SCH Number,Lead Agency Name,Lead Agency Title,Lead Agency Acronym,Document Title,Document Type,Received,Posted,Document Description,Document Portal URL,Project Title,Contact Full Name,Contact Authority,Contact Job Title,Contact Email Address,Contact Address 1,Contact Address 2,Contact City,Contact State,Contact Zip Code,Contact Phone Number,Location Coordinates,Cities,Counties,County Clerks,Location Cross Streets,Location Zip Code,Location Total Acres,Location Parcel Number,Location State Highways,Location Waterways,Location Airports,NOC Has Non Late Comment,NOC State Review Start Date,NOC State Review End Date,NOC Development Type,NOC Local Action,NOC Project Issues,NOC Local Review Start Date,NOC Local Review End Date,NOE Exempt Status,NOE Exempt Citation,NOE Reasons for Exemption,NOD Agency,NOD Approved By Lead Agency,NOD Approved Date,NOD Significant Environmental Impact,NOD Environmental Impact Report Prepared,NOD Negative Declaration Prepared,NOD Other Document Type,NOD Mitigation Measures,NOD Mitigation Reporting Or Monitoring Plan,NOD Statement Of Overriding Considerations Adopted,NOD Findings Made Pursuant,NOD Final EIR Available Location 2021040056,South Coast Air Quality Management District,,,"PAR 1426 –Emissions from Metal Finishing Operations, PAR 1469 –Hexavalent Chromium Emissions from Chromium Electroplating and Chromic Acid Anodizing Operations",NOE,4/2/2021,4/2/2021,"South Coast AQMD is proposing amendments to Rule 1426 to reduce fugitive emissions of hexavalent chromium, nickel, cadmium, and lead from metal finishing facilities that have tanks containing one or more of these metals by establishing building enclosure requirements to prevent emissions due to cross drafts; and housekeeping requirements and best management practices to minimize or prevent the accumulation of metal toxic air contaminants from tank solutions on surfaces as a result of spills, splashes, drips and dragout. Due to the relatively low health risks, copper is proposed to be removed from Rule 1426 requirements. In order to prevent duplicative requirements as well as streamline implementation, Rule 1426 amendments which are applicable to facilities with hexavalent chromium tanks subject to Rule 1469 have been incorporated into Proposed Amended Rule 1469. Other amendments to Rule 1469 are proposed to remove a reference to a chemical that is no longer used for testing high efficiency particulate arrestor (HEPA) filters and to update a table reference. Clarifying updates to definitions, recordkeeping, reporting, and exemptions in both Rules 1426 and 1469 are also proposed.",https://ceqanet.opr.ca.gov/2021040056,"PAR 1426 –Emissions from Metal Finishing Operations, PAR 1469 –Hexavalent Chromium Emissions from Chromium Electroplating and Chromic Acid Anodizing Operations",Kevin Ni,South Coast AQMD,N/A,kni@aqmd.gov,21865 Copley Dr,,Diamond Bar,CA,91765,9093962462,,,"Los Angeles, Orange, Riverside, San Bernardino","Los Angeles, Orange, Riverside, San Bernardino",,,,,,,,,,,,,,,,Other,15061(b)(3),"South Coast AQMD, as Lead Agency, has reviewed the proposed project pursuant to: 1) CEQA Guidelines Section 15002(k) – General Concepts, the three-step process for deciding which document to prepare for a project subject to CEQA; and 2) CEQA Guidelines Section 15061 – Review for Exemption, procedures for determining if a project is exempt from CEQA. The only physical modifications that may occur as a result of the proposed project are associated with implementing the building enclosure requirements, which may be achieved without involving construction or via minimal construction activities, depending on the affected facility. Further, the removal of copper metal finishing tanks and operations from Rule 1426 is expected to have no adverse effect on the environment. Compared to hexavalent chromium, nickel, cadmium or lead, copper has only acute non-cancer health effects at a higher relative concentration and the fugitive emissions of copper from these operations are not anticipated to cause acute health effects. For these reasons, it can be seen with certainty that implementing the proposed project would not cause a significant adverse effect on the environment. Therefore, the proposed project is exempt from CEQA pursuant to CEQA Guidelines Section 15061(b)(3) – Common Sense Exemption.",,,,,,,,,,,,