HomeMy WebLinkAbout7.1 Climate Action Plan 2030 and Beyond Reach Codes ReportCELEBRATING
REVISED
Agenda Item 7.1
STAFF REPORT
CITY COUNCIL
DUBLIN
CAL I F O RN IA
DATE: September 6, 2022
TO: Honorable Mayor and City Councilmembers
FROM: Linda Smith, City Manager
SUBJECT: Climate Action Plan 2030 and Beyond Reach Codes Report
Prepared by: Shannan Young, Environmental & Sustainability Manager
EXECUTIVE SUMMARY:
The City Council will receive a report on potential code options for three measures included
in the City of Dublin's Climate Action Plan 2030 and Beyond. The three measures under
consideration include Measure EE-1, Achieve All -Electric New Construction; Measure SM-1,
Adopt an Electric Vehicle Charging Station Ordinance; and Measure MM-2, Reduce the
Embodied Greenhouse Gas Emissions Associated with Building Materials.
STAFF RECOMMENDATION:
Receive the report and provide direction on the three Climate Action Plan 2030 and Beyond
measures.
FINANCIAL IMPACT:
There is no immediate impact to the General Fund. Depending on the direction received from
City Council regarding the potential code options, there may be financial impacts associated
with each specific future code adoption. Financial impact analyses will be included as part of
any future City Council code adoption consideration. A discussion of the potential financial
impacts to the community is included in the discussion below.
DESCRIPTION:
On September 15, 2020, the City Council approved Resolution 100-20 Adopting the City of
Dublin Climate Action Plan 2030 and Beyond (CAP 2030, Attachment 1). CAP 2030 includes
five strategies with a total of 22 measures intended to reduce greenhouse gas (GHG) emissions
by 40% below 1990 levels by 2030 and to put the City on the path to reach carbon neutrality by
2045. The five strategies are:
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• Strategy 1- Renewable and Carbon Free Electricity (CF)
• Strategy 2 - Building Efficiency and Electrification (EE)
• Strategy 3 - Sustainable Mobility and Land Use (SM)
• Strategy 4 - Materials and Waste Management (MM)
• Strategy 5 - Municipal Leadership (ML)
This report is about three CAP 2030 measures that intend to address GHG emissions
associated with the built environment and transportation (Attachment 2). These are:
• Measure EE-1: Achieve All -Electric New Building Construction
• Measure SM-1: Adopt an Electric Vehicle Charging Station Ordinance
• Measure MM-2: Reduce the Embodied GHG Emissions Associated with Building
Materials
Measure EE-1: Achieve All -Electric New Construction
Adopt an all -electric building reach code for new construction to reduce natural gas use and limit the
development of new gas infrastructure in the City of Dublin.
Coupled with the communitywide 100% GHG-free energy achieved by implementing Measure
CF-1, Opt -Up to 100% Renewable and Carbon -Free Electricity, all -electric new construction
would result in homes and businesses that do not emit GHGs. The City Council adopted
Resolution 04-21 Requesting East Bay Community Energy Enroll City of Dublin Residential
Accounts in Renewable 100 as the Default Electricity Product on January 12, 2021 (Attachment
3). On April 5, 2022, the City Council adopted Resolution 28-22 Requesting East Bay
Community Energy Enroll City of Dublin Non -Residential Accounts in Renewable 100 as the
Default Electricity Product (Attachment 4). Community -wide enrollment in Renewable 100
will be complete by October 2022. The GHG emissions reduction potential with the
implementation of Measure EE-1 in conjunction with Measure CF-1 is estimated to be 2,633
metric tons (MT) carbon dioxide equivalent (CO2e) by 2025 and 4,828 MT CO2e by 2030.
Electrification Policy Types
Options for building electrification in California can generally be broken into three
categories:
• All -Electric Municipal Ordinance. This option prohibits any gas hookups, with minimal
exceptions, via municipal ordinance. The benefit of this option is that it is not tied to
the building code and can be adopted indefinitely. The cons are that a municipal code
may not cover buildings which have already received entitlements and there are
uncertainties regarding potential legal challenges.
• All -Electric Building Code. This option is a local amendment to Title 24 of the
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California Building Code (CALGreen). The local amendment would be a Reach Code
that requires all -electric appliances. Examples of potential exemptions include
commercial cooking and industrial processes. The benefits of this approach are that it
can be adopted as part of the current 2022 CALGreen building code update and that it
may cover buildings that have received entitlements but have not had building permits
issued. The con is that it must be re -adopted with every building code cycle.
• Electric Preferred Building Code. This is the base code in the 2022 California Energy
Code. The code allows for mixed -fuel buildings with higher energy performance,
requires additional energy efficiency measures, pre -wiring for buildings to be electric -
ready, and higher ventilation rates for gas stoves. If builders install gas appliances,
they will be required to install the infrastructure for an electric appliance
replacement. The pro for following the 2022 CALGreen building code is that Staff can
adopt the code by reference. However, this option is not recommended since the base
code may not reduce GHG emissions enough to achieve the CAP 2030 GHG emissions
goals. In addition, the CAP 2030 serves as the City's qualified GHG Reduction Plan and
programmatic tiering document for the purposes of the California Environmental
Quality Act (CEQA) analyses of GHG emissions and climate change. The GHG emissions
reduction analysis completed for the CAP 2030 anticipated an electrification ordinance.
Allowing for mixed -fuel buildings would mean that the CAP 2030 could not be used for
project streamlining.
Cost of Electrification
In most cases, all -electric buildings are less expensive to build. Cost savings are achieved
from not having to run gas lines, having to install fewer appliances, and the time savings of
avoided inspections and sign -off of gas meters by Pacific Gas & Electric (PG&E). As an
example, the cost for appliances in multifamily dwellings is less for all -electric appliances
versus high efficiency gas appliances in all climate zones except climate zone 3 (Dublin is in
Climate Zone 12). Figures 1 and 2 provide comparisons for upfront capital costs of appliances
in all -electric homes versus mixed fuel homes. These cost savings are estimated to range from
approximately $3,000 to $8,000 in climate zone 12. All electric homes typically experience
lifecycle savings of $130 to $540 per year.
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Figure 1. Capital Cost of High -Efficiency Appliances vs. Gas Alternatives in Single Family Home New
Construction (Source: E3, Residential Building Electrification in California, 2019)*
$25,000.00
$20,000,00
$15,000,00
$10,000.00
$5,000.00
S•
d 11
C23 C24 C212 C26 C29 C210
■AMI-Electric Horne ■ Mixed -Fuel Home
*"CZ" means climate zone.
Figure 2. Capital Cost of High -Efficiency Appliances vs. Gas Alternatives in Low Rise Multifamily
New Construction (Source: E3, Residential Building Electrification in California, 2019.)
$25,000.00
520,000 00
515,000 00
$10,000 00
$5,000.00
$-
CZ3
d d
CZ4 CZ12 CZ6 CZ9 C210
■AII-Electric Home ill Mixed -Fuel Home
Another study completed by Frontier Energy on cost-effectiveness of low rise residential new
construction in 2019 showed that all -electric housing is expected to be between $3,361 and
$6,171 cheaper to build on average and cost about $2,000 to $5,000 less to operate over 30
years compared to a mixed -fuel building.
