HomeMy WebLinkAboutCity Council - 2015-17 RESOLUTION NO. 2 015-17
A RESOLUTION OF THE CITY COUNCIL OF THE
CITY OF HUNTINGTON BEACH APPROVING AN ADDENDUM TO
THE FINAL ENVIRONMENTAL IMPACT REPORT
(SCH#2011111053) FOR THE REUSABLE BAG ORDINANCE
(SINGLE-USE CARRYOUT BAG ORDINANCE) AND DETERMINING THAT
SAID ADDENDUM, TOGETHER WITH OTHER PREVIOUSLY APPROVED
ENVIRONMENTAL DOCUMENTATION, SERVES AS THE APPROPRIATE
ENVIRONMENTAL DOCUMENTATION FOR THE PROPOSED REPEAL
OF THE REUSABLE BAG ORDINANCE
WHEREAS, Environmental Impact Report No. 11-002, State Clearinghouse
#201 1 1 1 1053 ("EIR"), was prepared by the City of Huntington Beach("City") to address the
environmental implications of the Reusable Bag Ordinance, codified as Huntington Beach
Municipal Code Chapter 5.95, and
The EIR was certified by City Council Resolution 2013-12, approved on March 18, 2013;
and
The City Council is considering whether to repeal HBMC Chapter 5.95 in its entirety (the
"Project"); and
In connection with the Project, an Addendum to the EIR, dated April 2015 (hereinafter
referred to as "the Addendum"), a copy of which is attached hereto as Exhibit"A" and
incorporated by this reference as though frilly set forth herein, has been prepared in order to
determine whether any significant environmental impacts which were not identified in the
previously approved EIR would result, or whether previously identified significant impacts
would be substantially more severe; and
The EIR and the Addendum shall be referred to herein collectively as the "CEQA
Documents." In connection with the Project and the City Council's review of the Addendum,
the City Council has independently reviewed all of the CEQA Documents and has exercised its
independent judgment in making the findings and determinations set forth herein.
NOW, THEREFORE, the City Council of the City of Huntington Beach does hereby
resolve as follows:
1. That the above recitals are all true and correct.
2. That the Addendum was prepared in compliance with the requirements of the
California Environmental Quality Act, the State CEQA Guidelines, and the City's
Zoning and Subdivision Ordinance.
1
15-4656/119723.doc
Resolution 2015-17
3. That, based upon the evidence submitted and as demonstrated by the analysis
included in the Addendum, none of the conditions described in Sections 15162 or
15163 of the State CEQA Guidelines calling for the preparation of a subsequent
or supplemental EIR or negative declaration have occurred; specifically:
a. There have not been any substantial changes that require major revisions
of the CEQA Documents because of new significant environmental effects
or a substantial increase in the severity of previously identified significant
effects;
b. There have not been any substantial changes with respect to the
circumstances under which the Project is undertaken that require major
revisions of the CEQA Documents due to the involvement of new
significant environmental effects or a substantial increase in the severity of
previously identified significant effects; and
C. There is no new information of substantial importance, which was not
known and could not have been known with the exercise of reasonable
diligence at the time the Final EIR was certified as complete that shows
any of the following: (a) the Project will have one or more significant
effects not discussed in the Final EIR, (b) significant effects previously
examined will be substantially more severe than shown in the Final EIR;
(c) mitigation measures or alternatives previously found not to be feasible
would in fact be feasible and would substantially reduce one or more
significant effects of the Project, but the Project proponents decline to
adopt the mitigation measure or alternative; or (d) mitigation measures or
alternatives which are considerably different from those analyzed in the
Final EIR would substantially reduce one or more significant effects on
the environment, but the Project proponents decline to adopt the
mitigation measure or alternative.
3. That, pursuant to the above findings, the City Council determines that the
previously-approved CEQA Documents, together with the Addendum, are
adequate to serve as the required environmental documentation for the
Project.
2
15-4656/119723.doc
Resolution 2015-17
PASSED AND ADOPTED by the City Council of the City of Huntington Beach at a
regular meeting thereof held on the 2 0 t h day of April , 2015.
AV�Ma
REVIEWED PPROVED: APPROVED FORM:
�Iitfjan-ager City Attorney 44q`��
INITIATE ND APPROVED:
Dir ctor o Panning and Building
3
15-4656/119723.doc
Resolution 2015-17
EXHIBIT A
Exhibit "-A-".- -Res.o-l-ution
2D,15 L7
c -
r
j City ®f Huntingfon Beach
IZ ea ®f t he Inn l ®LTse
n
Car 6Ut gar Ordinance w
-
_ r
M Administrative-Draft
Addendum to, the
Final EI RI
al—
SC3 #2011111053
rz
w
4 t
x{
rk
April 2015
t�
Ck
n
Cr
a
Huntington Beach
Repeal of the Single-Use
Carryout Bag Ordinance
Addendum to the
Final Environmental Impact Report
SCH #2011111053
Prepared for:
City of Huntington Beach
Department of Planning and Building
2000 Main Street, PO Box 190
Huntington Beach, CA 92648
Contact: Mr. Hayden Beckman, Assistant Planner
(714) 374-5317
Prepared with the assistance of
Rincon Consultants, Inc.
