HomeMy WebLinkAboutSP 144D; SDG&E Wastewater Facility; Specific Plan (SP) (5)1200 ELM AVENUE • ^^fl • TELEPHONE:
CARLSBAD, CALIFORNIA 92008 W^feW/ tfM (714)729-1181
City of CarMmb
December 2, 1975
TO: EIR REVIEW AGENCIES
FROM: CARLSBAD PLANNING DEPARTMENT
SUBJECT: ENVIRONMENTAL REVIEW FOR SDG&E AMENDMENT TO SPECIFIC PLAN
AUTHORIZING CONSTRUCTION OF ENCINA UNIT #5 (SP-144B)
The City of Carlsbad has received an application from San Diego Gas and
Electric requesting an amendment to their existing Specific Plan which
authorizes construction of a fifth generating unit at the Encina Power
Plant. The amendment would replace four existing stacks at the plant
with a single 400' MSL stack for the purpose of reducing ground level
sulfur dioxide concentrations.
The City is obligated, under State Law and the Carlsbad Environmental
Protection Ordinance, to consider all previously certified environmental
impact reports for the project and to supplement those reports as necessary.
Accordingly, I am notifying you of the City's intention to consider the
Encina 5 project. I have attached a synopsis of environmental issues re-
lating to the project and the sources of documentation for each respective
issue. Should you desire any further information or wish to comment on
the project, please contact this office.
Sincerely,
£DftnalcTA. Agatep
Planning Director
DAA/SDH/vb
Attachment
CITY OF CARLSBAD
PLANNING DEPARTMENT
STAFF REPORT
January 28, 1976
ENVIRONMENTAL IMPACT INFORMATION
ENCINA POWER PLANT STACK MODIFICATION
EIR-205
BACKGROUND: The original Specific Plan for SDG&E (SP-144) was approved
prior to the application of CEQA (California Environmental Quality Act).
Consequently, no EIR was required for that project, In 1973 the
applicant proposed to amend the original Specific Plan by adding a
single 400' above sea level stack with the fifth generating unit.
The City conferred with the California Public Uti-lities Commission (CPUC)
and the State Resources Agency in an attempt to determine EIR require-
ments for the Stack modification project. It was determined that:
1) The CPUC was lead agency for Encina Unit #5 and as such was
responsible for preparation of the Encina #5 EIR;
2) Since the Encina Unit #5 EIR was not completed at the time of the
tack modification application, the City was responsible for pre-
paring an EIR dealing only with the impacts of the Stack modifi-
cation at the generating plant.
3) Additionally, it was understood that the CPUC would incorporate the
stack modification EIR information in preparing the Encina Unit #5
EIR.
The City selected and contracted Westec Services to prepare the draft
stack modification EIR. Reimbursement of the EIR preparation cost was
borne by SDG&E pursuant to Carlsbad Environmental Protection Ordinance.
The Final (certified) Stack Modification EIR #205 has been attached for
your review.
II. EIR REQUIREMENTS FOR PRESENT APPLICATION: SDG&E has requested that the
stack modification amendment (SP-144A) be reapproved by the City. Be-
cause of the time required to process other permit applications, SDG&E
has only recently secured the final permit from the State of California
Coastal Conservation Commission.
The Carlsbad Environmental Protection Ordinance and the California
Environmental Quality Act state that no new EIR is required unless:
1) Substantial changes are proposed to the project which would require
new environmental information;
2) The circumstances under which the project is to be carried out
have changed.
In approving a project for which an EIR has previously been certified,
the approving agency must consider all information contained in that
Certified EIR (EIR 205). However, the lead agency is not required
to conduct public hearings on the review.
Staff has recommended that the Planning Commission and City Council
find that the previously certified EIR 205 be found to meet all
CEQA and Title 19 requirements for reasons of Prior Compliance
for the following reasons:
1) The application as submitted by SDG&E is identical to the 1973
request for Specific Plan Amendment and the circumstances under
which the proposed stack modification will be designed and
constructed have not changed.
2) The California Coastal Zone Conservation Commission has imposed
conditions designed to mitigate air quality impacts of the
Encina Power Plant's operation. These measures, in Staff's
opinion, are consistent with the Carlsbad Environmental
Protection Ordinance.
3) Conditions and mitigations imposed by the San Diego County
Air Pollution Control District (Carlsbad's air quality staff)
are now and will in the future insure that the San Diego Gas
and Electric Generating facility meets ambient air standards
as required by the State of California Air Resources Board.
4) Mitigations and conditions suggested by this Environmental
Report are incorporated into the proposed conditions should
the Specific Plan Amendment be approved.
Should the Planning Commission or City Council find that the
existing EIR is not adequate and should they require additional
information prior to making a decision, the following options may
be considered:
1) The stack modification EIR may be supplemented with addition-
al information if the Commission and/or City Council feel
that additional information is needed. This would require an
estimated month's additional time to prepare the supplemental
information and notify the applicable reviewing agencies.