Availability of Electric Technologies
It is an emerging trend that jurisdictions throughout California are adopting electrification
ordinances. Staff polled cities with existing electrification codes to determine if builders
would be able to acquire the electric appliances required by an all -electric code. The feedback
received from Bay Area cities indicates that builders have not had issues, above and beyond
Covid-19 supply chain issues, procuring all -electric appliances including induction
cooktops/ranges, heat pump water heaters, or heat pump space heating/cooling appliances.
Feedback indicated some developers and contractors lack familiarity regarding installing all -
electric appliances. The Bay Area Regional Energy Network (BayREN) is addressing this
knowledge gap by providing virtual training events for contractors. Examples of the training
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include heat pump water heater training for contractors and implementing energy efficiency
and electrification in multifamily buildings.
Measure SM-1: Adopt an Electric Vehicle Charging Station Ordinance
The City of Dublin will adopt an electric vehicle (EV) charging station ordinance for multifamily and
commercial buildings to increase access to charging stations and promote the use of electric vehicles.
Increasing access to reliable electric vehicle (EV) charging stations at home and at work are
key components to increasing EV adoption. Lack of access to EV charging infrastructure at
home, and particular at multifamily dwellings (MFDs), is a major hurdle to EV ownership for
residents. Increasing the number of EV charging stations (EVCS) will help reduce range
anxiety and increase EV ownership towards the CAP 2030 goal of 33% EV ownership by 2030.
At this level of EV ownership, Dublin's GHG emissions would reduce by an estimated 26,288
MT CO2e by 2030.
Measure SM-1 outlines an EVCS ordinance that would require all new commercial and MFDs
make 25% of parking spaces be "EV Ready," and install Level 2 EVCS in 3% of stalls (or
comparable amount of Direct Current Fast Chargers). Figure 3 illustrates the three levels of
EV charging. Level 1 charging uses a standard 120-volt electrical outlet and typically takes
between 20 and 43 hours to recharge a vehicle depending on the battery size. A Level 2 EVCS
uses 208/240 volt chargers to fully charge vehicles in 4 to 8 hours. Direct Current Fast
Chargers (DCFCs), also known as Level 3 chargers, use 480V 3-phase power and charge the
typical EV in 30 minutes to one hour.
Figure 3. Standard Electric Vehicle Charging Stations (image credit to Shradha Jadhav on Linkedln)
novel 1 charging
Voltage:
120V
Charge Time:
3 - 5 miles per hour
Locations:
Home
Level 2 charging
Voltage:
240V
Charge Time:
12 - 40 miles per hour
Locations:
Home, Public
• Level 3 charging
19filitof
Voltage:
480V
Charge Time:
80% charge in 20-30 mins
Locations:
Public
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155
CALGreen Building Code
The 2022 CALGreen building code update includes new minimum and voluntary Tier 1 and
Tier 2 EVCS requirements that meet or exceed the CAP 2030 requirements for MFD and
commercial properties, as indicated in Tables 1 through 3 below. Shaded areas in the tables
correspond to codes that meet or exceed the goals in the CAP 2030. Note the terminology in
the CALGreen code does not match the terminology in the CAP 2030. The CAP 2030 definition
of "EV Ready" is analogous to CALGreen's definition of "EV Capable" which includes installing
panel capacity and conduit to the parking stalls. CALGreen code definitions are summarized
in Figure 4. Tables 1 through 3 list the CAP EV Ready requirements under EV Capable to align
CALGreen definitions. Dublin currently has adopted the 2019 CALGreen Tier 2 requirements.
Those requirements are included in the tables for reference.
Bay Area Reach Codes
A consortium of organizations including East Bay Community Energy, Peninsula Clean
Energy, Silicon Valley Clean Energy, the San Mateo County Office of Sustainability, the
County of Santa Clara, and StopWaste developed a website and resources to assist cities with
2022 Building Electrification and EV Infrastructure Reach Code Initiatives. The goal of the
consortium is to facilitate the reduction of GHG emissions in their service territories by
developing forward -thinking reach codes. Template code language and other resources are
provided on the website bayareareachcodes.org. The Bay Area Reach Codes model code has
the advantage of pushing for higher levels of infrastructure relative to CALGreen. Considering
that it is much more expensive to retrofit infrastructure, it is more cost effective to include as
much infrastructure as possible during new construction. Pleasanton and Livermore staff
have indicated that they will be bringing similar reach codes to those proposed in Tables 1
through 3 under the column header "Reach Codes" to their respective City Councils for
consideration this Fall.
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Figure 4. CALGreen EV Charging Definitions (image credit: Willdan Energy Solutions)
Definitions
EV Capable: Electrical panel capacity & conduit
Install panel capacity and conduit (raceway) to
accommodate the future build -out of EV charging with
208/240 V, 40-amp circuits.
EV Ready: full circuit installed
Full circuit installations include 208/240V, 40-amp panel
capacity, raceway, wiring, receptacle, and overprotection
devices sim.i.lar.to a dryer circuit.
EV Installed: Installed EV charging station (EVSE)
Level 2 EVCS requirements: 8.3KVa 208/240-volt, 40 ampere
Low Power Level 2 Charging Receptacle: A 208/240 Volt 20-
ampere minimum branch circuit and a receptacle for use by
an EV driver to charge their electric vehicle or hybrid electric
vehicle.
GI tio*
Multifamily Dwellings New Construction
As shown in Table 1, the CALGreen base code meets and exceeds the CAP 2030 goals for MFDs
with twenty or more units. Table 2 shows that only the Bay Area Reach Code meets the CAP
2030 goals for MFDs with less than 20 units. The Bay Area Air Quality Management District
(BAAQMD)'s "Justification Report: CEQA Thresholds for Evaluating the Significance of
Climate Impacts From Land Use Projects and Plans" describes how the 2022 CALGreen base
code requirements were established to meet anticipated EV charging demand through the
year 2025. Base code requirements may not provide enough charging infrastructure given the
higher EV adoption expected in the Bay Area and California. Consequently, the BAAQMD
recommends using the CALGreen Tier 2 standards to evaluate whether new land use
development projects meet their "fair share" of EV charging infrastructure in CEQA analyses.
The Bay Area Reach Codes consortium recommends an even higher level of EV charging
infrastructure at multifamily dwellings, aiming for 100% of the parking to include some level
of EV charging infrastructure.
Table 1. Multifamily Residential (20+ units) Codes Comparison for New Construction*
2019 Tier 2
Code (Adopted)
CAP 2030
2022 Base
2022 Tier 1
2022 Tier 2
Reach
Code
EV Capable
20%
25%
10%
-
-
85%
EV Ready
-
25%
35%
40%
-
EVCS
Installed**
-
3%
5%
10%
15%
15%
*The percentages in the columns are additive, not subsets of each other (i.e., the 2022 CALGreen base code will
have a total of 30% electrified spaces with 5% EVCS installed plus 25% EV Ready).
**All percentages are for Level 2 chargers, or for infrastructure capable of supporting Level 2 EVCS.
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Table 2. Multifamily Residential (<20 units) Codes Comparison for New Construction*
2019 Tier 2 Code
(Adopted)
CAP 2030
2022 Base
2022 Tier 1
2022 Tier 2
Reach Code
EV Capable
20%
25%
10%
-
-
85%
EV Ready
-
25%
35%
40%
-
EVCS
Installed
-
3%
-
-
-
15%**
*The percentages in the columns are additive, not subsets of each other (i.e., the 2022 CALGreen base code will
have a total of 25% EV Ready plus 10% EV Capable).
