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HomeMy WebLinkAbout6/7/2017 - STAFF REPORTS - D.1. �o QAIMspP a Y N y C4<FORN�p» CITY COUNCIL STAFF REPORT DATE: 14w47-, 201Cc:n_�jytu&( -}t% �- ) L�v,,c,— 7 ,D�Ol'-7 LEGISLATIVE SUBJECT: INTRODUCTION OF AN ORDINANCE OF THE CITY OF PALM SPRINGS, CALIFORNIA, ADDING SUBSECTION (k) TO SECTION 11.74.043 AND SECTION 5.78.050, AND AMENDING SECTION 5.78.010 OF THE PALM SPRINGS MUNICIPAL CODE, REGARDING LOUD, UNUSUAL NOISES AND LANDSCAPE RELATED BUSINESSES, PROHIBITING GASOLINE POWERED LEAF BLOWERS IN THE CITY AS A PER SE NUISANCE COMMENCING ON JANUARY 1, 2019, AND PROVIDING FOR REGULATION OF ELECTRICAL OR BATTERY POWERED LEAF BLOWERS FROM: David H. Ready, City Manager BY: Edward Z. Kotkin, City Attorney SUMMARY This proposed Ordinance adds gasoline-powered leaf blowers to the list of prohibited noises in the City's Municipal Code, and specifies the noise emitted from such leaf blowers as a nuisance. The prohibition on gasoline leaf blower noise and the nuisance provision would both go into effect on January 1, 2019. In recognition of the noise emitted from electrical/battery powered leaf blowers, this Ordinance also provides for regulation of leaf blowers in the City. RECOMMENDATION: Waive the reading of text in its entirety, read by title only, and introduce for first reading Ordinance No. I " AN ORDINANCE OF THE CITY OF PALM SPRINGS, CALIFORNIA, ADDING SUBSECTION (k) TO SECTION 11.74.043 AND SECTION 5.78.050, AND AMENDING SECTION 5.78.010 OF THE PALM SPRINGS MUNICIPAL CODE, REGARDING LOUD, UNUSUAL NOISES AND LANDSCAPE RELATED BUSINESSES, PROHIBITING GASOLINE POWERED LEAF BLOWERS IN THE CITY AS A PER SE NUISANCE COMMENCING ON JANUARY 1, 2019, AND PROVIDING FOR REGULATION OF ELECTRICAL OR BATTERY POWERED LEAF BLOWERS." ITEM NO. City Council Staff Report May 17, 2017 -- Page 2 Leaf Blower Prohibition and Regulation STAFF ANALYSIS: On February 15, 2017, the City Council reviewed a comprehensive staff report regarding the use of gasoline powered leaf blowers in the City. The City Council directed staff to draft an ordinance that would phase out gasoline powered leaf blowers in the City. In order to achieve the "phase-out" direction of the Council, the proposed ordinance prohibiting gas powered leaf blowers in the City would not go into effect until January 1, 2019, with citations for violations not to issue until April 1, 2019. The status quo is that all leaf blowers are allowed throughout the City every day of the week, between 7:00 a.m. and 8:00 p.m. in commercial/industrial zones. In this proposed Ordinance, the Council makes a factual finding that as of the date of this Ordinance's adoption, there is no technology or practice that will prevent gasoline powered leaf blowers from constituting a "noise disturbance" as that term is defined under the Palm Springs Municipal Code. That said, as the Council knows from its review of the comprehensive report in February, newer electrical/battery powered leaf blowers emit noise at only a slightly lower level than newer gas powered blowers. As the age of a gas powered blower increases, so does the noise differential. To address the challenges presented by the continued use of electrical/battery powered leaf blowers, this Ordinance provides the City with authority to develop and issue regulations applicable to all leaf blowers. Based upon consideration of the positive environmental impact of electrical/battery powered blowers as a tool to maintain the health, safety and welfare of the community, the Council has the discretion to legislate the exemption specified in this proposed Ordinance as to electrical/battery powered leaf blowers. The City of Palm Springs currently uses gas powered leaf blowers in its operations within several departments, and has engaged a contractor to assist the City in providing essential landscape maintenance services throughout the City. This Ordinance will impact the City of Palm Springs, just as it will impact all sorts of people and companies in the private sector. Based upon Council's past direction, staff undertook an informal but simple empirical study to help the Council evaluate the fiscal and other impacts of this Ordinance. Data is detailed below in the Fiscal Impact section of this report. In additional, the City of Palm Springs is now on the test case list for the Air Quality Management District with respect to leaf blowers in the commercial sector. As such, the City receives devices for temporary deployment and data gathering, which devices must be returned to AQMD. The "phase-out" period, as well as the "grace" period during which this Ordinance will be enforceable but not prompt the issuance of any citations, will provide staff with the time to educate affected users, implement a leaf blower exchange program to the extent that the City determines it can proceed with one, commence water saving landscaping classes as they may relate to diminution of the necessity of leaf blowing in general, and 02 City Council Staff Report May 17, 2017-- Page 3 Leaf Blower Prohibition and Regulation continue to research the availability of grant funds to help offset costs the City may incur as detailed below. ALTERNATIVES: Reject the proposed Ordinance as drafted and provide direction to staff as to Council- desired revisions. CALIFORNIA ENVIRONMENTAL QUALITYACT (CEQA) DETERMINATION: This Ordinance will actually have a positive impact on the environment. As an example of this impact, since the AQMD's Leaf Blower Exchange Program began in 2006, 12,000 old leaf blowers have been replaced, reducing 138,729 pounds of hydrocarbon and NOx emissions per year. The AQMD exchange program has also reduced smog- forming pollutants by 88,282 pounds per year in Southern California. Furthermore, this Ordinance is not a "project" for purposes of the California Environmental Quality Act (CEQA), as that term is defined by CEQA guidelines (Guidelines) section 15378. This Ordinance is organizational or administrative activity by the City of Palm Springs in furtherance of its police power, and will not result in a direct or indirect physical change in the environment, per section 15378(b)(5) of the Guidelines. FISCAL IMPACT: To the extent that fiscal impacts have been gauged by staff, they may be described as follows. One estimate that city staff secured from a local vendor indicates that an electrical/battery powered leaf blowing unit that the City of Palm Springs will use pursuant to this Ordinance cost around one thousand four hundred twenty dollars ($1,420.00) per unit inclusive of a single battery, and a high-speed charger and adapter for that battery. Each battery costs approximately four hundred twenty-five dollars ($425.00). Each battery adapter, apparently necessary as an accessory to each battery, costs around a hundred dollars ($100.00). Battery life for these units is approximately forty-five (45) minutes; depending upon the nature and extent of each unit's use, at least one "back-up" battery (and adapter) should be acquired along with each unit purchased. In addition, the batteries do not tolerate heat well, and will need to be stored by the City in a reasonably cool location. Although it is not a direct expenditure, this fact will reduce efficiency in the City's leaf-blowing operations because users will have to periodically return from the field to a battery-storage location to change the battery. More hours will be spent blowing leaves. 