2) The CPUC EIR could be considered in addition to the Stack
modification EIR(although the City's comments are contained in
the PUC document. This would require approximately two weeks
delay to make the CPUC information available to the decision
makers. Since the CPUC EIR is voluninous, additional time for
review would probably be required.
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III. DISCUSSION: City staff has been following current activities and
complaints relating to air quality impacts of the existing Encina
power plant operation. Two new air quality studies controlled by
the San Diego Air Polution Control District (APCD) have been under-
taken since the certification of the Stack modification and CPUC
Encina Unit #5 EIR's.
The first study, completed by the Air Pollution Control District
in June 1975, examined the air quality impacts of Encina Unit #5.
The study concluded that with or without the additon of the 5th unit,
sulfur -dioxide (SC^) emissions from the plant are a significant air
quality problem. Based on the company's projections of need, the
study showed that ground level concentrations of S02 would decrease
slightly with the installation of the single stack. The APCD also
examined nitrogen dioxide, hydrocarbons and particulate emissions
(during normal operation) and concluded that these emissions were not
a significant problem. These results are essentially the same as
those contained in the Encina Unit #5 and Stack Modification EIR's.
The APCD is currently involved in an additional study of particulate
emissions from the power plant. This study was prompted by numerous
complaints from Carlsbad residents (primarily in the Terramar area)
concerning noise and "fallout" from the power plant. The complainants
have stated that when the "stacks are blown" at the plant (a process
which is done routinely to maintain operating efficiency of the
generators) small particles fall on the surrounding area, causing rust
and corrosion of painted surfaces and damage to plants. Some of the
complaintants have also alleged that the "fallout" causes illness.
The APCD's initial investigation of damage to house and auto paint
determined that the problem may be the product of the "disintegration
of cenospheres". Cenospheres are ferrous particles with some sulfates
present. One of the main sources of cenospheres is the combustion of
fuel in power plant boilers. The size and quantity of the cenospheres
produced depends on the amount of inorganics contained in the fuel
andrthe condition of the burner nozz:l:e.
When combined with moisture, the cenospheres disintegrate, causing the
following known effects:
1) The ferrous metal causes orange-thrown spots to form;
2) The sulfates react with moisture to form sulfuric or sulfurous
acid. This acid deteriorates paint on homes and cars.'
In an effort to confirm the presence of cenospheres at the Encina Power
Plant, the APCD has taken samples which have been sent to the following
laboratories for analysis:
Letter from Richard Baldwin, Chief of Surveillance and Enforcement Div.
of the San Diego County Air Pollution Control District, to California •
Coastal Zone Conservation Commission, November 7, 1975.
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TYPE OF TEST
Source testing-Samples taken
from power plant stacks during
both normal operation and dur-
ing soot blowing.
Ambient testing-Air samples
taken at selected sites in the
Terramar area and also at a
distance one mile from the
power plant.
Particle samples, samples of
damaged paint.
LABORATORY ANALYSIS
Crocker Nuclear Lab., U.C,
Davis
Crocker Nuclear Lab., U.D.
Davis
Lawrence-Livermore Lab.,
Sacramento; Environmental
Protection Agency, Denver
Office.
Final results of these studies will not be available before February.
It is possible that additional studies may be indicated. In light
of this, staff has proposed as a condition of approval of the present
application, that costs for additional monitoring equipment and air
quality analysis as deemed necessary by the Air Pollution Control
Officer be borne by SDG&E. A similar condition was also applied to
the Coastal Commission's Permit issued on November 19, 1975.
In addition, staff is proposing a condition which would incorporate
any future emission control measures imposed by the APCD into the
present Specific Plan Amendment. This condition would eliminate the
need to further amend the Specific Plan should SDG&E be required to
install equipment for the control and mitigation of the cenosphere
problem.
Inasmuch as the County Health Department (of which the APCD is a part)
is contracted to provide health and air quality control services to
the City of Carlsbad, staff feels that these conditions are appro-
priate.
Staff has been apprised of a cenosphere problem which was recently
studied at the Pacific Gas & Electric Moss Landing Power in Monterey
County. According to John Maloney, Air Pollution Control Officer
for Monterey County/ cenospheres emitted from the Moss Landing Plant
were traced to two 500' stacks. Complaints of fallout at Moss
Landing were coincident with periods of fuel oil usage (as opposed
to natural gas usage). Formation of the cenospheres was lessened,
but not completely eliminated with the use of low sulfur fuel oil.
This problem has been successfully abated with the installation of
equipment to control the cenospheres.^
2 Telephone Conversation with John Maloney, Air Pollution Control Officer,
Monterey County APCD, November 3, 1975
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t*•
The Moss Landing situation seems to indicate that increasing stack
height would not diminish emission of cenospheres. A cenosphere
problem could conceivably be spread over a wider area with an in-
crease in stack height. These effects however, must be studied
further before any conclusive results can be reached.3
IV DOCUMENTS ON FILE:
California Public Utilities Commission Final EIR and Decisions
California Coastal Zone Conservation Commission Reports
San Diego Air Pollution Control District Correspondence and Reports
Energy Commission Staff Reports and Decisions.
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