH4 N2O R CO2e Daily, Summer (Max) ————————————————— Congrega te Care (Assisted Living) ———————————————0.51 0.51 Total ———————————————0.51 0.51 Daily, Winter (Max) ————————————————— Homelessness Prevention Resource and Care Center Detailed Report, 6/13/2023 51 / 76 0.510.51———————————————Congrega te Care (Assisted Living) Total ———————————————0.51 0.51 Annual ————————————————— Congrega te Care (Assisted Living) ———————————————0.08 0.08 Total ———————————————0.08 0.08 4.6.2. Mitigated Criteria Pollutants (lb/day for daily, ton/yr for annual) and GHGs (lb/day for daily, MT/yr for annual) Land Use ROG NOx CO SO2 PM10E PM10D PM10T PM2.5E PM2.5D PM2.5T BCO2 NBCO2 CO2T CH4 N2O R CO2e Daily, Summer (Max) ————————————————— Congrega te Care (Assisted Living) ———————————————0.51 0.51 Total ———————————————0.51 0.51 Daily, Winter (Max) ————————————————— Congrega te Care (Assisted Living) ———————————————0.51 0.51 Total ———————————————0.51 0.51 Homelessness Prevention Resource and Care Center Detailed Report, 6/13/2023 52 / 76 Annual ————————————————— Congrega te Care (Assisted Living) ———————————————0.08 0.08 Total ———————————————0.08 0.08 4.7. Offroad Emissions By Equipment Type 4.7.1. Unmitigated Criteria Pollutants (lb/day for daily, ton/yr for annual) and GHGs (lb/day for daily, MT/yr for annual) Equipme nt Type ROG NOx CO SO2 PM10E PM10D PM10T PM2.5E PM2.5D PM2.5T BCO2 NBCO2 CO2T CH4 N2O R CO2e Daily, Summer (Max) ————————————————— Total ————————————————— Daily, Winter (Max) ————————————————— Total ————————————————— Annual ————————————————— Total ————————————————— 4.7.2. Mitigated Criteria Pollutants (lb/day for daily, ton/yr for annual) and GHGs (lb/day for daily, MT/yr for annual) Equipme nt Type ROG NOx CO SO2 PM10E PM10D PM10T PM2.5E PM2.5D PM2.5T BCO2 NBCO2 CO2T CH4 N2O R CO2e Homelessness Prevention Resource and Care Center Detailed Report, 6/13/2023 53 / 76 —————————————————Daily, Summer (Max) Total ————————————————— Daily, Winter (Max) ————————————————— Total ————————————————— Annual ————————————————— Total ————————————————— 4.8. Stationary Emissions By Equipment Type 4.8.1. Unmitigated Criteria Pollutants (lb/day for daily, ton/yr for annual) and GHGs (lb/day for daily, MT/yr for annual) Equipme nt Type ROG NOx CO SO2 PM10E PM10D PM10T PM2.5E PM2.5D PM2.5T BCO2 NBCO2 CO2T CH4 N2O R CO2e Daily, Summer (Max) ————————————————— Total ————————————————— Daily, Winter (Max) ————————————————— Total ————————————————— Annual ————————————————— Total ————————————————— 4.8.2. Mitigated Criteria Pollutants (lb/day for daily, ton/yr for annual) and GHGs (lb/day for daily, MT/yr for annual) Homelessness Prevention Resource and Care Center Detailed Report, 6/13/2023 54 / 76 Equipme Type ROG NOx CO SO2 PM10E PM10D PM10T PM2.5E PM2.5D PM2.5T BCO2 NBCO2 CO2T CH4 N2O R CO2e Daily, Summer (Max) ————————————————— Total ————————————————— Daily, Winter (Max) ————————————————— Total ————————————————— Annual ————————————————— Total ————————————————— 4.9. User Defined Emissions By Equipment Type 4.9.1. Unmitigated Criteria Pollutants (lb/day for daily, ton/yr for annual) and GHGs (lb/day for daily, MT/yr for annual) Equipme nt Type ROG NOx CO SO2 PM10E PM10D PM10T PM2.5E PM2.5D PM2.5T BCO2 NBCO2 CO2T CH4 N2O R CO2e Daily, Summer (Max) ————————————————— Total ————————————————— Daily, Winter (Max) ————————————————— Total ————————————————— Annual ————————————————— Total ————————————————— Homelessness Prevention Resource and Care Center Detailed Report, 6/13/2023 55 / 76 4.9.2. Mitigated Criteria Pollutants (lb/day for daily, ton/yr for annual) and GHGs (lb/day for daily, MT/yr for annual) Equipme nt Type ROG NOx CO SO2 PM10E PM10D PM10T PM2.5E PM2.5D PM2.5T BCO2 NBCO2 CO2T CH4 N2O R CO2e Daily, Summer (Max) ————————————————— Total ————————————————— Daily, Winter (Max) ————————————————— Total ————————————————— Annual ————————————————— Total ————————————————— 4.10. Soil Carbon Accumulation By Vegetation Type 4.10.1. Soil Carbon Accumulation By Vegetation Type - Unmitigated Criteria Pollutants (lb/day