180 North Ashwood Avenue
Ventura, California 93003
April 2015
Repeal of the Single-Use Carryout Bag Ordinance
Environmental Impact Report Addendum
Repeal of the Single-Use Carryout Bag Ordinance
Addendum to the Final EIR
TABLE OF CONTENTS
TS
Page
Introduction.......................................................................................................................1
ProjectDescription............................................................................................................1
EnvironmentalImpacts....................................................................................................3
AirQuality................................................................................................................3
BiologicalResources................................................................................................6
Greenhouse Gas Emissions ....................................................................................7
Hydrology and Water Quality ............................................................ ...8
Conclusion ......................................................................................................................10
References ........................................................................................................................11
BMW
City of Huntington Beach
Repeal of the Single-Use Canyout Bag Ordinance
Environmental Impact Report Addendum
This page intentionally left blank
City of Huntington Beach
Repeal of the Single-Use Carryout Bag Ordinance
Environmental Impact Report Addendum
INTRODUCTION
This document is an addendum to the Single-Use Carryout Bag Ordinance Final Environmental
Impact Report(EIR) that was adopted by the Huntington Beach City Council in March 2013
(SCH#2011111053).The Single-Use Carryout Bag Ordinance("the Bag Ordinance") went into
effect in November 2013.The Bag Ordinance prohibits the distribution of plastic carry-out bags
and requires a ten(10)cent charge on the issuance of recyclable paper carry-out bags at
specified retail establishments located within the City of Huntington Beach's corporate limits.
All stores affected by the Bag Ordinance are required to provide reusable bags to customers
either for sale or at no charge, and each store is encouraged to promote the use of reusable bags
through staff education and customer outreach.Prior to adoption of the ordinance,an estimated
102.2 million single-use plastic bags were used in Huntington Beach annually. Using the bag
use assumptions from the Final EIR, it is estimated that currently with the Bag Ordinance
approximately 5.1 million plastic bags are utilized annually in Huntington Beach.
The City is now proposing to repeal the Bag Ordinance and thus conditions related to carryout
bag use at the specified retailers would return to pre-ordinance conditions(prior to November
2013).With the proposed repeal of the Bag Ordinance,all stores in Huntington Beach could
distribute plastic carry-out bags and would not be required to charge for recyclable paper carry-
out bags or provide reusable bags.The proposed repeal of the Bag Ordinance would result in
similar conditions and impacts as analyzed under Alternative 1:The No Project Alternative in
Section 6.0,Alternatives,of the Final EIR.
According to Section 15164 of the California Environmental Quality Act(CEQA) Guidelines,an
addendum to a previously adopted Final EIR is the appropriate environmental document in
instances when"only minor technical changes or additions are necessary" and when the new
information does not involve new significant environmental effects beyond those identified in
an adopted Final EIR. The action being contemplated involves repealing the Bag Ordinance and
adopting a project similar to the No Project Alternative analyzed in the Final EIR.The City's
proposed repeal of the Bag Ordinance would have no new significant environmental effects.
Since the proposed repeal of the Bag Ordinance does not require substantial changes to the No
Project Alternative,major revisions of the EIR analysis are not warranted.Further the repeal of
the Bag Ordinance would not create any new significant impacts as compared to the project
studied in the EIR.As such,a subsequent EIR pursuant to Section 15162 of the CEQA Guidelines
would not be warranted and an addendum is the appropriate environmental document under
CEQA.
This addendum includes a description of the currently proposed repeal of the Bag Ordinance
and a comparison of the impacts of the proposed repeal to those identified for the City's
approved Bag Ordinance,which was studied in the Final EIR that the City certified in March
2013.
PROJECT DESCRIPTION
The proposed repeal of the Single-Use Carryout Bag Ordinance("Bag Ordinance")would
remove the existing ban on the issuance of plastic carryout bags and a minimum ten(10) cent
City of Huntington Beach
1
Repeal of the Single-Use Carryout Bag Ordinance
Environmental Impact Report Addendum
charge on the issuance of recyclable paper carryout bags at"stores",as defined by the Bag
Ordinance.It would also remove the requirement that stores provide reusable bags to
,customers,either for sale or at no charge.Thus,stores would be able to distribute carryout bags
how they see fit,similar to the way bags were distributed to customers prior to the Bag
Ordinance going into effect in November 2013. Single-use plastic and paper carryout bags
would generally be available free-of-charge to customers at most retail stores in Huntington
Beach. In addition,reusable carryout bags would be available for purchase at most retailers.