**All percentages are for Level 2 EVCS, or infrastructure capable of supporting Level 2 EVCS.
Commercial New Construction
Table 3 shows the code comparison for commercial new construction related to the CAP 2030
goals. As noted, all the codes except the 2022 CALGreen base code fulfill the CAP 2030 goals.
Note that the commercial codes are not additive as they are with multifamily residential. As
with the MFD tables, all percentages in Table 3 are for Level 2 EVCS, or infrastructure capable
of supporting Level 2 EVCS.
Table 3. Commercial Codes Comparison for New Construction*
2019 Tier 2
Code
(Adopted)
CAP
2030
2022
Base
2022 Tier 1
2022 Tier 2
Reach Code
Office
Hotel
All
Other
EV
Capable
20%
25%
20%
30%
45%
30%
10%
10%
EV
Ready
-
-
-
-
-
25%
-
EVCS
Installed
**
-
3%
5% (25%
of the
20%)
10% (33%
of the 30%)
15% (33%
of the 45%)
20%
5%
10%
* All percentages are for Level 2 EVCS, or infrastructure capable of supporting Level 2 EVCS.
**Percentages are not additive; instead they are a subset of the total spaces impacted.
Single -Family New Construction and Existing Parking Lots
The CALGreen building code and Bay Area Reach Codes also include requirements for single-
family new construction and certain modifications to existing parking lots which go above
and beyond Measure SM-1 in CAP 2030. The requirements are included in Tables 4 and 5
below for reference. Communication with Pleasanton and Livermore staff indicate that they
are not considering Bay Area Reach Codes for existing parking lots.
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Table 4. Single Family New Construction Codes Comparison
2019 Tier 2
Code
(Adopted)
CAP
2030
2022 Base
2022 Tier 1
2022 Tier 2
I Reach Code
EV
Capable
100%
-
All SF
garages
-
-
-
EV Ready
-
-
-
All SF
garages
All SF
garages
All SF
garages
EVCS
Installed
-
-
-
-
-
-
Table 5. Existing Construction Codes Comparison
Existing
Parking
Lots
2019 Tier 2
Code
(Adopted)
CAP 2030
2022 Base
Reach Code
Multifamily
-
-
If adding stalls or
altering
lighting/electrical
systems, 10% of
altered spots required
to be EV capable.
If adding stalls or
altering
lighting/electrical
systems, 10% of altered
spots required to be
EVCS.
Commercial
-
-
-
Costs of Installing EV Chargers and Equipment
Multiple studies show it is cost effective to install EV charging infrastructure as part of new
construction projects as opposed to retrofitting existing sites. In 2019, the California Air
Resources Board found that adding an EV capable spot during nonresidential new
construction projects costs between $870 to $960 per space, as opposed to $7,000 to $8,000 per
parking space when retrofitting existing sites. An additional study completed by Peninsula
Clean Energy (PCE) and Silicon Valley Clean Energy (SVCE) in 2019 also found installing EV
infrastructure during new construction was cost effective compared to including EV
infrastructure during retrofits for a variety of building types. Those study results are
summarized in Table 6.
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Table 6. PCE and SVCE November 2019 EV Infrastructure Cost Effectiveness Study
Code Scenario
Market Rate
25% Level 2/75%
Level 1
Market Rate
25% Level
2/75% Level 1
Affordable Housing
10% Level 2/90%
Level 1
Affordable
Housing
10% Level
2/90% Level 1
Building Type
New Construction
Retrofit
New Construction
Retrofit
60 Unit MFD
$1,410
$4,443
$1,049
$3,982
150 Unit MFD
$1,197
$4,101
$1,002
$3,854
60 Unit Office
Building
$1,166
$3,232
N/A
N/A
Measure MM-2: Reduce the Embodied GHG Emissions Associated with Building Materials
The City of Dublin will require the use of low carbon concrete in new construction projects to reduce
lifecycle GHG emissions and the embodied carbon associated with construction projects.
The embodied GHG emissions of a building are emissions generated by making and
transporting materials to a building site, including mining, refining, and shipping. Cement
production accounts for as much as 7% of global GHG emissions. Although the CAP 2030 does
not quantify the lifecycle GHG emissions from the consumption of materials such as
concrete, adopting a low carbon concrete building code would be a meaningful way of
reducing GHG emissions associated with construction activities.
There is a variety of ways cement makers can reduce the embodied carbon of their cements.
Adding secondary cementitious materials (SCM) or more aggregate to cement mixtures can
reduce GHG emissions. For instance, adding 10% SCM can reduce GHG emissions by about
10%. Low -carbon concrete must have minimum specified compressive strengths given the
various applications. Adding SCM reduces the compressive strength of concrete, therefore it
is important to ensure that the concrete specification applies a maximum ordinary Portland
cement content to ensure compressive strength, while also meeting the maximum embodied
carbon concentration. Despite the challenges, feasibility of working with low -carbon concrete
is evidenced by the fact that the California Department of Transportation has been using low
carbon concrete and has an authorized list of approved SCMs and blended cements available
on their website.
It was anticipated in Measure MM-2 that Staff would develop a low -carbon concrete building
code based on the Marin County model ordinance. Staff has discovered that Marin County has
adopted, but not yet enforced, a low -carbon concrete code that can serve as a basis for
Dublin's code. Therefore, Staff proposes that the City develops template specifications that
would be piloted on future City capital improvement projects before presenting a proposed
low -carbon concrete building code to the City Council. Future capital improvement projects
may include Wallis Ranch Community Park, Iron Horse Nature Park and Open Space, and
Dublin Boulevard Extension. The advantage of conducting pilot projects would be that the
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City would learn how to incorporate low -carbon concrete into projects and adjust the code as
necessary based on direct experience prior to officially incorporating it into the building
code. Staff is currently investigating local availability of the SCMs and cost to shift to low -
carbon concrete. Thus far, feedback received is that it should be cost -neutral to incorporate
SCMs.
Conclusion
The three building code measures included in CAP 2030 can meaningfully impact GHG
emissions reductions and transform the way infrastructure in Dublin is built. Cities
throughout the Bay Area, including Dublin's Tri-Valley neighbors Pleasanton and Livermore
are considering similar building reach codes.
An all -electric building or municipal code ordinance has the potential to reduce GHG
emission by 4,828 MT CO2e by 2030 and has had support from Pacific Gas & Electric (PG&E) in
municipalities that have already adopted electrification codes. An all -electric code has the
additional potential benefit of streamlining the plan review and inspection process compared
to the 2022 California Energy Code electric -preferred building code since gas infrastructure
would be minimized or eliminated.
An EVCS ordinance helps to set the stage for the transition to EVs that is mandated by the
State of California. California will no longer allow the sale of traditional internal combustion
engines as of 2035. State and local governments can facilitate the transition, ease range
anxiety, and decrease the cost of the infrastructure required to support the huge increase in
EVs by adopting an electrification ordinance.
Requiring projects to specify low -carbon concrete in construction, while maintaining strength
and durability standards, will help Dublin start working towards addressing lifecycle GHG
emissions. Piloting projects with low carbon concrete on Dublin capital improvement projects
first will demonstrate the continued municipal leadership Dublin has shown regarding
implementation of the CAP 2030 and provide invaluable learning before introducing the low
carbon concrete standards into the building code.