03 City Council Staff Report May 17, 2017-- Page 4 Leaf Blower Prohibition and Regulation Significant cost savings may be realized in the purchase of new electrical/battery powered leaf blowers through an AQMD leaf blower exchange anticipated to open in June or July. The AQMD website indicates that on the model referenced in the estimate procured, the City would save five hundred dollars ($500.00) on the purchase of the blower with a single battery, with a charger and adapter. The City's downtown maintenance team engages in three (3) to four (4) hours per day of work involving leaf blowers. That team requires two (2) leaf blowing units, and will require the acquisition of not less than three (3) back-up batteries, and presumably adapters for each unit. That yields a cost of almost three thousand two hundred dollars ($3,200.00) for the downtown maintenance team. The City has other teams that use blowers that would need to be replaced —for streets, a single blower, for parks two (2) additional blowers, and for facilities, one (1) more blower. The other teams require fewer replacement batteries than the downtown maintenance team. The City's landscape maintenance contractor also uses leaf blowers. Staff estimates that the contractor employs the use of a dozen blowers in its work. The City staff cannot provide certainty at this time as to precisely how AQMD and/or other program funds available may mitigate the direct financial impacts described above, or the indirect financial impacts that may arise from any City leaf blower exchange program implemented in the private sector. Edward Z. Kotkin, City Attorney Marcus L. Fuller, Assistant City Manager David H. Ready, Esq ity Manager Attachments: Draft Ordinance 04 ORDINANCE No. AN ORDINANCE OF THE CITY OF PALM SPRINGS, CALIFORNIA, ADDING SUBSECTION (k) TO SECTION 11.74.043 AND SECTION 5.78.050, AND AMENDING SECTION 5.78.010 OF THE PALM SPRINGS MUNICIPAL CODE, REGARDING LOUD, UNUSUAL NOISES AND LANDSCAPE RELATED BUSINESSES, PROHIBITING GASOLINE POWERED LEAF BLOWERS IN THE CITY AS A PER SE NUISANCE COMMENCING ON JANUARY 1, 2019, AND PROVIDING FOR REGULATION OF ELECTRICAL OR BATTERY POWERED LEAF BLOWERS. City Attorney Summary This Ordinance prohibits the use of gasoline powered leaf blowers in the City commencing on January 1, 2019, and provides for the regulation of electrical or battery powered leaf blowers. The City Council of the City of Palm Springs Ordains: SECTION 1. The City Council hereby makes the following factual findings: (i) as of the date of this Ordinance's adoption, there is no technology or practice that will prevent gasoline powered leaf blowers from constituting a "noise disturbance" as that term is defined under the Palm Springs Municipal Code, and (H) to mitigate potentially undesirable logistic impacts of this Ordinance, and accomplish the gradual acceptance of the requirements of this Ordinance by all parties as desired by the Council, the City should issue warnings as to violations after this Ordinance's effective date, but should issue no citation for any violation hereof until 12:01 am on April 1, 2019. SECTION 2. Add Subdivision (k) to Section 11.74.043 to Chapter 11 .74 of the Palm Springs Municipal Code, re "Loud, Unusual Noises," to read: (k) Gasoline Powered Leaf Blowers. The use of gasoline powered leaf blowers, to produce a current of air and thereby push, propel or blow cuttings, refuse or debris, or otherwise shall be prohibited within the corporate limits of the City. SECTION 3. Add Section 5.78.050 to Chapter 5.78 of the Palm Springs Municipal Code, re "Landscape Related Businesses," to read: The City Manager, or his/her designee is hereby authorized and directed to adopt guidelines for the proper use of electrical or battery powered leaf blowers, which guidelines shall promote the safe and efficient use of leaf blowers while also mitigating, Page 1 05 to the extent possible, the noise and nuisance effects of Leaf blowers. The Finance Department is hereby directed to provide a copy of this Ordinance and the leaf blower guidelines to each person obtaining a City business license for the operating of a gardening or landscape maintenance service or business within the City. SECTION 4. Amend Section 5.78.010 in Chapter 5.78 of the Palm Springs Municipal Code, re "Landscape Related Businesses," to read: The purpose and intent of this chapter is to promote the public health, safety, and general welfare by insuring that landscape related businesses operating within the city understand and appreciate (i) the grass over-seeding alternative promoted by CVAG, AQMD, and local stakeholders, which alternative eliminates the need for turf scalping, serves as an important air quality control measure, and thereby enhances the local air quality, and (H) the City's determination that electrical or battery powered leaf blowers authorized for use in the City of Palm Springs is an activity that must be regulated. SECTION 5. Neither introduction nor adoption of this Ordinance represents a "project" for purposes of the California Environmental Quality Act (CEQA), as that term is defined by CEQA guidelines (Guidelines) section 15378, because this Ordinance is an organizational or administrative activity that will not result in a direct or indirect physical change in the environment, per section 15378(b)(5) of the Guidelines. SECTION 6. The Mayor shall sign, and the City Clerk shall certify to the passage and adoption of this Ordinance and shall cause the same, or the summary thereof, to be published and posted pursuant to the provisions of applicable law; this Ordinance shall take effect at 12:01 am on January 1, 2019. PASSED, APPROVED AND ADOPTED BY THE PALM SPRINGS CITY COUNCIL THIS _ DAY OF , 2017. ROBERT MOON, MAYOR ATTEST: KATHIE HART, INTERIM CITY CLERK Page 2 06 Terri Milton From: dh77avanti@58edsel.com Sent: Wednesday, June 07, 2017 3:51 AM To: CityClerk Subject: Leaf Blowers Dear City Council Members, I am unable to attend this week's City Council meeting as I am out of town. I would like to voice my support for a ban on gasoline powered leaf blowers, for the reasons of both noise pollution and air pollution. Sincerely, Douglas Huth 565 N. Saturmino Dr Palm Springs 92262 6161-07- Z.0/7 cad � ex-( a�trc t Terri Milton From: Mr K. 'Buck' Catterlin <KennCatterlin@hotmail.com> Sent: Tuesday,June 06, 2017 10:03 PM To: CityClerk Cc: Robert Moon; Ginny Foat; Chris Mills; Geoff Kors;JR Roberts; David Ready; Mr K. 'Buck' Catterlin Subject: Gas Leefblower Proposal Honorable Gentlemen and Ladies: While this may be an excellent proposal, I find it interesting that the Staff Report makes no mention of the cost impact on the Yard Maintenance Businesses (gardeners and others). Or the increase in costs that will be placed on people living on fixed incomes living on fixed incomes as the result of the passing of this ordinance. While it does speak to some of the City's expected increased costs. Is it assumed that every one owning a property in Palm Springs has excess disposable income to cover these costs without reducing spending on other items and thus reducing the income of other small businesses in Palm Springs? Any related net tax revenue lost or gained based on spending in either the short or long term related to how peoples make changes to their disposable income and the shift of a portion of that to payments for property maintenance to contractors that may not be required to pay sales and other taxes to ther City is nowhere to be found in this Staff Report. And if the providers of these services are able to find the equipment they need at lower prices outside the City boundaries, we also loose that tax revenue as well. None of this financial analysis was contained in the Staff Report. Clearly the adequacy of this, and I now wonder many, Staff Reports, is incomplete and highly questionable. Kenneth Catterlin 760-459-3830 J.