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I. Outline. Why be concerned about CEQA and Climate Change for affordable housing developments? (Josh)Climate change legislationGreenhouse gas reduction goalsImpact on small and moderately sized developmentsOn the horizon: SB 375Impact Mitigation (John)Climate Action PlansImproving a project and avoiding litigation (Kevin)Best practices for climate change analysis under CEQA.
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1. An Inconvenient Truth CEQA and Climate Change ImpactsSan Diego Housing Federation Annual ConferenceOctober 14, 2010 Josh Mukhopadhyay
Goldfarb & Lipman LLP
1300 Clay St, 11th Fl
Oakland, CA 94612
510 836-6336
jm@goldfarblipman.com
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3. II. Goals
Statutes and regulatory guidance on climate change and CEQA
Short term solution: project-level guidance
Long-term solution: program-level documents
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4. III. Relevance to Affordable Housing Developers
Projects that previously qualified for negative declarations, mitigated negative declarations, or CEQA exemptions may now be pushed towards conducting an EIR
Climate change will provide project opponents with additional leverage to exact concessions/draw out the environmental review process
General political pressure/expectation to be green, including climate change analysis and mitigation 11/4/2011 4
5. IV. California's Climate Change Legislation
6. 1. Key Climate Change Legislation AB 32: California Global Warming Solutions Act of 2006
SB 375: Transportation and Land Use Planning
SB 97: CEQA: Greenhouse Gas Emissions
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7. 2. AB 32 Key Provisions Establish 1990 Baseline for Greenhouse Gas (GHG) emissions
Cut 2020 GHG emissions to 1990 levels
Cut 2050 GHG emissions 80% below 1990 levels
Designate the California Air Resources Board (ARB) as the lead agency for drafting and implementing AB 32 regulations
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8. 3. AB 32 Implementation Timeline Jan 1, 2009: Adopt scoping plan indicating how emissions reductions will be achieved from significant GHG sources <completed>
2009: Draft rules to implement the measures described in the scoping plan <completed>
2010: Public comment on proposed rules <underway>
Jan 1, 2011: Rulemaking complete, opportunity to revise during 2011
Jan 1, 2012: Rules become effective
Dec 31, 2020: Deadline for reducing greenhouse gases to 1990 levels 8
9. 4. AB 32 Emissions Reduction Inventory and Targets 1990: 427 Million Metric Tons (MMTs) GHGs emitted statewide
1990 population 30 million = 14.2 tons/person
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10. 5. AB 32 Emissions Reduction Inventory and Targets (cont.) 2004 Inventory: 480 MMT
2004 population 36 million = 16 tons/person
2020 Business-as-Usual Projection: 596 MMT
2020 goal: 427 MMT
2020 projected population 44 million = 9.7 tons/person
2050 goal: 85.4 MMT
2050 projected population 60 million = 1.4 tons/person
For reference, a 1,000 mile plane flight currently emits ~0.2 tons GHGs
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11. 6. AB 32 Commercial/Residential Energy and Electricity Sector Reduction Targets From 2002-2004, the commercial/residential energy and electricity sectors averaged 32% of statewide GHG emissions (150 MMT).
Residential buildings accounted for about 65% of the commercial/residential energy sectors emissions.
These sectors are expected to grow 24% by 2020 (185.9 MMT) to accommodate the housing and energy needs of the 8 million people California expects to add between 2004 and 2020. 11
12. 7. There are Two Ways to Reduce the Commercial/Residential Energy and Electricity Sectors GHG Emissions: Lower carbon content fuel sources for electricity generation (renewable energy, carbon capture and sequestration, etc.)
Reduce energy consumption in commercial and residential buildings (construction, heating/cooling, water/sewage, etc.) 12
13. 8. AB 32 Transportation Sector Reduction Targets From 2002-2004, the transportation sector averaged 38% of statewide GHG emissions (179.3 MMT).