Next Steps
Based upon direction from City Council, Staff will conduct public outreach on the selected
electrification and EV charger codes and subsequently bring the codes to the City Council for
consideration later this calendar year.
STRATEGIC PLAN INITIATIVE:
Strategy 3: Infrastructure Maintenance and Reinvestment: Continue to Implement the CAP
2030.
Objective E: Continue to implement measures identified in the Climate Action Plan.
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NOTICING REQUIREMENTS/PUBLIC OUTREACH:
The City Council Agenda was posted.
ATTACHMENTS:
1) Resolution 100-20 Adopting the City of Dublin Climate Action Plan 2030 and Beyond
2) Measures EE-1, SM-1, and MM-2 Excerpts from the Climate Action Plan 2030 and Beyond
3) Resolution 04-21 Requesting East Bay Community Energy Enroll City of Dublin Residential
Accounts in Renewable 100 as the Default Electricity Product
4) Resolution 28-22 Requesting East Bay Community Energy Enroll City of Dublin Non -
Residential Accounts in Renewable 100 as the Default Electricity Product
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Attachment I
RESOLUTION NO. 100 - 20
A RESOLUTION OF THE CITY COUNCIL
OF THE CITY OF DUBLIN
*********
ADOPTING THE CITY OF DUBLIN CLIMATE ACTION PLAN 2030 AND BEYOND
WHEREAS, on November 16, 2010 the City Council adopted Resolution 167-10 approving
the City of Dublin Climate Action Plan establishing greenhouse gas (GHG) reduction goals for
2020; and
WHEREAS, under the California Environmental Quality Act (CEQA) a city may prepare a
qualified GHG Reduction Strategy or Climate Action Plan to evaluate a community's cumulative
impact due to GHG emissions from future planned development; and
WHEREAS, if a project is consistent with an adopted, qualified GHG Reduction Strategy
or Climate Action Plan, the Strategy/Plan can be used as a basis for determining that the project
would have a less than significant impact on a community's cumulative GHG emissions under
CEQA; and
WHEREAS, on October 15, 2013 the City Council adopted Resolution 177-13 approving
the City of Dublin Climate Action Plan Update to use as a basis for determining that a future
project that was consistent with the adopted Climate Action Plan Update would have a less than
significant impact on Dublin's cumulative GHG emissions under CEQA through 2020; and
WHEREAS, the City of Dublin is on track to meet the 2020 GHG reduction goals
established by the Plans; and
WHEREAS, in 2016, the California Legislature adopted Senate Bill (SB) 32 to extend the
State's commitment to GHG emissions reductions by tightening the target to 40% below 1990
levels by 2030; and
WHEREAS, in 2018, Governor Brown adopted Executive Order (EO) B-55-18 setting a
Statewide goal of reaching carbon neutrality by no later than 2045; and
WHEREAS, on December 17, 2019, the City Council provided consensus to align the City's
future Climate Action Plan with both SB 32 and EO B-55-18 goals and consensus to proceed with
the draft strategies and measures to achieve those goals; and
WHEREAS, the Climate Action Plan 2030 and Beyond establishes the following targets:
1. Reduce GHG emissions to 40% below 1990 levels by 2030
2. Reach carbon neutrality by 2045; and
WHEREAS, the Climate Action Plan 2030 and Beyond contains 22 measures grouped into
the five strategies listed below to reduce GHG emissions by roughly 73,000 metric tons carbon
dioxide equivalent by 2030:
1. 100% Renewable and Carbon -Free Electricity
2. Building Efficiency and Electrification
3. Sustainable Mobility and Land Use
Reso No. 100-20, Item 6.1, Adopted 09/15/2020 Page 1 of 2
163
4. Material and Waste Management
5. Municipal Leadership; and
WHEREAS, the implementation of the Climate Action Plan 2030 and Beyond will result in
co -benefits in the following areas: economic growth, reduced traffic congestion, improved public
health, healthier ecosystems, robust landscapes, carbon sequestration, enhanced resilience,
equity and inclusion, community leadership and partnerships, and cutting -edge technologies; and
WHEREAS, the City Council held a properly noticed public hearing on the Climate Action
Plan 2030 and Beyond and related Negative Declaration on September 15, 2020; and
WHEREAS, the City Council did review and consider the Negative Declaration and the
Climate Action Plan 2030 and Beyond and all said reports, recommendations, and testimony
herein and set forth prior to making its decision on the Climate Action Plan 2030 and Beyond.
NOW, THEREFORE, BE IT RESOLVED that the City Council of the City of Dublin does
hereby approve and adopt the Climate Action Plan 2030 and Beyond attached hereto as Exhibit
A to the Resolution and authorizes Staff to make any non -substantive grammatical or editing
changes in the final document.
PASSED, APPROVED AND ADOPTED this 15th day of September 2020, by the following
vote:
AYES: Councilmembers Goel, Hernandez, Josey, Kumagai and Mayor Haubert
NOES:
ABSENT:
ABSTAIN:
Mayor
ATTEST:
DocuSigned by:
MA/0\1ULIrk
e22'r4OA...
City Clerk
DocuSigned by:
Reso No. 100-20, Item 6.1, Adopted 09/15/2020 Page 2 of 2
164
Attachment 2
Measure EE-1: Achieve
All -Electric New Building Construction
Adopt an all -electric building reach code for new construction to reduce natural gas
use and limit the development of new gas infrastructure in the City of Dublin.
Coupled with the communitywide 100% carbon -free energy of Measure CF-1, new building
electrification results in homes and businesses that emit no GHGs.
It is estimated that if an electric building reach code is not adopted, new construction would add
over three million therms of natural gas use in Dublin by 2045. Developing all -electric buildings
has been found to be less expensive to construct and operate in Dublin's climate zone compared
to constructing residential and commercial buildings with both gas and electric utilities, especially
when paired with solar photovoltaic and solar thermal installations, which are not yet mandatory
under Title 24 of the California Building Code.
In order to meet the long-term goal of carbon neutrality by 2045, the direct GHG emissions from
natural gas will need to be phased out. Therefore, it is critical to limit new natural gas infrastructure
and construct buildings today that are ready for tomorrow.
dopt a new -building electrification ordinance in 2020.
HG Emissions Reduction Potential
T= Metric Tons; CO2e= carbon dioxide equivalents
165
cm oroueux
CLIMATE ACTION PLAN
DUBLIN
CALIFORNIA
Measure EE-1 Actions
1 Conduct outreach to the community as well as
builders/developers to educate them on the
proposed ordinance, the associated GHG
emissions reductions, and cost benefits.
2 Draft a City Ordinance that favors all -electric new
construction for City Council consideration.
3 Provide training to City staff on new electric
preferred ordinance requirements.
4 Continue to evaluate cost effective opportunities to
add additional building types into the electrification
ordinance.
Co -Benefits: LC/ a
Community Cost: $
Cost effectiveness studies conducted for Dublin's
climate zone show all -electric construction to be less
expensive both in construction costs and operation
over the lifetime of the buildings and will therefore
save Dublin residents, businesses, and developers
money in the short and long term.'
City Cost:
Staff time will be required for community outreach,
reach code development, drafting an ordinance for
City Council consideration, and implementation of the
new ordinance. This work is estimated to cost between
$7,000 and $10,0000.