--E•P�m � • � . I� ' (�dtli t v nevi n Gv0-ts" Of QALM S,6 iy O 1J N �O�+mae 'Cg4IfOAN% City Council Staff Report Date: February 15, 2017 NEW BUSINESS Subject: CONSIDERATION OF REGULATIONS LIMITING THE USE OF GASOLINE POWERED LEAF BLOWERS From: David H. Ready, City Manager Initiated by. Office of Sustainability SUMMARY At its meeting of December 20, 2016, the Sustainability Commission unanimously approved a recommendation that the City Council immediately start to phase out gas powered leaf blowers and eliminate them in all areas/zoning of the City by December 31, 2018. The Sustainability Commission also recommended a program to test battery powered blowers and other maintenance equipment by City employees and contractors, and that the City provide an exchange program for gardener/landscaper-owned gas powered leaf blowers. Staff requests City Council consideration of the Sustainability Commission's recommendations, and direction on potential new leaf blower regulations. RECOMMENDATION: Provide direction to staff as appropriate. BACKGROUND: At the June 23, 2016, joint meeting of the City Council and Sustainability Commission, the City Council received a presentation on development of regulations limiting the use of leaf blowers throughout the City. A copy of the June 23, 2016, staff report is included as Attachment 1. At that time, the City Council directed staff and the Sustainability Commission to continue to conduct studies and develop options for the reductions and/or elimination of gas powered leaf blowers including grant or incentive options, educational component, health protections for workers, and potential phased-in regulations. At its July 19, 2016, meeting, the Sustainability Commission appointed an Ad-Hoc Subcommittee to review, research and develop recommendations for limiting the use of leaf blowers within the City. The Ad-Hoc Subcommittee reviewed data from the prior work rmM NO. 5 g City Council Staff Report February 15, 2017- Page 2 Leaf Blower Regulations of the Sustainability Commission in 2012/2013 and 2015/2016 regarding leaf blower regulations, researched other City regulations, reviewed the ONE-PS Ecology Committee meeting minutes on the issue, leaf blower manufacturer noise and emission specifications, and South Coast Air Quality Management District ("AQMD") information related to leaf blowers. On October 24, 2016, the Sustainability Commission conducted a public workshop at the City Council Chambers of City Hall; public notices and invitations were sent to all applicable licensed gardening/landscaping business owners and community organizations. On-line notices of the public workshop were sent through the City's website, distributed via ONE-PS, Nextdoor, Facebook, and other social media outlets. Sustainability Commission Chair also wrote an article published in the Desert Sun on October 20, 2016, inviting the public to participate at the workshop held on October 24, 2016; a copy of the article is included as Attachment 2. At the October 24, 2016, workshop, 28 people attended and 13 speakers commented on the item. City staff provided a Spanish-speaking employee for translation purposes. The Sustainability Commission considered the Ad-Hoc Subcommittee's recommendations at its November 15, 2016, meeting. At its December 20, 2016, meeting, the Sustainability Commission unanimously approved the Ad-Hoc Subcommittee's recommendations, which generally include the following: • Phase out gas powered leaf blowers and eliminate their use and operation in all areas/zoning within the City by December 31, 2018 • Implement a testing program of battery powered leaf blowers and other maintenance equipment on City property by City employees and contractors during the phase-out period • Develop an exchange program of gas-powered leaf blowers for battery-powered leaf blowers, with priority on less efficient / higher polluting 2-stroke gasoline-powered leaf blower engines • Implement requirements for all employees of gardening/landscaping business to be trained on the proper use of leaf blowers The Ad-Hoc Subcommittee's recommendation, supported by the Sustainability Commission and recommended to the City Council, rejected possible restrictions on leaf blowers by noise/decibel level, or by hours or days of the week, or by zoning. A copy of the Sustainability Commission Ad-Hoc Subcommittee's report is included as Attachment 3. 02 City Council Staff Report February 15, 2017 - Page 3 Leaf Blower Regulations ANALYSIS: At the direction of the California Legislature, in 2000 the California Air Resources Board ("GARB") published a comprehensive report on the potential health and environmental impacts of leaf blowers, (the "2000 CARB report"); a copy of the report is included as Attachment 4. Noise The City of Palm Springs 2007 General Plan includes Chapter 8 — Noise Element, which outlines a set of noise control policies, programs, and implementation measures for solving noise-related issues and problems. According to the General Plan, the City uses the "Community Noise Equivalent Level (CNEL)" factor which is defined as: the average equivalent A-weighted sound level during a 24-hour day, obtained after the addition of five decibels to sound levels in the evening from 7:00 p.m. to 10:00 p.m. and after the addition of 10 decibels to sound levels in the night from 10:00 p.m. to 7:00 a.m. CNEL and Ldn are the metrics used in (the General Plan) to describe annoyance due to noise and to establish land use planning criteria for noise. Figure 8-1 from the General Plan depicts the typical sources of sound and how they vary in intensity, as shown here: Threshold of Pain 125 DC-10 Aircraft Rock Band 110 Busy 85 Street Conversation 65 45 Auto at low Speed LWIiiiiiiiiiiiiiiiiiI Rustle of Leaves 15 Threshold of Hearing decibels Figure 8-1 Sources of Sound 03 City Council Staff Report February 15, 2017- Page 4 Leaf Blower Regulations Figure 8-1 from the General Plan also depicts the range of CNEL based on land use category, as shown here: LAND USE CATEGORY COMMUNITY NOISE EXPOSURE LEVEL Ldn or CNELd$A 55_ 60 65 70 75 80 fies Density Single Family. Duplex. Single Family,Ouples.Mobile Homes Residential-Multiple Family Transiem Lodging-Moreh,Hotels Schools,Librarles.Churchet.Hospitais, t.._.__. _.__...._ Nursing Homes Auditoriums,Concert Halls,Ampitheaters 1„ _ Sports Atena,0utdoor Spectator Sports Playgrounds Neighborhood Parks :GoIFCourses.Riding StablesWaterOfficeBulldings.ausinesses.CammerdaL F . ]IF and Professional industrial.Mantdacturtrg futilities, .:.....�. . �.:.. � - - Agriculture i'.-..-."�1 NarmxlNMcfWaEM lkvmaOY lxixc MlXde:w...mm�. J 1MM�rWN If.Y�.Yr MYl KnwrN ..- r,fwwf Ja.tl>^YM1M - .,'Mmar xrypubmf.�raWOmM M.nwyrrlX+ry�py„xrpw.;.dw+ke MmY[ns.rneN1 r4MTY tl.n vrJsYR uT' n.4�nrn M.r,Ylu,s.Y.,.yrf. '. p[Ll�a.rmMe„pwwrrwrrv. w.rW,mn•wywnrro Tw l..ya. , Cd%N1br1iW ALY!(rIJMR x.Y(r.rr.wrYn nrr.w.Lvy.rYgiw..xnwM4Wlq '��� II'; ypµrPM,tl rIM1r1M WwYf.r�n}'l InM1 euaae wryYaawiwr,nxYlw.xpw. -C4rN VnxarytanM rr....sn.n«rtlr rwnn.+.d.w,...w...r.r J..4nr�aM a..Yp.n,ua.W v"�'•+,-ma.rer I,mpRi„.rvvyyYnlw,fnyrcww.rn .Yw.Cenwr..nfwfar....n.v.Lw nn4,aMn Wvrn:rx.f..a.�n M6xnr wrcrwarlx,Nww.ntn.i.xr.,,.. .u[glY.rflMruaxrMMvxrCwN rwrwy, wllf Wnlo-wxw,M.�+r-..y,1.MW nhr�tWra.mmmmuinxv xewxnx.,r .alY birr.GM..rtlfr.MwY iarip.x.\yW 4m WYnI W f M W f�wtgrvMM W R,yw.Myl,y.I4f,.-w As shown in Figure 8-2 of the General Plan, depending upon the type of land use, generally 55-70 decibels determines the point at which noise levels are acceptable or unacceptable. 04 City Council Staff Report February 15, 2017- Page 5 Leaf Blower Regulations Action NS 3.5 from the Noise Element of the City's General Plan provides guidance on regulating noises generated by leaf blowers, and states: NS3.51ncorporate provisions into the City Noise Ordinance to regulate noise impacts of domestic portable power equipment, such as power tools, lawn mowers, and leaf blowers. Chapter 11 .74 of the Palm Springs Municipal Code is identified as the "Noise Ordinance" and establishes allowable noise levels by time of day and by zoning districts throughout the City, as shown in Table 1. Sound Letal Zone Time (.a-weighted) Decibels Residenhal 7 a.m.to 6 p.m so Low Density 6 pm to 10 p.m 45 10 pm to 7 a.m 40 Residential 7 a.m to 6 pm 60 High Density 6 pm to 10 pm 55 10 p.m to 7 a.m 50 Commercial 7 am to 6 p.m 60 6 p.m to 10 P.M. 55 10 pm to 7 a.m 50 InduStual 17 a.m to 6 p.m 70 I p.m to 10 p.m 60 10 p.m to 7 a.m 55 Table 1- Noise Ordinance Section 11.74.041 further defines "controlled hours of operation," and restricts the use of certain noise producing equipment or activities between the hours of 8:00 PM and 8:00 AM in residential zones, and 8:00 PM and 7:00 AM in all other zones (excepting operation by the City or its officers, employees, or agents. Specifically, the City's regulation states: (a) It shall be unlawful for any person to operate, permit, use or cause to operate, any of the following between the hours of eight p.m. to eight a.m. in residential zones and between the hours of eight p.m. to seven a.m. in all other zones: (1) Powered model vehicles; (2) Loading and unloading vehicles such as trash collectors, fork lifts, or cranes within one thousand feet of a residence; (3) Domestic power tools; (4) Non-emergency exterior hardscape and landscape activities, including without limitation tree trimming, re-seeding, lawn mowing, leaf blowing, dust and debris clearing, and any other landscaping or nonemergency exterior hardscape 05 City Council Staff Report February 15, 2017-Page 6 Leaf Blower Regulations maintenance activities which would utilize any motorized saw, sander, drill, grinder, leaf-blower, fawn mower, hedge trimmer, edger, or any other similar tool or device. (b) Notwithstanding the foregoing, this Section shall not prohibit the operation or use of any such equipment at any time within said zones by the city, its officers or employees, or any agent or franchisee of the city. (c) The regular mowing or grooming of golf courses, grass tennis courts, grass croquet courts, and lawn bowling areas shall be exempt from the restrictions set forth in this Section. The allowed work hours for mowing or green preparation for golf courses, grass tennis courts, grass croquet courts, and lawn bowling areas shall be between five-thirty a.m. and eight p.m., seven days per week and during all seasons of the year. Therefore, the City's current regulations allow for the use of leaf blowers throughout the City every day of the week, between 7:00 AM and 8:00 PM in commercial/industrial zones, and between 8:00 AM and 8:00 PM in residential zones. As reported to the City Council at the study session held on June 23, 2016, leaf blowers can generate noise levels varying from 70 to 90 decibels. Depending on the distance from a dwelling area the noise level may be considered a disturbance. The U.S. Department of Labor Occupational Safety & Health Administration ("OSHA") requires a hearing protection program for employees when sound exposures equal or exceed an eight-hour, time-weighted average sound level of 85 decibels. According to the 2000 CARB report, noise levels from backpack and hand-held leaf blowers (measured at 50 feet from the blower) varied from 62 to 75 decibels (dBA), with more than half registering 69-70 dBA. As emphasized in the 2000 CARB report: Bearing in mind the logarithmic decibel scale, the difference in a leaf blower at 62 dBA and one at 75 dBA, a 13 dBA range, represents more than a quadrupling of the sound pressure level, and would be perceived by a listener as two to three times as loud. The rule of thumb is that when a sound level increases by ten dB, the subjective perception is that loudness has doubled. Included in the 2000 CARB report, is the following Figure 2: Fig.2.Loudness Levels of Leaf Blowers (50 ft) 20 I N v 15 O 0 10 Y n � 5 z 0 Me 62 63 64 65 66 67 68 69 70 71 72 73 74 75 Loudness(d8) 06 City Council Staff Report February 15, 2017-Page 7 Leaf Blower Regulations As the maximum noise level permitted by the City's Noise Ordinance is 50 decibels for low-density residential and 60 decibels for high-density residential or commercial zones, operating the leaf blowers reviewed in the 2000 CARB report would violate the City's Noise Ordinance. Staff has completed a general comparison of leaf blowers commercially sold by a national hardware chain and the noise generated by each: • Gasoline leaf blower(150 mph 460 CFM 25.4cc 2-cycle handheld): 77.1 decibels • Gasoline leaf blower (215 mph 510 CFM 58.2cc backpack): 70 decibels • Electric (corded) leaf blower (250 mph 250 CFM 12 Amp handheld): 68 decibels • Electric (battery) leaf blower (155 mph 300 CFM 40-Volt handheld): 67.4 decibels • Electric (battery) leaf blower(145 mph 600 CFM 56-Volt backpack): 64 decibels • Electric (battery) leaf blower(110 mph 530 CFM 56-Volt handheld): 64 decibels A more thorough review of electric (corded or battery powered) leaf blowers may be required, but at least in this cursory review staff determined that not only the gasoline leaf blower, but commercially available electric corded or battery-powered leaf blowers generates more noise than is otherwise aflowed by the City's Noise Ordinance. Air Quality The City of Palm Springs 2007 General Plan includes Chapter 7 — Air Quality Element, and notes that the preservation of the City's air quality plays a significant role in the community's health and overall quality of life. Further, the City's General Plan notes that the esence of air pollution in a community reduces visibility, increases the occurrence of respiratory illness and disease, increases absences from work and school, and is detrimental to the natural environment. The Air Quality Element provides policy and action items to ensure that the City is striving, in collaboration with regional agencies, to implement measures to preserve and improve air quality in the Coachella Valley to the greatest extent possible. Policy AQ 2.7 from the Air Quality Element of the City's General Plan provides guidance on regulating air quality generated by leaf blowers, and states: AQ2.7Consider adding provisions to the City's Municipal Code to phase out the use of gas-powered lawn mowers and replace them with electric mowers and to prohibit the use of leaf blowers. The 2000 CARB report identified that gasoline-powered leaf blowers are most often powered by two-stroke engines of less than 25 horsepower (hp) which generate high exhaust emissions. According to the 2000 report, CARB estimated there were approximately 410,000 gasoline-powered leaf blowers in use, with only 5,000 (1.2%) using more efficient and environmentally friendly four-stroke engines; the 2000 report also disclosed that 60% of handheld leaf blowers sold were electric. Included in its 2000 07 City Council Staff Report February 15, 2017 - Page 8 Leaf Blower Regulations report, GARB identified a statewide inventory of leaf blower exhaust emissions (tons per day) as shown in Table 2 on the following page. Table 2. Statewide Inventory of Leaf Sion er Exhaust Emissions(tons per day) Leaf blowers Leaf blowers All Lawn & All Small Off- 2000 2010 Garden. 2000 Road. 2000 Hydrocarbons. 7.1 4.2 50.24 80.07 reactive Carbon Monoxide 16.6 9.S 434.99 1046.I9 CO Fine Particulate 0.2 0.0' 1.05 3.17 Matter(Pht10) Table 2- Leaf Blower Exhaust Emissions Thus, in the 2000 CARB report it was estimated that leaf blowers generated 7.1 tons per day of hydrocarbons, and 16.6 tons per day of Carbon Monoxide. However, these levels were anticipated to reduce by 2010 as a result of CARB's adoption of new air quality standards for leaf blowers effective in 2000, as identified in Table 3. Table 3 Exhaust Emissions Per Engine for Leaf Blowers (grams per brake-horsepower-hour,g/bhp-hr) Uncontrolled 1995-1999 2000 and later Emissions Standards Standards HC+NOx 283 Y- 1.0 1S0 + 4.0 54' CO 908 600 400 Phi 3.6 1 —° 1.5 Table 3- Leaf Blower Standards At the time, the 2000 GARB report drew comparisons to the air quality impacts associated with leaf blowers to those associated with a new light duty (1999 model) and older light duty (1975 model) vehicle. As shown in the table on the following page, the 2000 CARB report demonstrated that exhaust emissions from leaf blowers were significantly more than those generated by "new light duty" vehicles. As emissions regulations on new vehicles have changed significantly since 2000, the difference in emissions generated from leaf blowers to emissions generated by 2017 or newer model year vehicles would likely be that much more increased. (1$ City Council Staff Report February 15, 2017-Page 9 Leaf Blower Regulations Exhaust Emissions, Exhaust Emissions, Exhaust Emissions, g!hr new light duty older light dut}' vehicle,* g'hr vehicle,'* g;hr Hydrocarbons 199.26 0.39 201.9 Carbon Monoxide 423.53 15.97 13I0 Particulate Matter 6.43 0.13 0.7S Fugitive Dust 48.6-1031 \ A N" *New light duty vehicle represents vehicles one year old. 1999 or 2000 model year.driven for one hour at 30 mph. "Older light duty vehicle rcpresents vehicles 1975 model year and older,pre-catalytic vehicle. driven for one hour at 30 mph. The 2000 CARB report summarized this comparison of air quality emissions by stating that for the average 1999 leaf blower and new light duty vehicle, the hydrocarbon emissions from one-half hour of leaf blower operation equal about 7,700 miles of driving, at 30 miles per hour average speed. The comparison for carbon monoxide emissions was equivalent to driving 440 miles at 30 miles per hour average speed. Although Table 3 from the 2000 CARB report estimated significant improvements with air quality emissions from gasoline-operated leaf blowers following implementation of CARB's air quality standards for new leaf blowers manufactured after 2000, current leaf blowers continue to generate air quality emissions that greatly exceed air quality emissions generated by modern vehicles. A study published by edmunds.com on December 5, 2011, drew comparisons with air quality emissions generated by modern vehicles: a 2011 Ford F-150 SVT Raptor and 2012 Fiat 500, and air quality emissions generated by two commercially available leaf blowers: two-stroke backpack gasoline- powered Echo PB-500T model and four-stroke handheld gasoline-powered Ryobi RY09440 model. As noted in the study: Two-stroke engines have high power density, making them the engine of choice among commercial and prosumer-grade leaf blowers, but they emit more pollutants than four-strokes. The edmunds.com study summarized the comparison results, as shown in the following table: NMHC NOx CO 2011 Ford Raptor 0.005 0.005 0.276 2012 Flat 500 0.016 0.010 0.192 Ryobi 4-stroke leaf blower 0.162 0.031 3.714 Echo 2-stroke leaf blower 1.499 0.010 6.445 NMHC = non-methane hydrocarbons, NOx = nitrogen oxides, CO = carbon monoxide 09 City Council Staff Report February 15. 2017- Page 10 Leaf Blower Regulations The study summarized these results by stating: Distilling the above results, the fourstroke Ryobi leaf blower kicked out 6.8 times more NOx, 13.5 times more CO and more than 36 times more NMHC than the Raptor. The twostroke leaf blower was worse still, generating 23 times the CO and nearly 300 times more NMHC than the crew cab pickup. Let's put that in perspective. To equal the hydrocarbon emissions of about a halfhour of yard work with this twostroke leaf blower, you'd have to drive a Raptor for 3,887 miles, or the distance from Northern Texas to Anchorage, Alaska. A copy of the full report by edmunds.com is included as Attachment 5. In addition to the air quality emissions associated with hydrocarbons, nitrogen oxides, and carbon monoxide, leaf blowers also contribute to fugitive dust emissions. As noted in the 2000 CARB report: A leaf blower moves debris such as leaves by pushing relatively large volumes of air, typically between 300-700 cubic feet per minute, at a high wind speed, typically 150 to 280 miles per hour (hurricane wind speed is >117 mph). A typical surface is covered with a layer of dust that is spread, probably non-uniformly, along the surface being cleaned. While the intent of a leaf blower operator may not be to move dust, the high wind speed and volume result in small particles being blown into the air. The 2000 CARB report determined that fugitive dust impacts generated by leaf blowers represented a small, but probably significant amount (ranging from 1% to 5%) of fugitive dust emissions statewide. Local Regulations Limiting Leaf Blower Operation In response, partially, to the 2000 CARB report, various local agencies have adopted regulations that limit leaf blower operation, either by type, day or hour of operation, or a complete ban. The September 2010 Consumer Reports Magazine listed 55 local agencies in California (cities or counties) that had enacted some form of regulations, including 26 of which had banned all gasoline-powered leaf blowers. A copy of the listing from the September 2010 Consumer Reports Magazine is included as Attachment 6. In reviewing restrictions on leaf blower operations adopted recently by local agencies, staff identified significant research performed by the Town of Los Gatos in 2013, leading to its adoption on June 2, 2014, of an ordinance prohibiting the use of gasoline-powered leaf blowers in all areas, and restrictions on electric-powered leaf blowers (limited to 65 decibels or lower). All of the reference information associated with the Town of Los Gatos' process to adopt its regulations are available online at: hftp://www.losgatosca.gov/2059/Leaf-Blower-Ordinanee Of relevance here was the research performed by staff from the Town of Los Gatos summarized in their December 16, 2013, council agenda report, included as reference as Attachment 7. 10 City Council Staff Report February 15, 2017-Page 11 Leaf Blower Regulations Briefly, as summarized here, the Town of Los Gatos noted the following policy issues and code enforcement practices conducted by various cities that had enacted leaf blower regulations: Los Altos (28,976 residents; 6.5 square miles) Gas powered leaf blower ban since 1991, (electric allowed); complaint based enforcement is given lower priority call with the violation often no longer occurring by the time officer arrives; 348 complaints received in last year (October 2012 — October 2013); responses to complaints require significant time (10-15 hours/month), solutions involving prevention encouraged; "yellow card" warnings issued for first time offenders. Palo Alto (66,642 residents; 25.8 square miles) Gas powered leaf blower ban since 2005 (residential zones only), (electric allowed); complaint based enforcement handled by Police Department is given lower priority call with violation often no longer occurring by the time officer arrives; 15-30 complaints annually; warnings issued for first time offenders, second violation may result in $100 administrative citation; Beverly Hills (34,658 residents; 5.7 square miles) Gas powered leaf blower ban since 1976, (electric allowed); complaint based enforcement, letters issued to property owners violating ordinance — no officer is dispatched, however, code enforcement officers follow up with property owner's gardener; 256 complaints in 2012, 291 complaints in 2013; Santa Monica (92,742 residents; 8.4 square miles) Gas and electric powered leaf blower ban since 1991; original enforcement provided by Police Department, which required Police Officer to witness the violation; in 2010, complaint based enforcement assigned to Office of Sustainability; in 2013, complaint based enforcement assigned to Code Enforcement; 5-10 complaints received daily, considered mid-level priority (3 out of 5-tier priority system); initial warning letter issued, administrative citation issued if Code Enforcement Officer observes the violation; upon receipt of complaint, Code Enforcement Officer visits property twice within two weeks to observe if violation is occurring, otherwise closes file on complaint; biggest barrier to enforcement is lack of staffing; In 2011, the City of Santa Monica issued a staff report disclosing efforts on a 6-month evaluation on implementation of its amended leaf blower regulations. At that time, Santa Monica's Office of Sustainability dedicated leaf blower patrols at least two day per week, lasting 4-5 hours by a staff member. Observed violations were handled with warnings, with two warnings issued prior to any issuance of an administrative citation. The Santa Monica staff report cited 1,133 complaints received in 6-months (November 2010 through I City Council Staff Report February 15. 