With repeal of the Bag Ordinance,plastic carryout bag use would increase compared to use
under current conditions with the Bag Ordinance and total use of plastic carryout bags would
be similar to conditions prior to adoption of the Bag Ordinance. Repealing the Bag Ordinance
would likely reduce the use of paper carryout bags and reusable bags as it is anticipated that
customers would utilize"free" or no cost plastic carryout bags distributed by retailers.
Using the assumptions of bag use from the Final EIR,it is estimated that currently with the Bag
Ordinance (as shown in Table 1 below)approximately 5.1 million plastic bags,45.99 million
paper bags and approximately 982,676 reusable bags are utilized per year in Huntington Beach.
Table 2 shows the estimated plastic bag use in the City if the Bag Ordinance is repealed.As
shown,plastic bag use would increase by approximately 99.39 million bags per year.Plastic bag
use in Huntington Beach would be approximately 104.5 million bags per year,similar to the
estimated bag use prior to adoption of the Bag Ordinance.
Table I
Existing Bag Use with Bag Ordinance
Replacement Bags Used
Type of Bag Assumption Explanation Post-
Ordinance
Adoption
Because the Ordinance does not apply to all retailers,
Single-Use Plastic 5% remaining some single-use plastic bags would remain in 5,109,917
circulation.
Although the volume of a single-use paper carryout bag
is generally 150%of the volume of a single-use plastic
Single Use Paper 45% bag,such that fewer paper bags would be needed to 45,989,254
carry the same number of items, it is conservatively
assumed that paper would replace plastic at a 1:1 ratio.
Although a reusable bag can, by definition, be used 125
Reusable 50% times, it is conservatively assumed that a reusable bag 982,676
would be used by a customer once per week for one
year, or 52 times.
Total Bag Use With Ordinance 52,081,848
Total Single-Use Plastic Bag Use With Ordinance 5,109,917
[1]Rates utilized in the City of Huntington Beach Final EIR, SCH#2011111053, Certified March 2013.
City of Huntington Beach
2
Repeal of the Single-Use Carryout Bag Ordinance
Environmental Impact Report Addendum
Table 2
Estimated Single-Use Plastic Bag Use After Ordinance Repeal
(Number of
Population single-use Total Bags
Area [�] plastic bags Explanation Used
Used per Annually
Person [2]
While it is acknowledged that as a result of the
Ordinance, some peoples'behaviors may have changed
Huntington 195,999 533.18 and they may solely use reusable bags, it is assumed 104,502,747
Beach that 100616 of the people who switched from plastic bags
with the ban would switch back to using plastic bags
after the repeal.
Total Increase in Single-Use Plastic Bags 99,392,830
[1]California Department of Finance,E-5,May 2014
[2]Based on per bag use assumptions in original Huntington Beach Final EIR, Certified March 2013
The City's objectives for the Bag Ordinance,as identified in the Final EIR's Section 2.0,Project
Description,included:
• Reducing the number of single-use plastic bags distributed by retailers and used by
customers in Huntington Beach
• Deterring the use of paper bags by customers in Huntington Beach
• Promoting a shift toward the use of reusable carryout bags by retail customers m
Huntington Beach
• Reducing the environmental impacts related to single-use plastic carryout bags,such as
impacts to biological resources(including marine environments) and water quality
• Avoiding litter and the associated adverse impacts to stormwater systems,aesthetics
and the marine environment(Pacific Ocean and Bolsa Chica Ecological Reserve)
With repeal of the Bag Ordinance,these objectives of the Bag Ordinance would also be
removed.
ENVIRONMENTAL. IMPACTS
This section addresses each of the environmental issues studied in the Final EIR,comparing the
effects of the proposed repeal of the Bag Ordinance with the effects of the Bag Ordinance that
was the subject of the certified Final EIR(March 2013).
Air Quality
Manufacture and Use
In the Final EIR,it was determined(see Impact AQ-1) that while the Bag Ordinance would
potentially alter processing activities related to bag production,which has the potential to
increase air pollutant emissions,the Bag Ordinance is expected to substantially reduce the
number of single-use plastic carryout bags,thereby reducing the total number of bags
manufactured and overall emissions associated with bag manufacture and use.Therefore,air
quality impacts related to alteration of processing activities were determined to be Class IV,
City of Huntington Beach
rw 3
Repeal of the Single-Use Carryout Bag Ordinance
Environmental Impact Report Addendum
beneficial.Table 3 below shows the estimated emissions associated with bag manufacture and
use under existing conditions with the Bag Ordinance.