1 https://localenergycodes.com/content/2019-local-energy-ordinances/
Benefits of All -Electric New Buildings
All -electric new buildings can offer several advantages
over traditional mixed fuel buildings. With advances in
modern heat pump technologies, all -electric homes can
be more cost-effective in both up -front construction
costs and long-term operational costs compared to
mixed fuel homes, allowing for lower cost housing to
be developed in Dublin and improved housing equity'.
A large portion of these cost savings comes from not
having to install natural gas infrastructure in the home.
All -electric new buildings can also be operated with no
GHG emissions due to Measure CF-1 which brings
100% carbon -free electricity to Dublin. Electrification
also provides health benefits. Research has identified
that natural gas combustion and low indoor ventilation
rates can cause significant health issues including
asthma2. Homes that decide to include solar and
battery storage can also operate without electricity
distributed by the grid, providing the benefit of
additional resilience.
2 https://www.atsjournals.org/doi/abs/10.1164/
arrd.1984.129.3.366?joumalCode=arrd
at
ff
Measure SM-1: Adopt an Electric
Vehicle Charging Station Ordinance
e0
The City of Dublin will adopt an electric vehicle (EV) charging station ordinance for
multifamily and commercial buildings to increase access to charging stations and ,L`
promote the use of electric vehicles.
7
1
•
let
4
Art
Aar
Access to reliable electric vehicle charging stations at home and work are key components to
facilitate the purchase of EV over gas vehicles. Lack of home access to EV charging infrastructure
in multifamily buildings is a major hurdle to EV ownership. An EV charging station ordinance
will ensure that access to EV charging stations will be available to all those living, working, or
visiting the City of Dublin. Increased access to EV chargers will reduce range anxiety and
encourage a shift to EV ownership at a rate that achieves the goal of 33% EV ownership in Dublin
by 2030.
To facilitate this increase in electric vehicle use, the City will adopt an electric vehicle charging
station ordinance. The ordinance will require all new commercial and multifamily buildings to
ensure 25% of parking spaces be "EV Ready" (conduit and electrical panel capacity installed), with
3% parking required to have installed and operable Level 2 EV charging stations or a comparable
level of service provided by DC Fast Charging or other technology as appropriate.
Key Target Metrics
dopt an EV Charger Ordinance in 2021
12% EV ownership by 2025
33% EV ownership by 2030
GHG Emissions Reduction Potential
,537 MT CO2e by 2025
,288 MT CO2e by 2030
= Metric Tons; CO2e= carbon dioxide equivalents
•
167
1
CITY or oueux
CLIMATE ACTION PLAN
s�s
DUBLIN
CALIFORNIA
Measure SM-1 Actions
1 Conduct outreach to the community as well as
builders/developers about the ordinance.
2 Draft an updated City ordinance that requires all
new commercial and multifamily buildings to
include 25% of parking spaces as "EV Ready"
(conduit and electrical panel capacity installed),
with 3% parking required to have installed
operable Level 2 EV charging stations or a
comparable level of service provided by DC Fast
Charging or other technology as appropriate.
3 Provide training to permit counter and building
code staff on the updated new building EV
charging station requirements.
4 Provide education as needed to builders and
developers on the requirements of the ordinance.
5 Track progress including the number of chargers
installed and the percent of EV's in Dublin
through the Department of Motor Vehicles
web site.
Co -Benefits:
1
Community Cost: S S
While the EV Infrastructure Ordinance will increase
construction costs by $400 or more per space, overall
costs for EV charging station installation will save
money compared to the cost of retrofits. The
ordinance will also ensure more individuals can have
access to the benefits of an EV.
City Cost: » S
Staff time to develop and implement an EV charging
station ordinance is expected to cost $8,000-$14,000 in
one-time staff costs.
1 https://fremont.gov/DocumentCenter/View/31450/PEV-
Infrastructure-Cost-Effectiveness-Report_Energy-
Solutions July-2016
Benefits of Increasing Community EV Use
Installation of EV charging station infrastructure
during building construction can save up to $5,500 for
two parking spaces.' While installation of EV charging
stations with new construction costs approximately
$400 per parking spot, retrofit projects can cost
upwards of $2,700 per space. Therefore, including
charging infrastructure as part of new construction
projects will lead to significant long-term savings of up
to 76%.'
Without charging infrastructure in multifamily homes,
residents are limited in their ability to own an electric
vehicle. While this ordinance may lead to increased
construction costs by a small percentage, the long-term
savings to Dublin residents are considerable. Installing
infrastructure with new construction will ensure homes
and businesses will not need as many retrofits in the
future and that charging stations are available to both
renters and homeowners. Electric vehicles result in no
local air emissions, are quiet, and have lower lifecycle
GHG emissions and costs compared to internal
combustion engines.2 EVs will also help improve air
quality both at the building site and throughout Dublin.
Thus, lower vehicle emissions mean improved health
as well as reduced costs for the community.'
2 http://fsec.ucf.edu/en/publications/pdf/fsec-cr-2053-17.pdf
3 https://www.epa.gov/mobile-source-pollution/research-
health-effects-exposure-risk-mobile-source-pollution
1
46
Measure MM-2: Reduce the Embodied G
Emissions Associated with Building Materials
The City of Dublin will require the use of low carbon concrete in new construction
projects to reduce lifecycle GHG emissions and the embodied carbon associated with
construction projects.
Although this Climate Action Plan does not quantify the lifecycle GHG emissions from the
consumption of materials, the City recognizes the growing science on embodied GHG emissions
in the built environment.
The "embodied emissions" of a building are emissions of carbon dioxide or other GHGs
generated by making and transporting materials to a building site, including mining, refining, and
shipping. Globally, embodied emissions account for 11% of a building's lifecycle emissions'. The
concrete industry is a major producer of carbon dioxide in the world, resulting in approximately
7% of worldwide GHG emissions. New technologies that replace cement with alternatives such
as fly ash or carbon absorbing particles can reduce embodied GHG emissions by up to 50%.2
Requiring projects to specify low carbon concrete in their projects, while maintaining required
strength and durability standards, will help the community work towards addressing lifecycle
GHG emissions and make an ever -larger impact on global CO2e emissions. Although this measure
will reduce GHG emissions, it is difficult to quantify and is not currently included in the State
GHG inventory. Therefore, this measure is considered supportive.
' http://www.carbonleadershipforum.org/about/why-embodied-carbon/
2 https://materialspalette.org/concrete/
Key Target Metrics
dopt an ordinance mandating low carbon concrete for all new
evelopment projects by 2023
GHG Reduction Potential
pportive
t
•
169
CITY or oueux
CLIMATE ACTION PLAN
s�s
DUBLIN
CALIFORNIA
Measure MM-2 Actions
1 Conduct outreach to the development community
regarding low carbon concrete using the Bay Area
Low Carbon Concrete Codes Project.
2 Present a low carbon concrete ordinance to City
Council based on the Marin County model
ordinance with specifications for residential and
non-residential development applications.
3 Educate City staff, and the development community
on the new reach code requirements.
4 Keep current on new model ordinances that identify
other building materials to target for additional
embodied carbon reductions.
Co -Benefits: jell Y.
Community Cost:
Low carbon concrete is approximately equal in cost to
standard high carbon concrete due to a currently
available significant local supply of fly ash in the Bay
Area.
City Cost:
Staff time will be required to update the City of Dublin
Building Code and implement the new requirements.
