Search for: "In Re: Jimmy Covington, Petitioner"
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9 Jan 2020, 12:03 pm
Although CEQA generally requires analysis of indirect impacts, the scope of this EIR was defined by SB 4, which did not include indirect impacts EIR mitigation measures were incorporated into a Mitigation Policy Manual, which include sufficient performance standards – so no improper deferral Findings and mitigation monitoring program not required because no specific project was approved EIR included specific analysis of activities at three oil fields – petitioner claimed this… [read post]