Table 3
Existing Air Pollution Emissions by Bag Type -with Bag Ordinance
Existing#of Ozone AA Emissions Existing Ozone Existing AA
Carryout Bag Bags Used per Emissions(kg) (kg) per 1,000 Emissions per Emissions
Type Year per1,000 bags bags year(kg) per year(kg)
[1,2] [1,3] [4] [4]
Single-Use 5,109,917 0.023 1.084 118 5,539
Plastic
Recycled 45,989,254 0.03 2.06 1,380 94,738
Paper
Reusable 982,676 0.032 3.252 31 3,196
Total Existing Emissions with Ordinance 1,529 103,473
Emissions Pre-Ordinance 2,351 110,783
Net Change -822 -7,310
(Ordinance minus Pre-Ordinance)
% Change -54% -7%
[1]Impact rate per bag as stated in Stephen L.Joseph,2010,Ecobilan,2004;FRIDGE,2002;and Green Cities California MEA,
2010;Santa Monica Single-use Carryout Bag Ordinance Final EIR,January 2011.
[2]Emissions per 1,000 bags from Ecobilan,2004,Santa Monica Single-use Carryout Bag Ordinance Final EIR,January 2011.
[3]Emissions per 1,000 bags from FRIDGE,2002 and Green Cities California MEA, 2010;Santa Monica Single-use Carryout
Bag Ordinance Final EIR,January 2011.
(41 Emissions per year=(Emissions in kg per 1,000 bags rate x number of bags used per year/1,000)
With repeal of the Bag Ordinance,air pollutant emissions associated with bag manufacture and
use may increase as the overall number of single-use plastic carryout bags would increase by
approximately 99.39 million plastic bags per year.Table 4 shows the anticipated emissions if the
Bag Ordinance were to be repealed.Ozone emissions and atmospheric acidification emissions
associated with single use plastic bag manufacturing and use would increase by approximately
875 kg per year for ozone and 9,808 kg per year for atmospheric acidification compared to
existing conditions with the Bag Ordinance.However, these impacts would not be significant
because any manufacturing facilities would be required to adhere to existing Air Pollution
Control District regulations and permit requirements for operations. Compliance with
applicable regulations would ensure that manufacturing facilities would not generate emissions
conflicting with or obstructing implementation of the applicable air quality plan,violate any air
quality standard,contribute substantially to an existing or projected air quality violation,or
result in a cumulatively considerable net increase of any criteria pollutant.Compliance with
existing regulations would reduce impacts to a less than significant level and the air quality
pollutant emissions from manufacturing carryout bags would be similar to the conditions in the
City prior to adoption of the Bag Ordinance.
City of Huntington Beach
4
Repeal of the Single-Use Carryout Bag Ordinance
Environmental Impact Report Addendum
Table 4
Air Pollution Emissions by Bag Type -with Repeal
Proposed# Ozone AA Emissions Ozone AA Emissions
Carryout Bag of Bags Emissions(kg) (kg)per 1,000 Emissions per per year(kg)
Type Used per per 1,000 bags bags year(kg) [4]
Year [1,2] [133] [4]
Single-Use
Plastic 104,502,747 0.023 1.084 2404 113,281
Recycled Paper 0 0.03 2.06 0 0
Reusable 0 0.032 3.252 0 0
Total Proposed Emissions with Repeal 2,404 113,281
Existing Emissions with Ordinance 1,529 103,473
Net Change 874.9 9,808
(Total minus Existing)
%Change 57% 9%
[1]Impact rate per bag as stated in Stephen L.Joseph,2010;Ecobilan,2004;FRIDGE,2002;and Green Cities Califomia MEA,
2010;Santa Monica Single-use Carryout Bag Ordinance Final EIR,January 2011.
[2]Emissions per 1,000 bags from Ecobilan,2004;Santa Monica Single-use Carryout Bag Ordinance Final EIR,January 2011.
[3]Emissions per 1,000 bags from FRIDGE,2002 and Green Cities Califomia MEA,2010;Santa Monica Single-use Carryout
Bag Ordinance Final EIR,January 2011.
[4]Emissions per year=(Emissions in kg per 1,000 bags rate x number of bags used per year/1,000)
Emissions Related to Truck Taps
In the Final EIR(as discussed in Impact AQ-2),the Bag Ordinance was anticipated to generate
air pollutant emissions associated with an incremental increase in truck trips to deliver paper
and reusable carryout bags to local retailers.However,emissions did not exceed South Coast
Air Quality Management District(SCAQMD) operational significance thresholds.Therefore,
operational air quality impacts were determined to be Class III,less than significant.