A low carbon concrete building code update can be
modeled off the work done by Marin County under a
grant from the Bay Area Air Quality Management
District. Costs for staff time is estimate at $10,000-
$15,000.
4 https://materialspalette.org/concrete/
Benefits of Reducing Embodied Emissions
Associated with Concrete
Concrete is the most widely used construction material
in the world and contributes the most lifecycle GHG
emissions of any single building material, resulting in
approximately 7% of global GHG emissions.' New
technologies allow concrete to be produced with less
cement (the binding agent in concrete) while
maintaining strength and durability. Some additives
can even help sequester more carbon during the curing
process. By adopting these requirements, the City of
Dublin will join a list of pioneering cities working to
address lifecycle GHG emissions and embodied
carbons. Based on data provided by the Marin County
low carbon concrete ordinance, the use of low carbon
concrete is expected to be cost competitive with
traditional concrete in the Bay Area.
5 https://www.marincounty.org/depts/cd/divisions/sustainability/low-
carbon-concrete-project
Attachment 3
RESOLUTION NO. 04 — 21
A RESOLUTION OF THE CITY COUNCIL
OF THE CITY OF DUBLIN
REQUESTING EAST BAY COMMUNITY ENERGY ENROLL CITY OF DUBLIN RESIDENTIAL
ACCOUNTS IN RENEWABLE 100 AS THE DEFAULT ELECTRICITY PRODUCT
WHEREAS, the City of Dublin has been a leader in the fight against climate change, having
adopted its first Climate Action Plan in 2010 with an update in 2013, with the goal to reduce
greenhouse gas emissions to 1990 levels by 2020; and
WHEREAS, on September 15, 2020, the City Council of the City of Dublin adopted the City
of Dublin Climate Action Plan 2030 and Beyond that includes a goal of reducing greenhouse gas
emissions by 40% below 1990 levels by 2030 to align with California Senate Bill 32 and to put the
City on a path to reach carbon neutrality by 2045; and
WHEREAS, Climate Action Plan 2030 and Beyond identifies renewable and carbon -free
electricity as the biggest opportunity to reduce greenhouse gas emissions within the City of Dublin;
and
WHEREAS, the City of Dublin's electricity provider, East Bay Community Energy (EBCE),
offers a 100% carbon -free and 100% renewable electricity product called Renewable 100; and
WHEREAS, enrolling residential accounts in the Renewable 100 carbon -free electricity
option is the most cost-effective way to reduce greenhouse gas emissions in Dublin and would
cost the average homeowner approximately four dollars per month more than current electricity
rates; and
WHEREAS, residential accounts on California Alternate Rates for Energy (CARE), Family
Electric Rate Assistance (FERA), and medical baseline accounts will remain on the current default
electric power product, EBCE's Bright Choice power product, offered at a slight discount
compared to Pacific Gas & Electric's (PG&E) standard product; and
WHEREAS, the City of Dublin and EBCE will reach out to commercial, industrial, and
institutional customers to encourage opting -up to the Renewable 100 power portfolio and the City
of Dublin intends to re-evaluate Renewable 100 as the default product for these customers within
the next year; and
WHEREAS, residential customers in the City of Dublin would retain the option to "opt down"
to an electric power portfolio with a lower percentage of carbon -free electricity or "opt out" to
PG&E's electricity; and
Reso. No. 04-21, Item 7.1, Adopted 1/12/21 Page 1 of 2 171
WHEREAS, establishing a renewable and carbon -free default electricity product for
residential customers would allow Dublin to showcase its environmental leadership and
demonstrate efforts to create a sustainable community in line with the goals of Climate Action
Plan 2030 and Beyond.
NOW, THEREFORE, BE IT RESOLVED, that the City Council of the City of Dublin does
request that East Bay Community Energy hereby enroll the City of Dublin in the Renewable 100
electric power portfolio as the default electricity product for all residential accounts, except for
CARE, FERA, and medical baseline accounts which would remain on the Bright Choice electric
power portfolio.
BE IT FURTHER RESOLVED that the City Council of the City of Dublin requests that the
EBCE Board consider Dublin's Renewable 100 default power portfolio request at the earliest
possible upcoming EBCE Board Meeting.
PASSED, APPROVED AND ADOPTED this 12th day of January 2021, by the following
vote:
AYES:
NOES:
ABSENT:
ABSTAIN:
Councilmembers Hu, Josey, Kumagai, McCorriston and Mayor Hernandez
I/nl�oC1E$eTLy:
OtAkfivoLv v V U
nnn�n:�SD.22F413A...
City Clerk
.-DocuSigned by:
-97C94F7A46A8461...
Mayor
Reso. No. 04-21, Item 7.1, Adopted 1/12/21 Page 2 of 2 172
Attachment 4
RESOLUTION NO. 28 — 22
A RESOLUTION OF THE CITY COUNCIL
OF THE CITY OF DUBLIN
REQUESTING EAST BAY COMMUNITY ENERGY ENROLL CITY OF DUBLIN
NON-RESIDENTIAL ACCOUNTS IN RENEWABLE 100 AS THE DEFAULT
ELECTRICITY PRODUCT
WHEREAS, the City of Dublin has been a leader in the fight against climate change, having
adopted its first Climate Action Plan in 2010 with an update in 2013, with the goal to reduce
greenhouse gas (GHG) emissions to 1990 levels by 2020; and
WHEREAS, on September 15, 2020, the City Council adopted the City of Dublin Climate
Action Plan 2030 and Beyond (CAP 2030) which includes goals to reduce GHG emissions by 40%
below 1990 levels by 2030 and to put the City on a path to reach carbon neutrality by 2045; and
WHEREAS, CAP 2030 identifies renewable and carbon -free electricity as the biggest
opportunity to reduce GHG emissions within the City of Dublin; and
WHEREAS, the City's electricity provider, East Bay Community Energy (EBCE), offers a 100%
carbon -free and 100% renewable electricity product called Renewable 100; and
WHEREAS, residential accounts were enrolled in Renewable 100 beginning January 1, 2022,
reducing GHG emissions in Dublin by approximately 28%; and
WHEREAS, enrolling non-residential accounts in Renewable 100 has the potential to reduce
GHG emissions in Dublin by an additional 25%; and
WHEREAS, non-residential accountholders in the City would retain the option to opt down to
EBCE's discounted power portfolio, Bright Choice, which offers a lower percentage of carbon -free
electricity, or opt out to electricity provided by Pacific Gas & Electric; and
WHEREAS, establishing Renewable 100 as the default electricity for both residential and non-
residential accounts would allow Dublin to showcase its continued environmental leadership and
demonstrate efforts to create a sustainable community in line with the goals of CAP 2030.
NOW, THEREFORE, BE IT RESOLVED that the City Council of the City of Dublin does
request that EBCE hereby enroll the City of Dublin in the Renewable 100 electric power portfolio as
the default electricity product for all non-residential accounts in the City.
BE IT FURTHER RESOLVED that the City Council of the City of Dublin requests that the
EBCE Board consider Dublin's Renewable 100 default power portfolio request at the earliest possible
upcoming EBCE Board Meeting.
{Signatures on the following page}
Reso. No. 28-22, Item 4.6, Adopted 04/05/2022 Page 1 of 2 173
PASSED, APPROVED AND ADOPTED this 5th day of April 2022, by the following vote:
AYES:
NOES:
ABSENT:
ABSTAIN:
Councilmembers Hu, Josey, Kumagai, McCorriston, and Mayor Hernandez
c—D�ocu//Signed by:
' 1— 4r7A46A8461...