2017- Page 12 Leaf Blower Regulations April 2011), with 167 violations directly observed during regular patrols in that same time frame; no administrative citations were issued during this time frame. A copy of the Santa Monica staff report is included as Attachment 8. Leaf Blower Exchange Program The Sustainability Commission has recommended that as part of its leaf blower regulations that the City develop an exchange program of gas-powered leaf blowers for battery-powered leaf blowers, with priority on less efficient / higher polluting 2-stroke gasoline-powered leaf blower engines. If an exchange program was implemented by the City, budget for the program would need to be established and funding appropriated from the Sustainability/Recycling Funds. Since 2006, AQMD has sponsored an annual Leaf Blower Exchange Program that funds the exchange of backpack leaf blowers. AQMD's program has been available only to commercial landscapers and gardeners operating within AQMD's territory, at a discounted price. Since AQMD's Leaf Blower Exchange Program began in 2006, AQMD reports that 12,000 older technology leaf blowers have been replaced, reducing 138,729 pounds of hydrocarbon and NOx emissions, and has reduced smog-forming pollutants by 88,282 pounds per year within the AQMD basin. AQMD's 2016 Leaf Blower Exchange Program was last approved November 6, 2015, by the AQMD Board, and accommodated exchange of up to 2,000 leaf blowers at a cost to AQMD of $481,955. The Leaf Blower Exchange Program did not provide free leaf blowers to commercial landscapers and gardeners, but did facilitate negotiated reduced pricing from awarded vendors (in 2016 the Program was administered through STIHL dealerships). Generally, the discounted price provided to commercial landscapers was $200, a savings of $300 from the retail price; a copy of the AQMD staff report is included as Attachment 9. AQMD's Leaf Blower Exchange Program has been very successful, with great demand for discounted leaf blowers in exchange for older leaf blowers. AQMD's 2016 program has concluded, and AQMD is currently accepting names to be added to a list serve to receive information on AQMD's 2017 program. Interested parties should visit the following website: http://www.agmd.gov/home/programs/community/oom munity-detail?title=lawn-equipment Development of a City-administered exchange program would require further consideration of the logistics, including amount of funding, type of discount available to participants, vendors available for the exchange, how the exchange is administered, etc. 12 City Council Staff Report February 15, 2017- Page 13 Leaf Blower Regulations ALTERNATIVES: The following alternatives are available for City Council consideration: 1. Do not adopt regulations limiting the use of leaf blowers; 2. Direct staff and the City Attorney to prepare a draft Ordinance to amend the City's Noise Ordinance to further reduce the days/times allowed for use of leaf blowers; 3. Direct staff and the City Attorney to prepare a draft Ordinance to restrict the use of gasoline-powered leaf blowers in residential areas only; 4. Direct staff and the City Attorney to prepare a draft Ordinance to restrict the use of gasoline-powered leaf blowers in residential areas and commercial/industrial areas; recommended by the Sustainability Commission 5. Direct staff and the City Attorney to prepare a draft Ordinance to restrict the use of gasoline-powered and electric leaf blowers in residential and/or commercial/industrial areas (a complete ban); 6. Direct staff on the development of and funding for a leaf blower exchange program. The consideration of any regulations affecting Tribal allotted/leased lands will require prior review by Tribal staff and the Tribal Planning Commission/Council. ENVIRONMENTAL IMPACT: The requested City Council action is not a 'Project' as defined by the California Environmental Quality Act(CEQA). Pursuant to Section 15378(a), a `Project' means the whole of an action, which has a potential for resulting in either a direct physical change in the environment, or a reasonably foreseeable indirect physical change in the environment. The requested action is to provide direction to staff regarding the operation of leaf blowers within the City, and is exempt from CEQA pursuant to Section 15378(b), in that a 'Project" does not include: (5) Organizational or administrative activities of governments that will not result in direct or indirect physical changes in the environment. To the extent that the City Council ultimately adopts regulations limiting the operation of leaf blowers within the City, the regulation would be anticipated to have a positive impact on the environment by further reducing air quality emissions and noise impacts generated by leaf blower operations. FISCAL IMPACT: Costs to the City associated with regulations of leaf blowers varies dependent upon the regulations adopted. As recommended by the Sustainability Commission, restricting the use of gasoline-powered leaf blowers Citywide, including governmental agencies, will increase the cost for landscape maintenance services. As the restriction is not currently required in its landscape maintenance contracts, the City would need to renegotiate this restriction with its vendors. Likely, there will be an increased cost to the City. 13 City Council Staff Report February 15, 2017-Page 14 Leaf Blower Regulations Enforcement costs associated with banning gasoline-powered leaf blowers will vary depending upon the specific policy adopted by City Council. Considering a complaint- based code enforcement program, pursuing violations of leaf blower regulations will add to the current workload and assignments of the City's Code Enforcement staff. However, it is recommended that any new restrictions should be preceded with a well- resourced community education program to reduce enforcement requirements. Costs to property owners for landscape maintenance services, and costs to commercial gardeners/landscapers for business operations would likely increase from new leaf blower regulations. This is due primarily to increased time and labor required with less powerful equipment to complete the cleanup and removal of landscape debris that would ordinarily have been blown and swept, collected and removed by gasoline- powered leaf blowers. Costs associated with a leaf blower exchange program will vary dependent upon the amount of discount or incentive offered, and the total number of exchanges authorized. As an example, the City previously funded a low-flow toilet voucher program implemented through the City's Wastewater Fund, offering $1DO vouchers on a first- come first-served basis; a total of $10,000 (or 100 vouchers) was authorized, and were often exhausted quickly each year. A similar program might be developed where the City offers vouchers (in addition to any AQMD incentives) of a specific amount for exchange of 2-cycle gasoline-powered leaf blowers. Details on the logistics of an exchange program will require further analysis, however, for such a program to be effective, initial funding including an educational component, should be anticipated in the $100,000 range as a pilot program. SUBMITTED Marcus L. Fuller, MPA, P.E., P.L.S. David H. Ready, Esq., P� Assistant City Managen(City Engineer City Manager Attachment: 1. June 23, 2016, staff report 2. October 20, 2016, Desert Sun article 3. Sustainability Commission Ad-Hoc Subcommittee's report 4. 