With repeal of the Bag Ordinance,truck trips would decrease compared to existing conditions
with the Bag Ordinance as plastic bags are lighter in weight and smaller in overall size and
volume compared to paper and reusable bags (thus fewer trips would be necessary to deliver
bags to retailers).Table 5 summarizes the net change in truck trips as a result of repealing the
Bag Ordinance.With a reduction in the number of truck trips(a reduction of approximately 173
truck trips per year),emissions associated with these truck trips would also be incrementally
reduced compared to existing conditions. Thus,with repeal of the Bag Ordinance,emissions
associated with truck trips would be beneficial compared to existing conditions and the air
quality emissions related to carryout bag use would be similar to the conditions in the City
prior to adoption of the Bag Ordinance.
IEW City of Huntington Beach
wr 5
Repeal of the Single-Use Carryout Bag Ordinance
Environmental Impact Report Addendum
Table 5
Estimated Truck Trips per Day With Repeal
Carryout Bag Proposed#of Bags Number of Bags Proposed Truck Proposed Truck
Type Used per Year per Truck Load [1] Trips Per Year[2] Trips per Day
Single-Use Plastic 104,502,747 2,080,000 50.2 0.138
Recycled Paper 0 217,665 0.0 0.000
Reusable 0 108,862 0.0 0.000
Proposed Truck Trips for Carryout Bags with Repeal 50.2 0.138
Truck Trips for All Carryout Bags with Ordinance 222.8 0.610
Net New Truck Trips with Repeal -172.5 -0.473
t11 City of Santa Monica Single-Use Carryout Bag Ordinance EIR(SCH#2010041004),January 2011.
t21(Number of Carryout Bags Per Year)/(Number of Carryout Bags per Truck)=Truck Trips per Year
Biological Resources
In the Final EIR(see Impact BIO-1),it was determined that while the Bag Ordinance would
incrementally increase the number of paper and reusable bags within Huntington Beach,the
reduction in the amount of single-use plastic bags would incrementally reduce the amount of
litter entering coastal and marine habitats, thus reducing litter-related impacts to sensitive
species,plant communities, and coastal wetland areas. This was considered a Class IV,beneficial,
effect(Impact BIO-1 in the Final EIR).
The proposed repeal of the Bag Ordinance would incrementally reduce the number of paper
and reusable bags within Huntington Beach.However, the increase in the amount of plastic
carryout bags could incrementally increase the amount of litter entering coastal and marine
habitats,thus increasing litter-related impacts to sensitive species,plant communities,and
coastal wetland areas.
All carryout bags,including single-use plastic,paper, and reusable bags,have the potential to
affect coastal habitats such as the Pacific Ocean and Bolsa Chica Ecological Preserve when bags
are improperly disposed of.These bags can become litter that enters the storm drain system and
ultimately enters into coastal and marine environments.As described in the Setting of EIR
Section 4.2,Biological Resources,litter that enters coastal habitats can adversely affect sensitive
species that inhabit coastal and marine environments,including sea turtles, seals,whales,otters,
or bird species as a result of ingestion or entanglement. Each type of carryout bag's potential to
become litter varies and is based on the number of bags disposed of as well as the bag's weight
and material.
Repealing the existing Bag Ordinance would increase plastic bag usage by 99.39 million bags
per year compared to existing conditions in 2015 with the Bag Ordinance (from 5.1 million to
104.5 million bags per year).This increase in plastic bags would generally increase litter-related
impacts to sensitive species,plant communities,and coastal wetland areas compared to
conditions with the Bag Ordinance implemented. Impacts for the proposed repeal of the Bag
Ordinance would be similar to the impacts of the No Project Alternative identified in the Final
EIR. As stated in EIR Section 6.0,Alternatives,the No Project Alternative(which is similar to
repealing the Bag Ordinance) would not achieve the Bag Ordinance's beneficial effects relative
City of Huntington Beach
6
Repeal of the Single-Use Carryout Bag Ordinance
Environmental Impact Report Addendum
to biological resources(sensitive species),nor would it result in the general benefits with respect
to litter accumulation that are expected to result from implementation of the Bag Ordinance.
However,litter related impacts would be the same or similar to conditions prior to the adoption
of the Bag Ordinance. Further,stormwater discharges from the City are regulated under the
National Pollutant Discharge Elimination System(NPDES) permit system.Locally,Huntington
Beach is a part of the Santa Ana Region Waste Discharge Requirements for the County of
Orange,Orange County Flood Control District,and The Incorporated Cities of Orange County
within the Santa Ana Region Areawide Urban Stormwater Runoff Orange County(Order No.