ATTEST:
DocuSigned by:
l�l owP(i,r 114,
titytle°r F40A..
Reso. No. 28-22, Item 4.6, Adopted 04/05/2022 Page 2 of 2 174
1/
DUBLIN
CALIFORNIA
Climate Action Plan 2030
and Beyond Reach Codes
Report
September 6, 2022
175
Outline
• Overview of the Climate Action Plan 2030 and
Beyond.
• Measure EE-1: Achieve All -Electric New
Construction
• Measure SM-1: Adopt an Klectric Vehicle
Charging Station Ordinance
• Measure MM-2: Reduce the hmbodied
Greenhouse Gas (GHG) I -missions Associated
with Building Materials
Climate Action Plan 2030 and Beyond
CITY OF DUBLIN
CLIMATE ACTION PLAN
2030 AND BEYOND
Building Thriving and Resilient Neighborhoods forAll
September 2020
• Five strategies in the
Climate Action Plan 2030
and Beyond (CAP 2030):
— Renewable and Carbon Free
Electricity (CF)
— Building Efficiency and
Electrification (EE)
Sustainable Mobility and
Land Use (SM)
— Materials and Waste
Management (_MM)
— Municipal Leadership (ML)
Measure EE- I
Measure EE-1: Achieve
All -Electric New Building Construction
Adopt an all -electric building reach code for new construction to reduce natural gas
use and limit the development of new gas infrastructure in the City of Dublin.
"to, -
Coupled with the communitywide 100% carbon -free energy of Measure CF-1, new building
electrification results in homes and businesses that emit no GHGs.
It is estimated that if an electric building reach code is not adopted, new construction would add
over three million therms of natural gas use in Dublin by 2045. Developing all -electric buildings
has been found to be less expensive to construct and operate in Dublin's climate zone compared
to constructing residential and commercial buildings with both gas and electric utilities, especially
when paned with solar photovoltaic and solar thermal installations, which are not vet mandatory
under Title 24 of the California Building Code.
In order to meet the long-term goal of carbon neutrality by 2045, the direct GHG emissions from
natural gas will need to be phased out. Therefore, it is critical to limit new natural gas infrastructure
and construct buildings today that are ready for tomorrow.
Key Target Metrics
Adopt a new -building electrification ordinance in 2020.
GHG Emissions Reduction Potential
2,633 MT CON. by 2025
4,828 MT COre by 2030
Mack. C.aR-coo diozule
• Implementing Measure
EE-1 plus Measure CF-1,
Opt -up to 100%
Renewable and Carbon -
Free Electricity, would
result in buildings that do
not emit GHGs.
• GHG emissions reduction
potential is estimated to be
2,633 metric tons (M'I)
carbon dioxide equivalent
(CO2e) by 2025 and 4,828
MT CO2e by 2030.
All -Electric Municipal Ordinance
All -Electric Municipal Ordinance would prohibit
gas hookups via municipal ordinance.
• Pro: Can be adopted indefinitely since it is not
tied to the building code.
• Con: May not cover buildings which have
already received entitlements.
• Con: There are uncertainties regarding potential
legal challenges.
All -Electric Building Code
All -Electric Building Code is a local amendment to
Title 24 of the California Building Code
(CALGreen) that would require electric appliances.
• Pro: Can be adopted as part of the 2022
CALGreen building code update.
• Pro: May cover buildings that have received
entitlements.
• Con: Must be re -adopted with every building
code cycle.
Electric Preferred Building Code
Electric -Preferred Building Code. This is the base
code in the 2022 California Energy Code. Allows for
mixed -fuel buildings with higher energy performance
and pre -wiring for electric -ready buildings.
• Pro: 2022 CALGreen building code can be adopted
by reference.
• Con: May not reduce GHG emissions enough to
meet the CAP 2030 goals.
• Con: The CAP 2030 could not be used for CEQA
streamlining.
Cost of Electrification
Figure 1. Capital Cost of High -Efficiency Appliances vs. Gas Alternatives in Single Family Home New
Construction (Source: E3, Residential Building Electrification cation in California, 2019) *
$25,000.00
$20, 000.00
$15,000.CO
$10,000.00
$5,000.00
$-
CZ3 CZ4
C212
CZb CZ9 CZ10
■ All -Electric Home ■ Mixed -Fuel Home
*"CZ" means climate zone.
Cost of Electrification
Figure 2. Capital Cost of High -Efficiency Appliances vs. Gas Alternatives in Low Rise Multifamily
New Construction (Source: E3, Residential Building Electrification in California, 2019.)
$25,000.00
$20,000.00
515,000.00
$10,000.00
55,000.00
$-
IIIiIiiI1III
CZ3 C24
CZ12
■AJI-Electric Home ■Mixed-Fuek Home
CZ9 C210
Availability of Electric Technologies
• All -electric appliances are available to local
builders.
— Induction cooktops/ranges, heat pump water
heaters, heat pump space heating/cooling appliances.
• Some developers and contractors lack familiarity
with installing all -electric appliances.
— Bay Area Regional Energy Network is providing
training events to address the knowledge gap.
Measure SM-I
Measure SM-1: Adopt an Electric
Vehicle Charging Station Ordinance
The City of Dublin will adopt an electric vehicle (EV) charging station ordinance for
multifamily and commercial buildings to increase access to charging stations and
promote the use of electric vehicles.
Access to reliable electric vehicle charging stations at home and work are key components to
facilitate the purchase of EV over gas vehicles. Lack of home access to EV charging infrastructure
in multifamily buildings is a major hurdle to EV ownership. An EV charging station ordinance
will ensure that access to EV charging stations will be available to all those living, working, or
visiting the City of Dublin. Increased access to EV chargers will reduce range anxiety and
encourage a shift to EV ownership at a rate that achieves the goal of 33% EV ownership in Dublin
by 2030.
To facilitate this increase in electric vehicle use, the City will adopt an electric vehicle charging
station ordinance. The ordinance will require all new commercial and multifamily buildings to
ensure 25 % of parking spaces be "EV Ready" (conduit and electrical panel capacity installed), with
3% parking required to have installed and operable Level 2 EV charging stations or a comparable
level of service provided by DC Fast Charging or other technology as appropriate.
Key Target Metrics
Adopt an EV Charger Ordinance in 2021
12% EV ownership by 2025
33% EV ownership by 2030
GHG Emissions Reduction Potential
8,537 MT COze by 2025
26,288 MT CO2e by 2030
■
• CAP 2030 goal is for
33% of vehicles in
Dublin to be electric
vehicles (EV) by 2030.
• This would result in a
reduction of
approximately 26,288
MT CO2e by 2030.
Measure SM-I
• CAP 2030 target is
25% parking spaces
"EV Ready."
— Panel capacity and
conduit installed.
• 3% of stalls have
installed Level 2
chargers, or
comparable amount
of Direct Current
Fast Chargers.
Figure 3. Standard Electric Vehicle Charging Stations (image credit to Shradha Jadhav on Linkedln)
Level 1 chargiri
Voltage:
120V
Charge Time:
3 - 5 miles per hour
Locations:
Home
1
Level 2 cha
Voltage:
240V
Charge Time:
12 - 40 miles per hour
Locations:
Home, Public
v el 3 charging
irsiitia
Voltage:
480V
Charge Time:
80% charge in 20-30 mins
Locations:
Public
2022 CALGreen Building Code
• 2022 CALGreen building code includes new
minimum and voluntary Tier 1 and Tier 2 EV
charging station requirements.
• CAP 2030 definition of "EV Ready" is
analogous to the CALGreen definition of "EV
Capable."
• Tables shown later in presentation are
CALGreen definitions.
Bay Area Reach Codes
• Consortium of organizations including:
— East Bay Community Energy (BCE)
— Peninsula Clean Energy (PCE)
— Silicon Valley Clean Energy (SVCE)
— San Mateo County Office of Sustainability
— County of Santa Clara
— StopWaste
• Developed template code language and other
resources which are provided on the
bayareareachcodes.org web site.
Multifamily Residential (20+ Units)
Table 1. Multifamily Residential (20+ units) Codes Comparison for New Construction*
2019 Tier 2
Code (Adopted)
CAP 2030
2022 Ease
2022 Tier 1
2022 Tier 2
Reach
Code
EV Capable
20%
25%
10%
-
-
85%
EV Ready
-
25%
35%
40°u
-
EVCS
Installed**
-
3 %
5%
10 %
15%
15%
*The percentages in the columns are additive, not subsets of each other (i.e., the 2022 CALGrcen base code will
have a total of 30% electrified spaces with 5% EVCS installed plus 25% EV Ready).
**A11 percentages are for Level 2 chargers, or for infrastructure capable of supporting Level 2 EVCS.
EV Capable: Electrical panel capacity and conduit installed for future
build out of Level 2 Chargers.
EV Ready: Full circuit installed (Level 2 panel capacity, conduit, wiring,
receptacle and overprotection devices similar to a dryer circuit).
Multifamily Residential (<20 Units)
Table 2. Multifamily Residential (<20 units) Codes Comparison for New Construction*
2019 Tier 2 Code
(Adopted)
CAP 2030
2022 Base
2022 Tier 1
2022 Tier 2
Reach Code
EV Capable
20%
25%
10
-
-
85%
EV Ready
-
25h
35%
40%
-
EVCS
Installed
-
3%
-
-
-
15%**
*The percentages in the columns are additive, not subsets of each other (i.e., the 2022 CALGrcen base code will
have a total of 25% EV Ready plus 10% EV Capable).
**All percentages arc for Level 2 EVCS, or infrastructure capable of supporting Level 2 EVCS.
EV Capable: Electrical panel capacity and conduit installed for future build out of
Level 2 Chargers.
EV Ready: Full circuit installed (Level 2 panel capacity, conduit, wiring, receptacle
and overprotection devices similar to a dryer circuit).
Commercial
Table 3. Commercial Codes Comparison for New Construction*
2019 Tier 2
Code
(Adopted)
CAP
2030
2022
Base
2022 Tier 1
2022 Tier 2
Reach Code
Office
Hotel
All
Other
EV
Capable
20%
25%
20%
30%
45%
30%
10%
10%
EV
Ready
-
-
-
-
-
25%
-
EVCS
Installed
-
3%
5% (25°.
of the
20%)
10°A (33%
of the 30%)
15°A (33%
of the 45°. )
20%
5%
10%
* All percentages are for Level 2 EVCS, or infrastructure capable of supporting Level 2 EVCS.
**percentages are not additive; instead they are a subset of the total spaces impacted.
EV Capable: Electrical panel capacity and conduit installed for future build out of
Level 2 Chargers.
EV Ready: Full circuit installed (Level 2 panel capacity, conduit, wiring, receptacle
and overprotection devices similar to a dryer circuit).
Single Family and Existing
Construction
Table 4. Single Family New Construction Codes Comparison
2019 Tier 2
Code
(Adopted)
CAP
2030
2022 Base
2022 Tier 1
2022 Tier 2
Reach Code
EV
Capable
100%
-
A11 SF
garages
-
-
-
EV Ready
-
-
-
All SF
garages
All SF
garages
All SF
garages
EVCS
Installed
-
-
-
-
-
-
Table 5. Existing Construction Codes Comparison
Existing
Parking
Lots
2019 Tier 2
Code
(Adopted)
CAP 2030
2022 Base
Reach Code
Multifamily
-
-
If adding stalls or
altering
lighting/electrical
systems, 10% of
altered spots required
to be EV capable.
If adding stalls or
altering
lighting/electrical
systems, 10% of altered
spots required to be
EVCS.
Commercial
-
-
-
Costs of Installing EV Chargers
• 2019 California Air Resources Board Study
— New construction: $870 - $960 per space
— Existing construction: $7,000 - $8,000 per space
Table 6. PCE and SVCE November 2019 EV Infrastructure Cost Effectiveness Study
Code Scenario
Market Rate
25% Level 2/75%
Level 1
Market Rate
25% Level
2/75% Level 1
Affordable Housing
10% Level 2/90%
Level1
Affordable
Housing
10% Level
2/90% Level 1
Building Type
New Construction
Retrofit
New Construction
Retrofit
60 Unit MFD
S1,410
$4,443
$1,049
S3,982
150 Unit MFD
S1,197
$4,101
$1,002
S3,854
60 Unit Office
Building
S1,166
$3,232
N/A
N/A
Measure MM-2
Measure MM-2: Reduce the Embodied GHG
Emissions Associated with Building Materials
The City of Dublin will require the use of lore carbon concrete ni new construction
projects to reduce lifecycle GHG emissions and the embodied carbon associated with
construction projects.
Although this Climate Action Plan does not quantify the lifecycle GHG emissions from the
consumption of materials, the City recognizes the growing science on embodied GHG emissions
in the built environment.
The "embodied emissions" of a building are emissions of carbon dioxide or other GHGs
generated by making and transporting materials to a building site, including mining, refining, and
shipping. Globally, embodied emissions account for 11% of a building's lifecycle emissions[. The
concrete industry is a major producer of carbon dioxide in the world, resulting in approximately
7% of worldwide GHG emissions. New technologies that replace cement with alternatives such
as fly ash or carbon absorbing particles can reduce embodied GHG emissions by up to 50% 2
Requiring projects to specify low carbon concrete in their projects, while maintaining required
strength and durability standards, will help the community work towards addressing lifecycle
GHG emissions and make an ever -larger impact on global COze emissions. Although this measure
will reduce GHG emissions, it is difficult to quantify and is not currently included in the State
GHG inventory. Therefore, this measure is considered supportive.
http://www.carbodeadecshipfotum.org/about/why-embodied-carboy/
% https://materialspalette.org/concrete/
Key Target Metrics
Adopt an ordinance mandating low carbon concrete for all
development projects by 2023
GHG Reduction Potential
sportive
• Cement production
accounts for as much as
7% of global GHG
emissions.
• Embodied carbon in
cement can be reduced
through addition of
secondary cementitious
materials.
• Pilot specifications first.
Conclusion
• All -electric building or municipal code could
reduce GHG emissions and has had support
from Pacific Gas & Electric. The code could
help streamline plan review and inspection.
• EV charging station ordinance sets the stage for
the transition to EVs mandated by the State.
• Low carbon concrete code would help Dublin
start working towards addressing life cycle GHG
emissions.
Next Steps
• Based upon direction from City Council, Staff
will conduct public outreach on the selected
electrification and KV charger codes and
subsequently bring the codes to City Council for
consideration later this calendar year.