2000 CARB report 5. Edumonds.com December 5, 2011, report 6. September 2010 Consumer Reports list of CA agencies regulating leaf blowers 7. Town of Los Gatos December 16, 2013, staff report 8. Santa Monica May 24, 2011, staff report 9. AQMD's 2016 Leaf Blower Exchange Program 14 Attachment 1 15 i ;o pALM yp} iy a V N CITY COUNCIL STAFF REPORT DATE: June 23, 2016 STUDY SESSION SUBJECT: DISCUSS REGULATIONS RELATED TO LEAF BLOWERS FROM: David H. Ready, City Manager BY: Office of Sustainability, Michele Mician, Sustainability Manager SUMMARY: In 2012, members of the public, sustainability commissioners and city council members requested that the Office of Sustainability initiate a study on the use of leaf blowers and a review of regulations by various local agencies limiting their use. The Sustainability Commission assigned a subcommittee on the issue, and In coordination with staff, prepared a draft ordinance limiting leaf flower operation for discussion and public review. At that time, the draft regulations considered prohibiting the use and operation of gasoline leaf blowers in residential areas of the City; however, the draft regulations were not supported and approved by the Sustainability Commission. The purpose of this study session item is to reconsider initiating efforts to draft new regulations limiting the use of leaf blowers within the City. RECOMMENDATION: Provide direction to staff as appropriate. BACKGROUND: In 2012 the Office of Sustainability facilitated the formation of a leaf blower subcommittee of the Sustainability Commission as a response to a City Council request to investigate leaf blower regulations. The subcommittee met throughout the year to analyze the subject and review leaf blower ordinances enacted by cities throughout the country. Educational materials and a draft ordinance regulating leaf blower operation were prepared for presentation at a Sustainability Commission study session that was open to the public and held on February 27, 2013. A power point (included as Attachment 1) was presented that detailed the impacts of leaf blowers as well as the results of f1EM NO. i6 City Council Staff Report June 23, 2016-- Page 2 Discussion on Leaf Blower Regulations research on other city's leaf blower ordinances_ Over 100 people attended the meeting. The session was conducted in English and Spanish, and due to overwhelming opposition from commercial landscape maintenance businesses, the Sustainability Commission at that time did not take action to approve the draft ordinance and regulations limiting leaf blower operation. The Sustainability Commission requested that staff continue to increase education regarding the potential health issues associated with leaf blower operation, the use of proper safety gear when using leaf blowers, and promoting the use of alternative options to leaf blowers such as rakes and brooms. The Sustainability Commission also increased outreach encouraging use of electric rather than gasoline powered leaf blowers, and promoted the Air Quality Management District (AQMD) rebate programs. In furtherance of this direction, the City of Palm Springs has converted several gasoline powered landscape maintenance equipment to electrically powered. In 2015 the Sustainability Commission initiated a new review of regulations limited the use of leaf blowers. The Sustainability Commission assigned review of the issue to the Health and Wellness Subcommittee, and the Subcommittee researched the issue and surveyed the various City neighborhood organizations on their support for or opposition to implementing regulations on the use of leaf blowers, Discussion of leaf blower regulations was held at a ONE-PS meeting, however, at that time there was not definitive support from the various neighborhoods on implementing restrictions on leaf blower use. Proceeding with further review and consideration regulations limiting leaf blower use is pending direction at this Study Session. STAFF ANALYSIS: The purpose of this study session Item is to discuss and consider regulations limiting the use and operation of gasoline leaf blowers in the City. There are various alternative approaches to implementing regulations limiting leaf blower use, including (but not limited to): 1. Limiting the use of all leaf blowers (gasoline and electrically powered) within the City, or 2. Limiting the use of gasoline powered leaf blowers within the City, or 3. Limiting the use of gasoline powered leaf blowers within certain areas of the City (Le. residential, school sites, public facilities, etc.), or 4. Implementing a phased approach over a certain period of time to eliminate the use of gasoline and/or electrically powered leaf blowers within the City. The Sustainability Commission has appointed a "Leaf Blower and Health and Wellness Subcommittee"to review the issue. A summary of research completed on the issue, and examples of regulations adopted by other cities, is included as Attachment 1. 17 City Council Staff Report June 23, 2016-- Page 3 Discussion on Leaf Blower Regulations The use of leaf blowers has been associated with potentially negative impacts associated with noise, air quality, and public health (particularly with those operating the leaf blowers). A 1999 California Air Resources Board report on Potential Health and Environmental Impacts of Leaf Blowers suggests that leaf blowers may be associated with potentially adverse effects, and the public perception of these adverse effects associated with leaf blower use has resulted in restrictions on their use in certain jurisdictions. The 1999 report is available at the following website: http:/Iwww.arb-ca.gov/msprog/leafblow/leafbiow-htm The Sustainability Commission's Subcommittee's recommendation for a regulation limiting gasoline powered leaf blowers in residential areas is justified in part by the air quality impacts due to emissions caused by their use. A February 2000 report prepared by the California Environmental Protection Agency Air Resources Board estimated at that time that there were more than 400,000 gasoline-powered leaf blowers, plus approximately 600,000 electric leaf blowers, that were operating at an estimated 114,000 hours per day in California. The 2000 report is available at the following website: http://www.noiseoff.or_qldocumenVicepa report pdf The 2000 report provides an example of how to visualize the potential adverse effects of leaf blower operation by comparing their operation to miles traveled by car. The Air Resources Board calculated that hydrocarbon emissions from one-half hour of leaf blower operation equals about 7,700 miles of driving, at 30 miles per hour average speed. Leaf blowers may also create excessive and unusual amounts of noise, operating at anywhere from 70 to up to 90 decibels. Depending on the distance from a dwelling area the noise level may be considered a disturbance. The U.S. Department of Labor Occupational Safety & Health Administration (OSHA) requires a hearing protection program for employees when sound exposures equal or exceed an eight-hour, time- weighted average sound level of 85 decibels- Most of the newer leaf blower machines are rated at, or less than, 70 decibels at 50 feet at full throttle.' The Sustainability Commission Subcommittee conducted research and found evidence of various ordinances throughout the state of California. These ordinances varied in that some implemented limitations on gasoline powered leaf blowers in both residential and commercial areas, while others ordinances limited the use of gasoline powered leaf blowers in only residential areas. Several cities have implemented further restrictions and banned the use of all leaf blowers entirely (gasoline or electrically powered). California Landscape Contractors Association website: htto//www.cica org/leaf-blowers/index,php 18 City Council Staff Report June 23, 2016--Page 4 Discussion on Leaf Blower Regulations After its review of the issue, the Sustainability Commission Subcommittee is recommending that the City consider implementing regulations that limit the use of gasoline powered leaf blowers within residential areas of the City. Proceeding with further review and consideration of regulations limiting the use of leaf blowers within the City will require additional coordination with the City's various neighborhood organizations via ONE-PS, as well as public outreach with the commercial landscape maintenance industry. FISCAL AND STAFF IMPACTS: Staff time and associated fiscal impacts are yet to be determined. ENVIRONMENTAL IMPACT: Staff finds that discussion