for daily, ton/yr for annual) and GHGs (lb/day for daily, MT/yr for annual) Vegetatio n ROG NOx CO SO2 PM10E PM10D PM10T PM2.5E PM2.5D PM2.5T BCO2 NBCO2 CO2T CH4 N2O R CO2e Daily, Summer (Max) ————————————————— Total ————————————————— Daily, Winter (Max) ————————————————— Total ————————————————— Annual ————————————————— Homelessness Prevention Resource and Care Center Detailed Report, 6/13/2023 56 / 76 Total ————————————————— 4.10.2. Above and Belowground Carbon Accumulation by Land Use Type - Unmitigated Criteria Pollutants (lb/day for daily, ton/yr for annual) and GHGs (lb/day for daily, MT/yr for annual) Land Use ROG NOx CO SO2 PM10E PM10D PM10T PM2.5E PM2.5D PM2.5T BCO2 NBCO2 CO2T CH4 N2O R CO2e Daily, Summer (Max) ————————————————— Total ————————————————— Daily, Winter (Max) ————————————————— Total ————————————————— Annual ————————————————— Total ————————————————— 4.10.3. Avoided and Sequestered Emissions by Species - Unmitigated Criteria Pollutants (lb/day for daily, ton/yr for annual) and GHGs (lb/day for daily, MT/yr for annual) Species ROG NOx CO SO2 PM10E PM10D PM10T PM2.5E PM2.5D PM2.5T BCO2 NBCO2 CO2T CH4 N2O R CO2e Daily, Summer (Max) ————————————————— Avoided ————————————————— Subtotal ————————————————— Sequeste red ————————————————— Subtotal ————————————————— Removed ————————————————— Subtotal ————————————————— —————————————————— Homelessness Prevention Resource and Care Center Detailed Report, 6/13/2023 57 / 76 Daily, Winter (Max) ————————————————— Avoided ————————————————— Subtotal ————————————————— Sequeste red ————————————————— Subtotal ————————————————— Removed ————————————————— Subtotal ————————————————— —————————————————— Annual ————————————————— Avoided ————————————————— Subtotal ————————————————— Sequeste red ————————————————— Subtotal ————————————————— Removed ————————————————— Subtotal ————————————————— —————————————————— 4.10.4. Soil Carbon Accumulation By Vegetation Type - Mitigated Criteria Pollutants (lb/day for daily, ton/yr for annual) and GHGs (lb/day for daily, MT/yr for annual) Vegetatio n ROG NOx CO SO2 PM10E PM10D PM10T PM2.5E PM2.5D PM2.5T BCO2 NBCO2 CO2T CH4 N2O R CO2e Daily, Summer (Max) ————————————————— Total ————————————————— Homelessness Prevention Resource and Care Center Detailed Report, 6/13/2023 58 / 76 —————————————————Daily, Winter (Max) Total ————————————————— Annual ————————————————— Total ————————————————— 4.10.5. Above and Belowground Carbon Accumulation by Land Use Type - Mitigated Criteria Pollutants (lb/day for daily, ton/yr for annual) and GHGs (lb/day for daily, MT/yr for annual) Land Use ROG NOx CO SO2 PM10E PM10D PM10T PM2.5E PM2.5D PM2.5T BCO2 NBCO2 CO2T CH4 N2O R CO2e Daily, Summer (Max) ————————————————— Total ————————————————— Daily, Winter (Max) ————————————————— Total ————————————————— Annual ————————————————— Total ————————————————— 4.10.6. Avoided and Sequestered Emissions by Species - Mitigated Criteria Pollutants (lb/day for daily, ton/yr for annual) and GHGs (lb/day for daily, MT/yr for annual) Species ROG NOx CO SO2 PM10E PM10D PM10T PM2.5E PM2.5D PM2.5T BCO2 NBCO2 CO2T CH4 N2O R CO2e Daily, Summer (Max) ————————————————— Avoided ————————————————— Subtotal ————————————————— Homelessness Prevention Resource and Care Center Detailed Report, 6/13/2023 59 / 76 —————————————————Sequeste red Subtotal ————————————————— Removed ————————————————— Subtotal ————————————————— —————————————————— Daily, Winter (Max) ————————————————— Avoided ————————————————— Subtotal ————————————————— Sequeste red ————————————————— Subtotal ————————————————— Removed ————————————————— Subtotal ————————————————— —————————————————— Annual ————————————————— Avoided ————————————————— Subtotal ————————————————— Sequeste red ————————————————— Subtotal ————————————————— Removed ————————————————— Subtotal ————————————————— —————————————————— 5. Activity Data Homelessness Prevention Resource and Care Center Detailed Report, 6/13/2023 60 / 76 5.1. Construction Schedule Phase Name Phase Type Start Date End Date Days Per Week Work Days per