A 25% increase is expected by 2020 (225.4 MMT) because:
Population is increasing
Cars/person is increasing even faster
Vehicle Miles Traveled (VMTs) is increasing faster still
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14. 9. Three Ways To Reduce The Transportation Sector's GHG Emissions: Lower carbon content fuel sources (biofuels, electric vehicles)
Greater efficiency (increased gas mileage, hybrid-electric vehicles, high speed rail)
Land use strategies (infill/transit-oriented development, improved public transportation)
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15. 10. SB375: Transportation, Land Use, and Housing Planning
Aligns the timelines for housing elements (RHNA allocations) and regional transportation planning (RTPs)
Sets regional land use-based GHG reduction targets and requires the RTP to include a Sustainable Communities Strategy (SCS) that meets these targets
Transportation projects must be consistent with the SCS to receive state funding, but local plans do not need to conform with the SCS
Provides CEQA incentives 11/4/2011 15
16. AB32s land use target is modest, but keeping VMTs stable, much less reducing them, is an enormous challenge for SB375:
Meeting the land use target will require VMTs to be cut 3-4% below 2008 levels
VMT increases threaten to swamp efficiency and fuel source improvements and cause a net increase transportation emissions
SB375 is intended to create a better climate for dense, infill housing that is near transit and close to jobs and services
SB375s CEQA streamlining and exemptions may work to the benefit of affordable housing developers
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17. 11. SB375: Reduction Targets from 2005 Base Year 17
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Vehicles for change
Proposition 23
Existing suspension language
Consequences
SB 375 remains in place
GHG Analysis requirement under CEQA remains in place
Guidance from ARB may be interrupted, leaving lead agencies and project proponents in the lurch while still having to comply with GHG regulations 11/4/2011 18
19. V. CEQA and Climate Change
20. 1. SB 97 Required that the CEQA Guidelines Be Revised To Address Analysis of Climate Change Impacts
Senate Bill 97 (SB 97) mandated that the California Natural Resources Agency (the Resources Agency) adopt new CEQA Guidelines for "the mitigation of greenhouse gas (GHG) emissions or the effects of GHG emissions" by January 1, 2010.
These revised CEQA Guidelines became effective on March 18, 2010.
Available at http://ceres.ca.gov/ceqa/guidelines/ 20
21. 2. How does this guidance fit into the existing model? 11/4/2011 21
22. 3. CEQA In Brief Is it a project?
Is the project exempt?
Is the impact significant?
If not, file Negative Declaration
Can the impact be mitigated below a level of significance?
If so, file Mitigated Negative Declaration
If not, complete Environmental Impact Report and issue Statement of Overriding Considerations 22
23. 4. Revised CEQA Guidelines Must Analyze GHG Emissions, direct or indirect, and determine their significance and if they conflict with any applicable GHG reduction plan
Lead agency has discretion to conduct qualitative or quantitative analysis, but using a non-quantitative standard where a model exists for the source of greenhouse gas emissions opens you to legal challenges
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24. Revised CEQA Guidelines Contd Lead agency has discretion to select a significance threshold, but its choice must be supported by evidence
Lead agency can determine a project has no significant impact if it is compliant with a GHG reduction plan
Locally significant impacts can be justified by citing regional benefits
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25. 5. Take home lessons GHG evaluation should be a standard part of CEQA documents
Credible analytical methods exist
Feasible mitigation measures are available
Challenging issue continues to be thresholds of significance
Handle GHG programmatically in larger-scale plans and streamline later projects
Watch for conclusion of various threshold proposals
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26. 6. Interim Approach for Projects
Environmental Background
Identify Impacts
Determine Significance
Analyze Alternatives
Mitigate Impacts
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27. Environmental Background Step 1 Describe the existing global context in which climate change impacts are occurring and are expected to occur in the future
Step 2 Summarize the relevant state laws that address climate change (e.g. AB32)
Step 3 Describe any relevant statewide and/or regional GHG inventories to which the project would contribute
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28. Environmental Impacts Step 4 Using modeling software such as URBEMIS, quantify the project's direct and indirect GHG emissions and compare them to baseline conditions, including:
Construction emissions
Operational emissions
Step 5 Convert the GHG emissions into CO2 equivalents using an established "carbon calculator"
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29. Determine Significance Step 6 Discuss whether the project would enhance or impede the attainment of state GHG reduction targets and its relationship to local plans and policies
Step 7 Describe the cumulative, global climate change impacts to which the project would contribute
Step 8 Describe how the impacts of global climate change could impact the project
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30. Analyze Alternatives Step 9 Include alternatives that would meet the project objectives but would also reduce GHG emissions
Mitigate Impacts
Step 10 Identify mitigation measures that would reduce GHG emissions
Project re-design and/or operational changes
Compensatory mitigation (e.g. carbon offsets, sequestering, etc.)