of leaf blower regulations is not a "project" under the California Environmental Quality Act, because the it does not involve any commitment to a specific project which may result in a potentially significant physical impact on the environment, as contemplated by Title 14, California Code of Regulations, Section 15378(b)(4). Therefore no negative environmental Impact is noted and there is a negative declaration. SUBMITTED: Michele C. Mician, LEED GA Marcus Fuller, PE, PLS j Sustainability Manager Assistant City Manager/City Engineer David H. Ready, Esq. City Manager Attachments: 1. Research Materials— Power Point 19 ATTACHMENT 1 20 O Q U O r if Current Leaf Blower ns — Laguna Beach • • Garden/debris blowers prohibited . The use of electrical or gasoline powered blowers, such as commonly used by - gardeners and other persons for cleaning lawns, yards, driveways, gutters, and other property is prohibited at any time within the city limits. (Ord. 1259 § 1, 1993 : Ord. 535 § 1 (part), 1964). N N Current Leaf Blower Bans Berkeley • 14. Notwithstanding Subsection B. 11 of this section, it shall be unlawful for any person, including any City employee, to operate any portable machine powered with a gasoline engine used to blow leaves, dirt, and other debris off sidewalks, driveways, lawns or other surfaces within the City limits N Leaf • - Use: - - ❑ Indian Wells (1990): "Leaf blowers shall be prohibited in all zones within the City except: (i) individual property occupants may operate a single electrically powered leaf blower with use confined to his/her property; (ii) golf course operators may operate gasoline powered leaf blowers during the month of September 1511 through December Is' of each year. Li Hermosa Beach: It is unlawful to use within the city limits or cause to be used electrical or gasoline powered backpack/leaf blower. Such as commonly used by gardeners, landscapers and other persons j Beverly Hills (1976): It shall be unlawful for any person within the City to use or operate any portable machine powered with a gasoline engine used to blow leaves, dirt, and other debris off sidewalks, driveways. lawns, and other surfaces �I Nn ,+a Other Cities • • :3 West Hollywood (1986) : The purpose of this Ordinance is to prohibit the use and operation of gasoline blowers in the City of West Hollywood. These devices, used to blow leaves, dirt and debris, create an excessive and unusual amount of noise, often operating at up to ninety decibels. The sustained operation of leaf blowers at this decibel level is literally deafening to persons who reside and work within earshot of many gardeners not only causes disturbance of those in the vicinity of users of leaf blowers but has the potential to cause hear damage. In additional, leaf blower tends to blow dirt, dust and other particulate matter in the air, thereby reducing the air quality in West Hollywood, aggravating persons with allergies and asthmatic conditions and depositing such debris on other public and private property. There are many alternate methods of methods disposing of leaves available to gardeners and property owners, including electrical blowers, rakes, brooms, vacuums and water. The use of gasoline powered blowers is hereby declared to constitute a public nuisance by virtue of the detrimental effect such blowers have on the community and residents of West Hollywood. N Leaf Blower Ban in California Summary of California Cities that have Leafblower Ban Ordinances ProvisionsBan . Time blowers . (Gas&Electric) Percentage 11% 47% 40% Source. 2011 Consumer Report, Based on 55 California cities Leaf blowers have an impact on Greenhouse Gas Emissions; currently contribute to emissions (statewide) in the following ways: Hydrocarbons (reactive): 4.2 tons per day Carbon Monoxide (CO): 9.8 tons per day Fine Particulate Matter: 0.02 tons per day (Source: California Environmental Protection Agency/Air Resources Board) IV rn What are the Alternatives ? r , w m Rakes m Brooms m Outdoor Vacuum _. Electric powered leafblowers Strategy: Leaf blower Alternatives and Impact ❑ Educate residents and contractors (and their workers) regarding the hazards and impact of leafblower utilization a. Impact on environment b. Impact on Leaf blower workers and compliance with OSHA requirements c. Impact on health and well being of the workers, residents and surrounding community d. Possibly create a "buy-back" or a "discount coupon, program to offer residents and others encouraging the trade in gasoline leaf blowers for a commercial grade push brooms and dust pans and electric powered leafb owers . N Key Elements of blower Ordinance � . Propose ban on all gasoline powered leaf blowers; encourage the conversion to electric powered leaf blowers 2. The Office of Sustainability and the Sustainability Commission would be responsible for education and increasing public awareness and educational outreach campaign of residents and businesses 3. Investigate the feasibility of proposing and implementing a buy-back and/or discount coupon program to facilitate use of alternative method of debris clean up supported by the Sustainability funds. 4. Enforcement of the ordinance through infraction citation and subsequent fines for ordinance violations, Fines could vary from $25 to $250 per infraction. 5. Develop a phase-in "roll-out" ban approach during a one year period. Phase 1 could restrict use of leaf blowers during specified hours of the day; Phase 2 to restrict specified days of the week and final Phase 3 complete ban. N 40 Attachment 2 30 Palm Springs resident views sought on leaf blowers Jueeph C.Jwd oo,Spn4l to The De Sun PuhhshN d I5 p en Pi Oa 20,2010!I-pdured 4d6 p.m.W Ikt.20.2016 Leaf blowers—pro and con—have been a topic of discussion in neighborhoods,in social media,across our Coachella Valley and statewide. In 1990. the city of Indian Wells banned gasoline-powered leaf blowers with a Sept. 15-Dec. 1 exemption for use by golf course operators. Indian Wells is the only valley city to have taken such action. although in California at least 55 cities have some sort of leaf blower ban, In 2012-13, and again in 2015.16.the Sustainability Commission of the city of Palm Springs discussed a possible ban of leaf blowers. Recently,in June.the Palm Springs City Council directed the Sustainability Commission to study options for reducing or eliminating gas-powered leaf blowers,with a possible phased-in approach. (anoro cavrt sy) Acloser look City revisits potential leaf blower ban f/storvinews2 0 1 6106 2 31ps councl diswss leaf blowers- and-sola r-panelsf66301604l1 A study session with public comment will be held at Palm Springs City Hall Council Chambers on Monday.Oct.24.at 5 pm so that residents.business owners.and all interested persons can express their opinions. Spanish translation will be provided. The California Air Resources Board has stated what we all know that leaf blowers emit more pollution than most gas engine cars,that they are noisy and that the dust they create worsens allergies,asthma,and clouds our already compromised air quality in the desert. Despite these concerns,many property and business owners insist on using the more powerful gas blowers as the only effective way to clean large expanses of parking lots. desertscape and lawn. Rakes.brooms,outdoor vacuums and the more environmentally friendly electric-powered leaf blowers are some of the solutions possible. No decisions have been made for Palm Springs,The Sustainability Commission hopes to make a recommendation to the City Council by year's end. That is why we need to hear from you next Monday at our study session. Please tell us: • what do you like about leaf blowers?What don t you like? • How do you(or your gardeners)currently clean your property?What kinds of equipment are used and are needed? • If gas-powered leaf blowers were to be banned,how would you clean your property? • What experience have you had with the newer,low-emission and quieter electric battery leaf blowers and vacuums? