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and natural gas as part of the project design. The energy conservation measures shall be <br />subject to modification as new technologies are developed, or if current technology becomes <br />obsolete, through replacement and shall be reviewed by the Planning and Building Agency prior <br />to issuance of a building permit. (Impact 4.12-8) <br />Project Analysis and Conclusion <br />The City determined that impacts related to additional water demand (Impact 4.12-1), expanded <br />water treatment facilities (Impact 4.12-2), exceed wastewater treatment requirements (Impact <br />4.12-3), increase wastewater generation (Impact 4.12-5), generate solid waste exceeding <br />permitted capacity (Impact 4.12-6), and compliance with applicable federal, state, and local solid <br />waste regulations (Impact 4.12-7) were below the level of significance and did not require <br />mitigation. Impacts related to new or expanded wastewater conveyance systems (Impact 4.12- <br />4) and an increased demand for electricity and gas (Impact 4.12-8) were less than significant <br />with the implementation of mitigation measures. <br />Any future development within the TZC area requiring discretionary action would continue to be <br />subject to a project -level CEQA review at the time an application is filed for an individual project. <br />Mitigation measures MM4.12-1 through MM4.12-4 would continue to apply. <br />The new regulations identified in Table 1 — Current and Proposed Text Regulations would <br />provide any nonconforming business that operates in an unlawful manner, including but not <br />limited to, frequent code violations, police calls, or loitering complaints, or is not in good <br />standing with the City, including, but limited to constant service calls or lapses in Business <br />License renewal, will lose its nonconforming status, enabling the City to take corrective action <br />as it deems appropriate, including business license revocation or terminating utility services or <br />connections. Also, in addition, compliance with the existing regulations and proposed <br />amendments will assure that potential impacts are not exacerbated which will result in a <br />beneficial impact to utilities and service systems. Therefore, the existing less than significant <br />utilities and service systems impacts would not result in new or different impacts requiring the <br />preparation of a subsequent or supplemental EIR. <br />5.13 GLOBAL CLIMATE CHANGE <br />This section analyzes the effects to global climate change from implementing the proposed <br />zoning code regulations. <br />Would the project: <br />a. Generate greenhouse gas emissions, either directly or indirectly, that may have a <br />significant impact on the environment? <br />b. Generate greenhouse gas emissions, conflict with any applicable plan, policy or <br />regulation of an agency adopted for the purpose of reducing the emissions of <br />greenhouse gas? <br />TZC EIR Conclusions <br />• Long-term cumulative development pursuant to the Transit Zoning Code at full build -out <br />would result in significant localized air quality impacts for operational level emissions. As <br />a whole, this impact is significant for operational emissions due to the size of the Transit <br />Zoning Code (SD 84A and SD 84B) area. (Impact 4.13-1: Significant and Unavoidable <br />and no feasible mitigation) <br />January 2025 50 Environmental Analysis <br />