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31. 7. Sample Significance Threshold Analysis
Bay Area Air Quality Management Districts has the most detailed guidance: http://www.baaqmd.gov/Divisions/Planning-and-Research/CEQA-GUIDELINES.aspx
Residential projects over the screening threshold of 56 (single family) or 78-91 (multifamily, depending on configuration) units will be presumed to produce enough GHGs to create a significant environmental impact
Projects over the screening threshold will have to analyze their GHG emissions and compare the result to the quantitative threshold of 1100 MT/year/project or 4.6 MT/person/year (6.6 MT for General Plans)
Projects over the quantitative threshold will have to show sufficient mitigation to get under the limit or else complete an EIR
This approach has been criticized by the development community as overly-ambitious and costly to implement
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32. Sample Significance Threshold Analysis Contd 32
33. Sample Significance Threshold Analysis, Contd 33
34. Sample Significance Threshold Analysis Contd
San Joaquin Valley Air Pollution Control District adopted a more permissive qualitative threshold proposal in Dec 2009: http://www.valleyair.org/Programs/CCAP/CCAP_idx.htm
This proposal has received criticism from environmental advocates and the Attorney Generals office: http://ag.ca.gov/globalwarming/pdf/comments_SJVAPCD_threshold_proposal.pdf
South Coast Air Quality Management District has a threshold for industrial projects and seems to be taking a wait-and-see approach for a residential standard: http://www.aqmd.gov/hb/2008/December/081231a.htm
San Diego County Air Pollution Control District has not provided any guidance
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35. 8. Sample Mitigation Measures The CEQA guidelines set forth four types of project mitigation measures:
Measures in an existing plan or program that are required by the lead agency
Project-specific features, design, or other measures
Off-site measures, including offsets
GHG sequestration
There is more specific guidance on GHG mitigation measures from BAAQMD, CAPCOA, the Attorney Generals Office, etc.:
Land Use
Transportation Demand Management
Exceed Title 24 Energy Efficiency Standards
Onsite generation
Meet Green Building Standards
Landscaping/Water Efficiency
Non Title 24 Energy Efficiency Improvements
Offsite GHG Offsets 35
36. VI. SB 375 and CEQA
37. 1. SB 375 and CEQA SB 97-mandated CEQA Guideline revisions will generally benefit infill development
SB 375 provides streamlined environmental review processes for certain residential and mixed-use projects that are consistent with the SCS or APS
SB 375 provides an exemption and other benefits for developments that qualify for designation as Transit Priority Projects (TPPs)
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38. SB 375 and CEQA (continued) If a residential or mixed-use project (maximum 25% commercial use) is consistent with the SCS/APS but cannot fully mitigate its environmental impacts, it can bypass environmental review of:
certain climate impacts
growth inducing impacts
impacts on the regional transportation network
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39. 2. What is a TPP? Transit Priority Projects are dense and near transit:
50% residential use and a minimum net density of20 units/acre
If commercial use is included, floor area ratiomust exceed 0.75
Located within 0.5 miles of a major transit stop or high-quality transit corridor, as identified in the RTP
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40. 3. What are TPP Benefits? (continued) TPPs are exempt from CEQA if:
Maximum of 8 acres or 200 units and served by existing utilities
No significant impact on historic resources
15% more energy efficient and 25% more water efficient than Title 24 standards
5 acres open space per 1000 residents OR 20% moderate income OR 10% low income OR 5% very low income OR in-lieu fee payment