Phase Phase Description Site Preparation Site Preparation 4/17/2024 5/14/2024 5.00 20.0 — Grading Grading 5/15/2024 6/12/2024 5.00 20.0 — Building Construction Building Construction 6/13/2024 5/1/2025 5.00 230 — Paving Paving 5/2/2025 5/30/2025 5.00 20.0 — Architectural Coating Architectural Coating 5/31/2025 6/28/2025 5.00 20.0 — 5.2. Off-Road Equipment 5.2.1. Unmitigated Phase Name Equipment Type Fuel Type Engine Tier Number per Day Hours Per Day Horsepower Load Factor Site Preparation Rubber Tired Dozers Diesel Average 2.00 8.00 367 0.40 Site Preparation Tractors/Loaders/Backh oes Diesel Average 2.00 8.00 84.0 0.37 Grading Excavators Diesel Average 1.00 8.00 36.0 0.38 Grading Graders Diesel Average 1.00 8.00 148 0.41 Grading Rubber Tired Dozers Diesel Average 1.00 8.00 367 0.40 Grading Tractors/Loaders/Backh oes Diesel Average 3.00 8.00 84.0 0.37 Building Construction Cranes Diesel Average 1.00 7.00 367 0.29 Building Construction Forklifts Diesel Average 3.00 8.00 82.0 0.20 Building Construction Generator Sets Diesel Average 1.00 8.00 14.0 0.74 Building Construction Tractors/Loaders/Backh oes Diesel Average 3.00 7.00 84.0 0.37 Building Construction Welders Diesel Average 1.00 8.00 46.0 0.45 Paving Pavers Diesel Average 2.00 8.00 81.0 0.42 Paving Paving Equipment Diesel Average 2.00 8.00 89.0 0.36 Homelessness Prevention Resource and Care Center Detailed Report, 6/13/2023 61 / 76 Paving Rollers Diesel Average 2.00 8.00 36.0 0.38 Architectural Coating Air Compressors Diesel Average 1.00 6.00 37.0 0.48 5.2.2. Mitigated Phase Name Equipment Type Fuel Type Engine Tier Number per Day Hours Per Day Horsepower Load Factor Site Preparation Rubber Tired Dozers Diesel Average 2.00 8.00 367 0.40 Site Preparation Tractors/Loaders/Backh oes Diesel Average 2.00 8.00 84.0 0.37 Grading Excavators Diesel Average 1.00 8.00 36.0 0.38 Grading Graders Diesel Average 1.00 8.00 148 0.41 Grading Rubber Tired Dozers Diesel Average 1.00 8.00 367 0.40 Grading Tractors/Loaders/Backh oes Diesel Average 3.00 8.00 84.0 0.37 Building Construction Cranes Diesel Average 1.00 7.00 367 0.29 Building Construction Forklifts Diesel Average 3.00 8.00 82.0 0.20 Building Construction Generator Sets Diesel Average 1.00 8.00 14.0 0.74 Building Construction Tractors/Loaders/Backh oes Diesel Average 3.00 7.00 84.0 0.37 Building Construction Welders Diesel Average 1.00 8.00 46.0 0.45 Paving Pavers Diesel Average 2.00 8.00 81.0 0.42 Paving Paving Equipment Diesel Average 2.00 8.00 89.0 0.36 Paving Rollers Diesel Average 2.00 8.00 36.0 0.38 Architectural Coating Air Compressors Diesel Average 1.00 6.00 37.0 0.48 5.3. Construction Vehicles 5.3.1. Unmitigated Phase Name Trip Type One-Way Trips per Day Miles per Trip Vehicle Mix Homelessness Prevention Resource and Care Center Detailed Report, 6/13/2023 62 / 76 Site Preparation ———— Site Preparation Worker 10.0 18.5 LDA,LDT1,LDT2 Site Preparation Vendor —10.2 HHDT,MHDT Site Preparation Hauling 0.00 20.0 HHDT Site Preparation Onsite truck ——HHDT Grading ———— Grading Worker 15.0 18.5 LDA,LDT1,LDT2 Grading Vendor —10.2 HHDT,MHDT Grading Hauling 0.00 20.0 HHDT Grading Onsite truck ——HHDT Building Construction ———— Building Construction Worker 108 18.5 LDA,LDT1,LDT2 Building Construction Vendor 16.0 10.2 HHDT,MHDT Building Construction Hauling 0.00 20.0 HHDT Building Construction Onsite truck ——HHDT Paving ———— Paving Worker 15.0 18.5 LDA,LDT1,LDT2 Paving Vendor 5.00 10.2 HHDT,MHDT Paving Hauling 0.00 20.0 HHDT Paving Onsite truck ——HHDT Architectural Coating ———— Architectural Coating Worker 21.6 18.5 LDA,LDT1,LDT2 Architectural Coating Vendor —10.2 HHDT,MHDT Architectural Coating Hauling 0.00 20.0 HHDT Architectural Coating Onsite truck ——HHDT 5.3.2. Mitigated Homelessness Prevention Resource and Care Center Detailed Report, 6/13/2023 63 / 76 Phase Name Trip Type One-Way Trips per Day Miles per Trip Vehicle Mix Site Preparation ———— Site Preparation Worker 10.0 18.5 LDA,LDT1,LDT2 Site Preparation Vendor —10.2 HHDT,MHDT Site Preparation Hauling 0.00 20.0 HHDT Site Preparation