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CITY OF CHULA VISTA
Climate Change Working Group
Worksheet for
Recommended Climate Change Reduction Measures
Measure Number: 16
Original Short Text of Measure:
Require LEED/ Architecture2030, GreenPoint or equivalent standards for residential
projects.
Short Text of Measure (with any minor modifications necessary, 50 words max):
The implementation of mandatory green building standards for new and renovated single-
family and multi-family homes based on the Architecture 2030 principle, as adopted by
the CEC and CPUC, of building homes with increasingly higher energy efficiency
requirements until net zero energy capability is achieved for all new residential
development. No building permit would be issued without meeting these standards.
Recommended Performance Metrics for Measure (50 words max):
The implementation of this measure requires an addition to the City’s municipal code
stipulating the new green building standard. Performance would be gauged by measuring
the number of building permits applied for, the number accepted, and the number of
compliant buildings built.
Recommended Long Text for Measure (250 words max)
(Please include the following:
Important Background Information (explain acronyms like AFV or PPA)
A clear description of the measure itself
A brief summary of “prior execution” of this measure in other cities.
The city of Chula Vista Climate Change Working Group recommends that the City of
Chula Vista adopt a series of green building standards based on the principles of
Architecture 2030 which have recently been adopted by the California Public Utilities
Commission (CPUC) and the California Energy Commission (CEC) as part of their
energy efficiency initiatives. The standards would require all new and major renovations
of single-family and multi-family homes to submit and follow plans that fulfill the
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Architecture 2030 principle that “all new buildings, developments, and major renovations
be designed to meet fossil fuel, greenhouse gas (GHG) emitting, energy consumption
performance standard” of, initially, 60% of the regional average of that building type1.
The City would then be required to periodically increase the standards, to 70%, 80%, and
90% until requiring zero net energy capability, meaning the ability to produce as much
energy as it consumes if on-site generation were added, for all new buildings by 2020,
per the CPUC goals for residential development. No building permit shall be issued
without evidence that the covered buildings will meet these standards. Buildings that do
not conform to the standards will be deemed “non-compliant” with Chula Vista’s
building code.
In September, the CPUC began the process to adopt the same goals of net zero energy
homes by 2020 that the working group is proposing. Furthermore, more and more cities
are adopting mandatory green building standards for residential development to reduce
their greenhouse gas emissions. Recently, the cities of West Hollywood, Santa Cruz, and
Santa Monica have adopted these requirements for residential development. The city of
Austin, Texas has recently begun adopting a series of building code requirements also
designed to create net zero energy homes.
Please provide concise answers for how the project will have/be: (complete
sentences)
Fiscally Feasible: The city of Chula Vista currently has building code requirements that
must be met in order to attain a building permit. These proposed standards would be
simply a small and modest addition to these existing building standards, thus taking
advantage of already existing implementation and enforcement mechanisms. Additional
training for existing staff may be required. However, it is not likely for there to be
significant additional costs connected to this proposal.
Short Timeframe: The implementation of these standards- given their modest scope
could occur as soon as adequate notice is given to the public. The fact that the
implementation and enforcement process is already in place, allows the standards to be
up and running immediately.
Quantifiable Results: Reductions in energy use by buildings are among the easiest
things to quantify in the City’s GHG emissions inventory. Mandatory green building
requirements have proven throughout the nation and according to credible sources such
as the DOE and AIA as an effective means to dramatically lowering carbon emissions.
Prior Execution: Mandatory residential green building standards have been adopted or
are being adopted in Los Angeles, Santa Monica, Santa Cruz, Boulder, CO, and Austin,
TX.
1http://www.architecture2030.org/2030_challenge/index.html
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No Adverse Effects: While these standards add an additional requirement in order to
be issued a building permit within the city, these standards are no different than other
building requirements currently imposed on developers- including structural, lighting,
earthquake safety, ventilation requirements, etc. Such standards have proven to have little
if any adverse effects on the number of permits sought. The fact that the proposed
standard allows developers the flexibility and autonomy to determine how best to meet
these requirements will offset the burden associated with meeting an additional
procedural requirement. In addition, such a requirement will reduce the future growth in
peak demand for electricity thus reducing the future need for the South Bay Power Plant.