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41. What are TPP Benefits? (continued) TPPs that do not qualify for the exemption still receive benefits:
If a TPP can mitigate its impacts below the level of significance, it can file a Sustainable Communities Environmental Assessment, similar to a MND, but with a more favorable fair argument standard of review
If a TPP cannot mitigate its impacts below the level of significance, it need not analyze off-site alternatives or cumulative impacts that were addressed and mitigated in a prior EIR
A community can choose to exempt TPPs from reviewing traffic impacts, instead allowing them to comply with a local traffic mitigation policy
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42. Early Litigation (post AB32, pre updated CEQA Guidelines)
CEQA analysis should include climate change impacts
Attempts to evade this obligation by making de minimus effect/lack of guidance arguments were largely unsuccessful
This debate has largely been preempted by the CEQA Guideline update
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43. VIII. Solutions Short term: use available guidance to comply with climate change analysis requirement; also consider litigation risk
Long term: advocate for program-level plans that address climate change
Projects can tier off these program-level documents, simplifying their CEQA process
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44. IX. CEQA and SB 375 Resources Attorney General's Office
Document portal
http://www.ag.ca.gov/globalwarming/
Mitigation Measures (12/08)
http://ag.ca.gov/globalwarming/pdf/GW_mitigation_measures.pdf
Examples of on and off-site mitigation measures
Modeling Tools (5/07)
http://ag.ca.gov/globalwarming/ceqa/modeling_tools.php
Summaries of different modeling tools see CAPCOA for more details
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45. Governor's Office of Planning and Research
Technical CEQA Guidance (6/08)
http://www.opr.ca.gov/ceqa/pdfs/june08-ceqa.pdf
Proposes a three-step analytic process: (1) identify GHG emissions, (2) determine significance, and (3) mitigate impacts
California Air Resources Board
Document Portal
http://www.arb.ca.gov/cc/cc.htm
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46. California Air Pollution Control Officers Association
CEQA and Climate Change White Paper (1/08)
http://www.capcoa.org/CEQA/CAPCOA%20White%20Paper.pdf
Various alternatives for modeling tools and significance thresholds
Model Policies for GHGs in General Plans (6/09)
http://www.capcoa.org/modelpolicies/CAPCOA-ModelPolicies-6-12-09-915am.pdf
Quantifying GHG Mitigation Measures (9/10)
http://www.capcoa.org/wp-content/uploads/downloads/2010/09/CAPCOA-Quantification-Report-9-14-Final.pdf
Greenbelt Alliance
URBEMIS Modeling Guidelines
Stephanie Reyes <sreyes@greenbeltalliance.org>
Modifies the standard ITE traffic model for local behavior and infrastructure
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47. SB 375
ULI Impact Analysis Report (6/10)
http://www.uli.org/ResearchAndPublications/PolicyPracticePriorityAreas/Sustainability/SB375.aspx
NRDC Guide to Communities Tackling Global Warming (6/09)
http://www.nrdc.org/globalwarming/sb375/
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48. X. Sources Air Quality Guidelines, Bay Area Air Quality Management District.
Communities Tackle Global Warming: A Guide to Californias SB 375, Natural Resources Defense Council.
Database of State Incentives for Renewables and Efficiency
Growing Cooler, Urban Land Institute.
State of California:
Air Resources Board (AB 32 Scoping Plan)
Governors Office of Planning and Research (CEQA Guidelines)
Natural Resources Agency (CEQA Guidelines)
Curtis Alling, EDAW-AECOM
Beth Collins-Burgard, Latham and Watkins, LLP
Matt Vespa, Center for Biological Diversity
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