R8-2009-0030,NPDES No.CAS618030) (Municipal NPDES Permit). As one of the co-permittees
of this Municipal NPDES Permit,the City is responsible for the management of storm drain
systems within their jurisdiction and are required to implement management programs,
monitoring programs,implementation plans and all best management practices (BMPs)
outlined in the Drainage Area Master Plan(DAMP),and take any other actions as may be
necessary to meet the Maximum Extent Practicable(MEP) standard.The corresponding City of
Huntington Beach Municipal NPDES Permit Local Implementation Plan of 2011 (City of
Huntington Beach LEP)includes a wide range of continuing and enhanced BMPs and control
techniques.These BMPs and control techniques would reduce litter related storm drain and
water quality impacts and thus would also reduce litter impacts on biological resources.In
addition,the Citywide Urban Runoff Management Plan(CURMP) provides a broad framework
for managing the quantity and quality of all urban runoff that reaches receiving waters from the
land surfaces and through the storm drain system within the City.
With adherence to existing regulations,impacts to biological resources related to litter would be
less than significant with repeal of the Bag Ordinance. Further,any litter related impacts would
be the same or similar to conditions prior to adoption of the Bag Ordinance and thus would not
result in any new significant impacts to sensitive species or to coastal and marine ecosystems.
Greenhouse Gas Emissions
The Final EIR(as discussed in Impact GHG-1) determined that implementation of the Bag
Ordinance would incrementally increase greenhouse gas(GHG) emissions compared to existing
conditions by approximately 2,977 metric tons of carbon dioxide equivalent units(CO2E) per
year.However,this amount of emissions did not exceed recommended SCAQMD thresholds
and did not conflict with any applicable plan,policy or regulation of an agency adopted for the
purpose of reducing the emissions of greenhouse gases. Thus impacts were considered to be
Class III,less than significant.
With repeal of the Bag Ordinance,GHG emissions would incrementally decrease compared to
existing conditions with the Bag Ordinance and return to levels similar to those prior to
adoption of the Bag Ordinance.The levels of GHG emissions for bag use are directly related to
the manufacturing,transport,and disposal of single-use plastic,recycled paper,and reusable
carryout bags.The manufacturing process to make all types of carryout bags requires fuel and
energy consumption.This generates GHG emissions,including CO2,CH4,N20,fluorinated
gases,and ozone.In addition,fertilizers that are used on crops for resources such as cotton,
which are then utilized in the manufacture of reusable bags,also have the potential to emit N20.
The amount of GHG emissions varies depending on the type and quantity of carryout bags
produced. Compared to truck trips and disposal,the manufacturing process is the largest
r
7
City of Huntington Beach
Repeal of the Single-Use Carryout Bag Ordinance
Environmental Impact Report Addendum
emitter of GHGs due to the high volume of fuel and energy consumption that is used during
the process. Delivery trucks that transport carryout bags from manufacturers or distributors to
Huntington Beach retailers also create GHG emissions. GHG emissions from truck trips result
primarily from the combustion of fossil fuels and include CO2,CHI,and N20.
Using the same emission rates per bag as used in the EIR,the following table estimates GHG
emissions related to repeating the Bag Ordinance.As shown in Table 6,GHG emissions would
be reduced by approximately 2,915 metric tons CO2E per year compared to current conditions
with the Bag Ordinance in place.This reduction is primarily related to higher emissions rates
for paper and reusable bags compared to single-use plastic bags and additional truck trips
needed to carry paper and reusable bags to retailers in Huntington Beach.As the repeal of the
Bag Ordinance would reduce GHG emissions compared to current conditions,this would be a
beneficial impact related to GHG emissions and climate change.Emissions would be similar to
conditions prior to implementation of the Bag Ordinance and impacts would not be significant.
Table 6
Proposed GHG Emissions by Bag Type with Repeal
Carryout Bag Proposed#of GHG Impact Rate CO2E per year CO2E per Person
Type Bags Used per (metric tons CO2E) (metric tons) (metric tons)[4]
Year
Single-Use Plastic 104,502,747 0.04 per 1,500 bags[1] 2787 0.0142
Recycled Paper 0 0.1188 per 1,000 bags[2] 0 0.0000
Reusable 0 5.24 per 1,000 bags[3] 0 0.0000
Total GHG Emissions with Repeal 2,787 0.0142
Existing GHG Emissions with Ordinance 5,702 0.0297
Net Change(Total minus Existing) -2,915 -0.0155
CO2E=Carbon Dioxide Equivalent units
[1]Based on Boustead Report,2007;Santa Monica Single use Carryout Bag Ordinance Final EIR,January 2011.
[2]10%reduction(from a rate of 3.3 to 2.97)based on the Scottish Report(AEA Technology, 2005)and the Santa Clara County
Negative Declaration, October 2010 based on Environmental Defense Fund's Paper Calculator.
[3]Based on Environment Agency—United Kingdom government report, 2011.
[4]Emissions per person are divided by the 2014 population in Huntington Beach
Hydrology and Water Quality
Water Quality from Litter
The Final EIR(as discussed in Impact HWQ-1) determined that while the Bag Ordinance would
incrementally increase the number of single-use paper and reusable bags used in Huntington
Beach,the overall reduction in the total amount of carryout bags would incrementally reduce
the amount of litter and waste entering storm drains,water ways and receiving waters such as
the Pacific Ocean,improving water quality.This was determined to be a Class IV,beneficial,
effect:
Repeal of the Bag Ordinance would incrementally increase the number of plastic bags used in
Huntington Beach and thus would incrementally increase the amount of litter and waste
entering storm drains,water ways and receiving waters such as the Pacific Ocean,degrading
water quality compared to existing conditions.
City of Huntington Beach
8
Repeal of the Single-Use Carryout Bag Ordinance
Environmental Impact Report Addendum
Each type of carryout bag's potential to become litter is based on the bag's weight,material and
quantity of bags used within Huntington Beach. Single-use plastic bags that become litter may
enter storm drains from surface water runoff or may be blown directly into local waterways by
the wind. Single-use plastic bag litter that enters the storm drain system can block or clog drains
resulting in contamination(Green Cities California MEA,2010).
With repeal of the Bag Ordnance,the overall amount of single-use carryout bags used in
Huntington Beach per year would increase by approximately 99.39 million bags.Therefore,
repeal of the Bag Ordinance could increase the amount of litter associated with single-use
plastic carryout bags compared to existing conditions. Consequently,water quality may
degrade from repeal of the Bag Ordinance compared to existing conditions with the Bag
Ordinance implemented,as the amount of litter may increase in the City that could enter storm
drains and local waterways as well as the receiving waters such as the Pacific Ocean,thus
degrading water quality and increasing the potential for storm drain blockage.
Although plastic litter may increase with repeal of the Bag Ordinance compared to existing
conditions with the Ordinance in place,as stated in the EIR Section 4.4,Hydrology and Water
Quality, page 4.4-4,5,and as described above in the discussion of Biological Resources,
stormwater discharges from the City are regulated under the NPDES permit system and locally,
Huntington Beach is a part of the regional Municipal NPDES Permit(Order No. R8-2009-0030,
NPDES No. CAS618030)).As one of the co-permittees of this Municipal NPDES Permit,the City
is responsible for the management of storm drain systems within their Jurisdiction and are
required to implement management programs,monitoring programs,implementation plans
and all BMPs outlined in the DAMP.The corresponding City of Huntington Beach LIP includes
a wide range of continuing and enhanced BMPs and control techniques that would reduce litter
related storm drain and water quality impacts.In addition,the CURMP provides a broad
framework for managing the quantity and quality of all urban runoff that reaches receiving
waters from the land surfaces and through the storm drain system within the City.
With adherence to existing regulations,impacts to water quality related to litter would be less
than significant with the repeal of the Bag Ordinance. Further,any litter related impacts would
be the same or similar to conditions prior to adoption of the Bag Ordinance and thus would not
result in any new significant impacts to water quality.
Water Quality Associated with Manufacturing Bags
The Final EIR(as discussed in Impact HWQ-2) determined that an increase in the number of
paper and reusable bags used in the City could potentially alter processing activities related to
bag production,which could potentially degrade water quality in some instances and locations.
However,it was determined that bag manufacturers would be required to adhere to existing
regulations including NPDES Permit requirements,AB 258 and the California Health and Safety
Code. Therefore,impacts to water quality from altering bag processing activities were
considered Class III,less than significant.
The manufacturing process for single-use plastic,single-use paper,and reusable carryout bags
utilize various chemicals and materials. Conventional single-use plastic bags are a product of
the petrochemical industry and are typically produced by independent manufacturers who
purchase virgin resin from petrochemical companies or obtain non-virgin resin from recyclers
City of Huntington Beach
9
Repeal of the Single-Use Carryout Bag Ordinance
Environmental Impact Report Addendum
or other sources.Single-use plastic bags begin the manufacturing process with the conversion of
crude oil or natural gas into hydrocarbon monomers,which are then further processed into
polymers.These polymers are heated to form plastic resins,which are then blown through
tubes to create the air pocket of the bag. Once cooled,the plastic film is stretched to the desired
size of the bag and cut into individual bags(Green Cities California MEA,2010). The plastic
resin pellets are a concern when accidentally released(from spilling into storm drains during
use or transport) into aquatic environments. AB 258 was enacted to address these concerns by
implementing program control measures that require plastic manufacturing,handling,and
transportation facilities to implement best management practices to control discharges
(accidental release from spilling) of preproduction plastics. This includes containment systems,
careful storage of pre-production plastics,and the use of capture devices to collect any spills.
Products used in the process to manufacture single-use plastic bags, such as petroleum and
natural gas,also have the potential to be released as result of an accident during transport or
use.However,regulatory agencies such as the EPA set forth Preliminary Remediation Goals
(PRGs) for various pollutants in soil,air,and tap water(EPA Region IX,Preliminary
Remediation Goals Tables,2004).PRG concentrations can be used to screen pollutants in
environmental media,trigger further investigation,and provide initial cleanup goals resulting
from an accident or spill of petroleum or natural gas at a single-use plastic bag manufacturing
facility.
Although repealing the Bag Ordinance would incrementally increase the manufacturing of
single-use plastic bags for use in Huntington Beach,it would also eliminate the need to
manufacture as much paper and reusable bags as currently exist in the City with the Bag
Ordinance.Furthermore,any existing or potential manufacturing facilities (whether plastic,
paper or reusable bag manufacturers) would be required to adhere to existing federal,state and
local regulations which are intended to protect water quality.Therefore,impacts to water
quality related to the potential change of processing activities as a result of repealing the Bag
Ordinance would not be significant
Conclusion
As discussed above,impacts associated with repeal of the Bag Ordinance related to air quality,
biological resources,greenhouse gases,and hydrology and water quality were determined to
have similar impacts as the Final EIR as no impacts would be considered significant.All of these
issues were determined to result in either less than significant impacts or beneficial impacts.
The City's proposed repeal of the Bag Ordinance would have no new significant environmental
effects.Since the proposed repeal of the Bag Ordinance does not require substantial changes to
the No Project Alternative,major revisions of the EIR analysis are not warranted. Further the
repeal of the Bag Ordinance would not create any new significant impacts as compared to the
project studied in the EIR. As such,a subsequent EIR pursuant to Section 15162 of the CEQA
Guidelines would not be warranted and an addendum is the appropriate environmental
document under CEQA.
City of Huntington Beach
10
Repeal of the Single-Use Carryout Bag Ordinance
Environmental Impact Report Addendum
References
AEA Technology. 2005. Proposed Plastic Bag Levy-Extended Impact Assessment(Scottish
Report),2005.
AEA Technology.2009."Single Use Bag Study".Final report prepared for the Welsh Assembly
Government,August 2009.
Boustead Consulting and Associates Ltd.2007.Life Cycle Assessment for Three Types of
Grocery Bags-Recyclable Plastic,Compostable, Biodegradable Plastic;and Recycled,
Recyclable Paper.Prepared for the Progressive Bag Alliance.
California Department of Finance. May 2014. "E-5 Population and Housing Estimates for
Cities,Counties,and the State,2010-2014,with 2010 Benchmark."
City of Huntington Beach Final EIR,SCH#2011111053,Certified March 2013.
City of Santa Monica.January 2011. "Santa Monica Single-use Carryout Bag Ordinance."Final
Environmental Impact Report. October 2010.
County of Santa Clara.October 2010.Initial Study for Single-use Carryout Bag.
Ecobilan. 2004. Environmental impact assessment of Carrefour bags.Report prepared for
Carrefour by Ecobilan,February 2004.
Environment Agency-United Kingdom government. "Life Cycle Assessment of Supermarket
Canner Bags".February 2011. Available online at:
http://www.biodeg.org/files/uploaded/Carrier Bags Report EA.pdf
Fund for Research into Industrial Development,Growth and Equity(FRIDGE). 2002. "Socio-
Economic Impact of the Proposed Plastic Bag Regulations."
Green Cities California.Master Environmental Assessment on Single-use and Reusable Bags.
Prepared by ICF International,March 2010.
Joseph,Stephen L.,Letter to the City of Santa Monica: "RE: Santa Monica single-use carryout
bag ordinance: comments on and objections to Draft Environmental Impact Report". July
22,2010.
U.S.Environmental Protection Agency(USEPA). Region IX's Preliminary Remediation Goals
(PRG) Table,2004. Available online at:
http://-,A-v,A=.epa.gov/region9/superfund/prg/`files/04usersgLiide.pdf
City of Huntington Beach
_ 11
Res. No. 2015-1 7
STATE OF CALIFORNIA
COUNTY OF ORANGE ) ss:
CITY OF HUNTINGTON BEACH )
I, JOAN L. FLYNN the duly elected, qualified City Clerk of the City of
Huntington Beach, and ex-officio Clerk of the City Council of said City, do hereby
certify that the whole number of members of the City Council of the City of
Huntington Beach is seven; that the foregoing resolution was passed and adopted
by the affirmative vote of at least a majority of all the members of said City Council
at a Regular meeting thereof held on April 20, 2015 by the following vote:
AYES: Posey, O'Connell, Katapodis, Sullivan, Delgleize, Peterson
NOES: Hardy
ABSENT: None
ABSTAIN: None
City 9CMrk and ex-officio erk of the
City Council of the City of
Huntington Beach, California