Onsite truck ——HHDT Grading ———— Grading Worker 15.0 18.5 LDA,LDT1,LDT2 Grading Vendor —10.2 HHDT,MHDT Grading Hauling 0.00 20.0 HHDT Grading Onsite truck ——HHDT Building Construction ———— Building Construction Worker 108 18.5 LDA,LDT1,LDT2 Building Construction Vendor 16.0 10.2 HHDT,MHDT Building Construction Hauling 0.00 20.0 HHDT Building Construction Onsite truck ——HHDT Paving ———— Paving Worker 15.0 18.5 LDA,LDT1,LDT2 Paving Vendor 5.00 10.2 HHDT,MHDT Paving Hauling 0.00 20.0 HHDT Paving Onsite truck ——HHDT Architectural Coating ———— Architectural Coating Worker 21.6 18.5 LDA,LDT1,LDT2 Architectural Coating Vendor —10.2 HHDT,MHDT Architectural Coating Hauling 0.00 20.0 HHDT Architectural Coating Onsite truck ——HHDT Homelessness Prevention Resource and Care Center Detailed Report, 6/13/2023 64 / 76 5.4. Vehicles 5.4.1. Construction Vehicle Control Strategies Non-applicable. No control strategies activated by user. 5.5. Architectural Coatings Phase Name Residential Interior Area Coated (sq ft) Residential Exterior Area Coated (sq ft) Non-Residential Interior Area Coated (sq ft) Non-Residential Exterior Area Coated (sq ft) Parking Area Coated (sq ft) Architectural Coating 81,000 27,000 0.00 0.00 2,614 5.6. Dust Mitigation 5.6.1. Construction Earthmoving Activities Phase Name Material Imported (cy)Material Exported (cy)Acres Graded (acres)Material Demolished (sq. ft.)Acres Paved (acres) Site Preparation ——20.0 0.00 — Grading ——20.0 0.00 — Paving 0.00 0.00 0.00 0.00 1.00 5.6.2. Construction Earthmoving Control Strategies Non-applicable. No control strategies activated by user. 5.7. Construction Paving Land Use Area Paved (acres)% Asphalt Congregate Care (Assisted Living)—0% Parking Lot 1.00 100% 5.8. Construction Electricity Consumption and Emissions Factors kWh per Year and Emission Factor (lb/MWh) Homelessness Prevention Resource and Care Center Detailed Report, 6/13/2023 65 / 76 Year kWh per Year CO2 CH4 N2O 2024 0.00 532 0.03 < 0.005 2025 0.00 532 0.03 < 0.005 5.9. Operational Mobile Sources 5.9.1. Unmitigated Land Use Type Trips/Weekday Trips/Saturday Trips/Sunday Trips/Year VMT/Weekday VMT/Saturday VMT/Sunday VMT/Year Congregate Care (Assisted Living) 390 390 390 142,350 3,390 3,390 3,390 1,237,441 Parking Lot 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 5.9.2. Mitigated Land Use Type Trips/Weekday Trips/Saturday Trips/Sunday Trips/Year VMT/Weekday VMT/Saturday VMT/Sunday VMT/Year Congregate Care (Assisted Living) 390 390 390 142,350 3,390 3,390 3,390 1,237,441 Parking Lot 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 5.10. Operational Area Sources 5.10.1. Hearths 5.10.1.1. Unmitigated 5.10.1.2. Mitigated 5.10.2. Architectural Coatings Residential Interior Area Coated (sq ft)Residential Exterior Area Coated (sq ft)Non-Residential Interior Area Coated (sq ft) Non-Residential Exterior Area Coated (sq ft) Parking Area Coated (sq ft) Homelessness Prevention Resource and Care Center Detailed Report, 6/13/2023 66 / 76 81000 27,000 0.00 0.00 2,614 5.10.3. Landscape Equipment Season Unit Value Snow Days day/yr 0.00 Summer Days day/yr 250 5.10.4. Landscape Equipment - Mitigated Season Unit Value Snow Days day/yr 0.00 Summer Days day/yr 250 5.11. Operational Energy Consumption 5.11.1. Unmitigated Electricity (kWh/yr) and CO2 and CH4 and N2O and Natural Gas (kBTU/yr) Land Use Electricity (kWh/yr)CO2 CH4 N2O Natural Gas (kBTU/yr) Congregate Care (Assisted Living) 647,424 532 0.0330 0.0040 1,655,577 Parking Lot 38,159 532 0.0330 0.0040 0.00 5.11.2. Mitigated Electricity (kWh/yr) and CO2 and CH4 and N2O and Natural Gas (kBTU/yr) Land Use Electricity (kWh/yr)CO2 CH4 N2O Natural Gas (kBTU/yr) Congregate Care (Assisted Living) 647,424 532 0.0330 0.0040 1,655,577 Parking Lot 38,159 532 0.0330 0.0040 0.00 Homelessness Prevention Resource and Care Center Detailed Report, 6/13/2023 67 / 76 5.12. Operational Water and Wastewater Consumption 5.12.1. Unmitigated Land Use Indoor Water (gal/year)Outdoor Water (gal/year) Congregate Care (Assisted Living)6,252,176 0.00 Parking Lot 0.00 1,445,321 5.12.2. Mitigated Land Use Indoor Water (gal/year)Outdoor Water (gal/year) Congregate Care (Assisted Living)6,252,176 0.00 Parking Lot 0.00 1,445,321 5.13. Operational Waste Generation 5.13.1. Unmitigated Land Use Waste (ton/year)Cogeneration (kWh/year) Congregate Care (Assisted Living)453 — Parking Lot 0.00 — 5.13.2. Mitigated Land Use Waste (ton/year)Cogeneration (kWh/year) Congregate Care (Assisted Living)453 — Parking Lot 0.00 — 5.14. Operational Refrigeration and Air Conditioning Equipment Homelessness Prevention Resource and Care Center Detailed Report, 6/13/2023 68 / 76 5.14.1. Unmitigated Land Use Type Equipment Type Refrigerant GWP Quantity (kg)Operations Leak Rate Service Leak Rate Times Serviced Congregate Care (Assisted Living) Average room A/C & Other residential A/C and heat pumps R-410A 2,088 < 0.005 2.50 2.50 10.0 Congregate Care (Assisted Living) Household refrigerators and/or freezers R-134a 1,430 0.22 0.60 0.00 1.00 5.14.2. Mitigated Land Use Type Equipment Type Refrigerant GWP Quantity (kg)Operations Leak Rate Service Leak Rate Times Serviced Congregate Care (Assisted Living) Average room A/C & Other residential A/C and heat pumps R-410A 2,088 < 0.005 2.50 2.50 10.0 Congregate Care (Assisted Living) Household refrigerators and/or freezers R-134a 1,430 0.22 0.60 0.00 1.00 5.15. Operational Off-Road Equipment 5.15.1. Unmitigated Equipment Type Fuel Type Engine Tier Number per Day Hours Per Day Horsepower Load Factor 5.15.2. Mitigated Equipment Type Fuel Type Engine Tier Number per Day Hours Per Day Horsepower Load Factor 5.16. Stationary Sources 5.16.1. Emergency Generators and Fire Pumps Equipment Type Fuel Type Number per Day Hours per Day Hours per Year Horsepower Load Factor Homelessness Prevention Resource and Care Center Detailed Report, 6/13/2023 69 / 76 5.16.2. Process Boilers Equipment Type Fuel Type Number Boiler Rating (MMBtu/hr)Daily Heat Input (MMBtu/day)Annual Heat Input (MMBtu/yr) 5.17. User Defined Equipment Type Fuel Type —— 5.18. Vegetation 5.18.1. Land Use Change 5.18.1.1. Unmitigated Vegetation Land Use Type Vegetation Soil Type Initial Acres Final Acres 5.18.1.2. Mitigated Vegetation Land Use Type Vegetation Soil Type Initial Acres Final Acres 5.18.1. Biomass Cover Type 5.18.1.1. Unmitigated Biomass Cover Type Initial Acres Final Acres 5.18.1.2. Mitigated Biomass Cover Type Initial Acres Final Acres Homelessness Prevention Resource and Care Center Detailed Report, 6/13/2023 70 / 76 5.18.2. Sequestration 5.18.2.1. Unmitigated Tree Type Number Electricity Saved (kWh/year)Natural Gas Saved (btu/year) 5.18.2.2. Mitigated Tree Type Number Electricity Saved (kWh/year)Natural Gas Saved (btu/year) 6. Climate Risk Detailed Report 6.1. Climate Risk Summary Cal-Adapt midcentury 2040–2059 average projections for four hazards are reported below for your project location. These are under Representation Concentration Pathway (RCP) 8.5 which assumes GHG emissions will continue to rise strongly through 2050 and then plateau around 2100. Climate Hazard Result for Project Location Unit Temperature and Extreme Heat 21.7 annual days of extreme heat Extreme Precipitation 5.25 annual days with precipitation above 20 mm Sea Level Rise 0.00 meters of inundation depth Wildfire 0.00 annual hectares burned Temperature and Extreme Heat data are for grid cell in which your project are located. The projection is based on the 98th historical percentile of daily maximum/minimum temperatures from observed historical data (32 climate model ensemble from Cal-Adapt, 2040–2059 average under RCP 8.5). Each grid cell is 6 kilometers (km) by 6 km, or 3.7 miles (mi) by 3.7 mi. Extreme Precipitation data are for the grid cell in which your project are located. The threshold of 20 mm is equivalent to about ¾ an inch of rain, which would be light to moderate rainfall if received over a full day or heavy rain if received over a period of 2 to 4 hours. Each grid cell is 6 kilometers (km) by 6 km, or 3.7 miles (mi) by 3.7 mi. Sea Level Rise data are for the grid cell in which your project are located. The projections are from Radke et al. (2017), as reported in Cal-Adapt (2040–2059 average under RCP 8.5), and consider different increments of sea level rise coupled with extreme storm events. Users may select from four model simulations to view the range in potential inundation depth for the grid cell. The four simulations make different assumptions about expected rainfall and temperature are: Warmer/drier (HadGEM2-ES), Cooler/wetter (CNRM-CM5), Average conditions (CanESM2), Range of different rainfall and temperature possibilities (MIROC5). Each grid cell is 50 meters (m) by 50 m, or about 164 feet (ft) by 164 ft. Wildfire data are for the grid cell in which your project are located. The projections are from UC Davis, as reported in Cal-Adapt (2040–2059 average under RCP 8.5), and consider historical data of climate, vegetation, population density, and large (> 400 ha) fire history. Users may select from four model simulations to view the range in potential wildfire probabilities for the grid cell. The four simulations make different assumptions about expected rainfall and temperature are: Warmer/drier (HadGEM2-ES), Cooler/wetter (CNRM-CM5), Average conditions (CanESM2), Range of different rainfall and temperature possibilities (MIROC5). Each grid cell is 6 kilometers (km) by 6 km, or 3.7 miles (mi) by 3.7 mi. Homelessness Prevention Resource and Care Center Detailed Report, 6/13/2023 71 / 76 6.2. Initial Climate Risk Scores Climate Hazard Exposure Score Sensitivity Score Adaptive Capacity Score Vulnerability Score Temperature and Extreme Heat 2 0 0 N/A Extreme Precipitation N/A N/A N/A N/A Sea Level Rise 1 0 0 N/A Wildfire 1 0 0 N/A Flooding N/A N/A N/A N/A Drought N/A N/A N/A N/A Snowpack Reduction N/A N/A N/A N/A Air Quality Degradation 0 0 0 N/A The sensitivity score reflects the extent to which a project would be adversely affected by exposure to a climate hazard. Exposure is rated on a scale of 1 to 5, with a score of 5 representing the greatest exposure. The adaptive capacity of a project refers to its ability to manage and reduce vulnerabilities from projected climate hazards. Adaptive capacity is rated on a scale of 1 to 5, with a score of 5 representing the greatest ability to adapt. The overall vulnerability scores are calculated based on the potential impacts and adaptive capacity assessments for each hazard. Scores do not include implementation of climate risk reduction measures. 6.3. Adjusted Climate Risk Scores Climate Hazard Exposure Score Sensitivity Score Adaptive Capacity Score Vulnerability Score Temperature and Extreme Heat 2 1 1 3 Extreme Precipitation N/A N/A N/A N/A Sea Level Rise 1 1 1 2 Wildfire 1 1 1 2 Flooding N/A N/A N/A N/A Drought N/A N/A N/A N/A Snowpack Reduction N/A N/A N/A N/A Air Quality Degradation 1 1 1 2 The sensitivity score reflects the extent to which a project would be adversely affected by exposure to a climate hazard. Exposure is rated on a scale of 1 to 5, with a score of 5 representing the greatest exposure. Homelessness Prevention Resource and Care Center Detailed Report, 6/13/2023 72 / 76 The adaptive capacity of a project refers to its ability to manage and reduce vulnerabilities from projected climate hazards. Adaptive capacity is rated on a scale of 1 to 5, with a score of 5 representing the greatest ability to adapt. The overall vulnerability scores are calculated based on the potential impacts and adaptive capacity assessments for each hazard. Scores include implementation of climate risk reduction measures. 6.4. Climate Risk Reduction Measures 7. Health and Equity Details 7.1. CalEnviroScreen 4.0 Scores The maximum CalEnviroScreen score is 100. A high score (i.e., greater than 50) reflects a higher pollution burden compared to other census tracts in the state. Indicator Result for Project Census Tract Exposure Indicators — AQ-Ozone 97.0 AQ-PM 91.5 AQ-DPM 76.0 Drinking Water 66.7 Lead Risk Housing 54.1 Pesticides 0.00 Toxic Releases 73.6 Traffic 10.6 Effect Indicators — CleanUp Sites 58.2 Groundwater 0.00 Haz Waste Facilities/Generators 80.5 Impaired Water Bodies 0.00 Solid Waste 0.00 Sensitive Population — Asthma 70.6 Cardio-vascular 84.7 Homelessness Prevention Resource and Care Center Detailed Report, 6/13/2023 73 / 76 Low Birth Weights 38.5 Socioeconomic Factor Indicators — Education 90.9 Housing 72.6 Linguistic 82.6 Poverty 86.6 Unemployment 66.6 7.2. Healthy Places Index Scores The maximum Health Places Index score is 100. A high score (i.e., greater than 50) reflects healthier community conditions compared to other census tracts in the state. Indicator Result for Project Census Tract Economic — Above Poverty 13.69177467 Employed 6.582830746 Median HI 20.28743744 Education — Bachelor's or higher 14.23071988 High school enrollment 23.00782754 Preschool enrollment 50.42987296 Transportation — Auto Access 66.18760426 Active commuting 28.7052483 Social — 2-parent households 69.89606057 Voting 13.74310278 Neighborhood — Alcohol availability 35.72436802 Homelessness Prevention Resource and Care Center Detailed Report, 6/13/2023 74 / 76 Park access 5.00449121 Retail density 22.12241755 Supermarket access 30.78403696 Tree canopy 9.49570127 Housing — Homeownership 37.25137944 Housing habitability 9.367380983 Low-inc homeowner severe housing cost burden 9.880662133 Low-inc renter severe housing cost burden 18.15732067 Uncrowded housing 7.35275247 Health Outcomes — Insured adults 4.234569485 Arthritis 85.3 Asthma ER Admissions 18.7 High Blood Pressure 88.4 Cancer (excluding skin)97.4 Asthma 10.9 Coronary Heart Disease 79.3 Chronic Obstructive Pulmonary Disease 40.0 Diagnosed Diabetes 41.8 Life Expectancy at Birth 20.2 Cognitively Disabled 91.4 Physically Disabled 71.5 Heart Attack ER Admissions 7.2 Mental Health Not Good 9.7 Chronic Kidney Disease 55.3 Obesity 14.1 Homelessness Prevention Resource and Care Center Detailed Report, 6/13/2023 75 / 76 Pedestrian Injuries 19.6 Physical Health Not Good 18.1 Stroke 64.5 Health Risk Behaviors — Binge Drinking 36.9 Current Smoker 12.2 No Leisure Time for Physical Activity 18.6 Climate Change Exposures — Wildfire Risk 0.0 SLR Inundation Area 0.0 Children 24.2 Elderly 94.7 English Speaking 25.6 Foreign-born 76.5 Outdoor Workers 15.6 Climate Change Adaptive Capacity — Impervious Surface Cover 68.4 Traffic Density 40.9 Traffic Access 23.0 Other Indices — Hardship 92.8 Other Decision Support — 2016 Voting 26.9 7.3. Overall Health & Equity Scores Metric Result for Project Census Tract CalEnviroScreen 4.0 Score for Project Location (a)81.0 Homelessness Prevention Resource and Care Center Detailed Report, 6/13/2023 76 / 76 Healthy Places Index Score for Project Location (b)9.00 Project Located in a Designated Disadvantaged Community (Senate Bill 535)Yes Project Located in a Low-Income Community (Assembly Bill 1550)Yes Project Located in a Community Air Protection Program Community (Assembly Bill 617)No a: The maximum CalEnviroScreen score is 100. A high score (i.e., greater than 50) reflects a higher pollution burden compared to other census tracts in the state. b: The maximum Health Places Index score is 100. A high score (i.e., greater than 50) reflects healthier community conditions compared to other census tracts in the state. 7.4. Health & Equity Measures No Health & Equity Measures selected. 7.5. Evaluation Scorecard Health & Equity Evaluation Scorecard not completed. 7.6. Health & Equity Custom Measures No Health & Equity Custom Measures created. 8. User Changes to Default Data Screen Justification Land Use Per project description Construction: Construction Phases No demolition required Operations: Vehicle Data Per trip generation forecast Operations: Hearths No hearths Construction: Off-Road Equipment Adjusted for construction schedule Appendix B: EMFAC2017 Output Source: EMFAC2017 (v1.0.3) Emissions Inventory Region Type: Air District Region: South Coast AQMD Calendar Year: 2023 Season: Annual Vehicle Classification: EMFAC2007 Categories Units: miles/day for VMT, trips/day for Trips, tons/day for Emissions, 1000 gallons/day for Fuel Consumption Region Calendar YearVehicle CategoryModel Year Speed Fuel Population VMT Trips Fuel Consumption Fuel Consumption Total Fuel Consumption VMT Total VMT Miles Per Gallon Vehicle Class South Coast AQMD2023 HHDT Aggregate Aggregate Gasoline 75.10442936 8265.097 1502.689 1.936286145 1936.286145 1913466.474 8265.097 13656273.03 7.14 HHD South Coast AQMD2023 HHDT Aggregate Aggregate Diesel 109818.6753 13648008 1133618 1911.530188 1911530.188 13648008 South Coast AQMD2023 LDA Aggregate Aggregate Gasoline 6635002.295 2.53E+08 31352477 7971.24403 7971244.03 8020635.698 2.53E+08 255180358.3 31.82 LDA South Coast AQMD2023 LDA Aggregate Aggregate Diesel 62492.97958 2469816 297086.6 49.3916685 49391.6685 2469816 South Coast AQMD2023 LDA Aggregate Aggregate Electricity 150700.3971 6237106 751566 0 0 6237106 South Coast AQMD2023 LDT1 Aggregate Aggregate Gasoline 758467.6481 27812996 3504563 1023.913006 1023913.006 1024279.466 27812996 27821405.09 27.16 LDT1 South Coast AQMD2023 LDT1 Aggregate Aggregate Diesel 360.7799144 8408.618 1256.88 0.366459477 366.4594769 8408.618 South Coast AQMD2023 LDT1 Aggregate Aggregate Electricity 7122.93373 303507.5 35798.19 0 0 303507.5 South Coast AQMD2023 LDT2 Aggregate Aggregate Gasoline 2285150.139 85272416 10723315 3338.798312 3338798.312 3356536.438 85272416 85922778.34 25.60 LDT2 South Coast AQMD2023 LDT2 Aggregate Aggregate Diesel 15594.68309 650362.8 76635.83 17.73812611 17738.12611 650362.8 South Coast AQMD2023 LDT2 Aggregate Aggregate Electricity 28809.63735 917592.8 145405.4 0 0 917592.8 South Coast AQMD2023 LHDT1 Aggregate Aggregate Gasoline 174910.3847 6216643 2605904 583.3851736 583385.1736 811563.1022 6216643 11211395.79 13.81 LHDT1 South Coast AQMD2023 LHDT1 Aggregate Aggregate Diesel 125545.0822 4994753 1579199 228.1779285 228177.9285 4994753 South Coast AQMD2023 LHDT2 Aggregate Aggregate Gasoline 30102.75324 1034569 448486.2 111.5753864 111575.3864 209423.5025 1034569 2969599.008 14.18 LHDT2 South Coast AQMD2023 LHDT2 Aggregate Aggregate Diesel 50003.13116 1935030 628976.5 97.84811618 97848.11618 1935030 South Coast AQMD2023 MCY Aggregate Aggregate Gasoline 305044.5141 2104624 610089 57.849018 57849.018 57849.018 2104624 2104623.657 36.38 MCY South Coast AQMD2023 MDV Aggregate Aggregate Gasoline 1589862.703 55684188 7354860 2693.883526 2693883.526 2744536.341 55684188 57109879.73 20.81 MDV South Coast AQMD2023 MDV Aggregate Aggregate Diesel 36128.1019 1425691 176566.9 50.65281491 50652.81491 1425691 South Coast AQMD2023 MDV Aggregate Aggregate Electricity 16376.67653 537591.7 83475.95 0 0 537591.7 South Coast AQMD2023 MH Aggregate Aggregate Gasoline 34679.50542 330042.9 3469.338 63.26295123 63262.95123 74893.26955 330042.9 454344.9436 6.07 MH South Coast AQMD2023 MH Aggregate Aggregate Diesel 13122.69387 124302 1312.269 11.63031832 11630.31832 124302 South Coast AQMD2023 MHDT Aggregate Aggregate Gasoline 25624.3151 1363694 512691.3 265.2060557 265206.0557 989975.6425 1363694 9484317.768 9.58 MHDT South Coast AQMD2023 MHDT Aggregate Aggregate Diesel 122124.488 8120623 1221858 724.7695868 724769.5868 8120623 South Coast AQMD2023 OBUS Aggregate Aggregate Gasoline 5955.291639 245774 119153.5 48.07750689 48077.50689 86265.88761 245774 579743.8353 6.72 OBUS South Coast AQMD2023 OBUS Aggregate Aggregate Diesel 4286.940093 333969.8 41558.29 38.18838072 38188.38072 333969.8 South Coast AQMD2023 SBUS Aggregate Aggregate Gasoline 2783.643068 112189.6 11134.57 12.19474692 12194.74692 39638.85935 112189.6 323043.5203 8.15 SBUS South Coast AQMD2023 SBUS Aggregate Aggregate Diesel 6671.825716 210853.9 76991.94 27.44411242 27444.11242 210853.9 South Coast AQMD2023 UBUS Aggregate Aggregate Gasoline 957.7686184 89782.63 3831.074 17.62416327 17624.16327 17863.66378 89782.63 91199.2533 5.11 UBUS South Coast AQMD2023 UBUS Aggregate Aggregate Diesel 13.00046095 1416.622 52.00184 0.239500509 239.5005093 1416.622 South Coast AQMD2023 UBUS Aggregate Aggregate Electricity 16.11693886 1320.163 64.46776 0 1320.163