CEQA FINDING NO Sample Clauses
The "CEQA Finding No" clause serves to document a specific determination or finding made under the California Environmental Quality Act (CEQA) within a legal or administrative document. This clause typically references a particular numbered finding related to environmental review, such as whether a project will have significant environmental impacts or if certain mitigation measures are required. By clearly identifying the relevant CEQA finding, the clause ensures that the document complies with statutory environmental review requirements and provides a clear record for regulatory or legal purposes.
CEQA FINDING NO. N-1 Impact N-1. The proposed project has the potential to result in significant short-term noise impacts during exterior and interior construction activities.
CEQA FINDING NO. CC-1
CC-1. Generation of Greenhouse Gas (GHG) Emissions. The Project would result in a significant impact from both direct and indirect generation of GHG emissions. Finding(s): (1) Changes or alterations have been required in, or incorporated into, the project that mitigate or avoid the significant environmental effect as identified in the EIR.
CEQA FINDING NO. AQ-1 AQ-1. Construction emissions associated with dredging would exceed the APCD's daily significance threshold for NOx. Peak quarter emissions would be 9.8 tons NOx (during dredging), which would also exceed the 2.5 tons per quarter significance threshold.
CEQA FINDING NO. NOI-1 NOI-1. Project construction activities would generate noise that would result in exceeding established noise-levels thresholds for nearby existing land uses/sensitive receptors. FACTS SUPPORTING THE FINDING(S) LEVEL OF SIGNIFICANCE AFTER MITIGATION
CEQA FINDING NO. AQ-2 Impact AQ-2. The City-approved/California Coastal Commission-revised project would not exceed SCAQMD’s daily threshold emission levels for CO and ROC, however mitigation measures 7 & 8 would still apply to reduce CEQA FINDING NO. AQ-3 Impact AQ-3. The proposed project, in conjunction with other past, present, and reasonably foreseeable future projects, will result in a short-term air quality impact due to construction activities. The addition of emissions to an air basin designated as non-attainment is considered under CEQA to be a significant impact. CEQA FINDING NO. AQ-4 Impact AQ-4. The proposed project, in conjunction with other past, present, and reasonably foreseeable future projects, will result in significant cumulative long-term impacts to air quality.
CEQA FINDING NO. AQ-1 Impact AQ-1. The proposed project is anticipated to exceed the South Coast Air Quality Management District’s (SCAQMD's) daily threshold emission levels for NOx during construction activities. Further, the addition of emissions to an air basin designated as non-attainment is considered under CEQA to be a significant impact.
CEQA FINDING NO. WQ-1 WQ-1. Degradation of Surface Water and Sediment Quality due to Release of Pollutants during Construction. WQ-MM-1. Implement Water Quality Control Measures for Project Construction. Sonoma Land Trust (SLT), or its successors in interest (U.S. Fish and Wildlife Service [USFWS] and CDFW), and its contractors shall comply with conditions of construction permits from regulatory agencies, including the Regional Water Quality Control Board (RWQCB), to protect beneficial uses of water resources. RWQCB permit conditions require protection of water and sediment quality to the maximum extent practicable that is economically feasible and may include water quality monitoring surrounding the construction site, if appropriate. Compliance with permit conditions would adequately prevent degradation of water and sediment quality due to release of construction-related pollutants. CEQA FINDING NO. WQ-2 WQ-2. Degradation of Surface Water and Sediment Quality due to Increased Methyl Mercury Formation. WQ-MM-2. Develop and Implement a Methyl Mercury Adaptive Management Plan. Due to the uncertainties regarding mercury methylation and bioaccumulation processes, potential methyl mercury production at the Project site is best managed adaptively. Sonoma Land Trust (SLT), and its successors in interest (CDFW and USFWS), shall develop and implement an adaptive management plan to address methyl mercury production and accumulation in the restoration site.
CEQA FINDING NO. AQ-1 Impact AQ-1. Generation of Construction-Related Emissions in Excess of Draft Bay Area Air Quality Management District (BAAQMD) Standards Associated with Restoration. Mitigation Measure AQ-MM-1: Limit Construction Activity during Restoration. The project proponent will limit construction activity so that site preparation can occur on only one parcel at a time. This will ensure that construction emissions do not exceed the draft BAAQMD threshold for nitrogen oxide.
CEQA FINDING NO. AQ-1 Impact AQ-1. The proposed project is anticipated to exceed the South Coast Air Quality Management District’s (SCAQMD's) daily threshold emission levels for NOx during construction activities. Further, the addition of emissions to an air basin designated as non-attainment is considered under CEQA to be a significant impact. CEQA FINDING NO. AQ-2 Impact AQ-2. The City-approved/California Coastal Commission-revised project would not exceed SCAQMD’s daily threshold emission levels for CO and ROC, however mitigation measures 7 & 8 would still apply to reduce CEQA FINDING NO. AQ-3 Impact AQ-3. The proposed project, in conjunction with other past, present, and reasonably foreseeable future projects, will result in a short-term air quality impact due to construction activities. The addition of emissions to an air basin designated as non-attainment is considered under CEQA to be a significant impact. CEQA FINDING NO. AQ-4 Impact AQ-4. The proposed project, in conjunction with other past, present, and reasonably foreseeable future projects, will result in significant cumulative long-term impacts to air quality.
CEQA FINDING NO. AQ-1 AQ-1. Increase in Criteria Pollutant Emissions as a result of Construction. AQ-MM-1. Implement Bay Area Air Quality Management District (BAAQMD) best management practices (BMPs) to Reduce Emissions of PM10. To control the generation of construction-related PM10 emissions, Sonoma Land Trust shall incorporate the BAAQMD BMP measures to the degree feasible to ensure emissions are reduced as much as possible. These measures include the following: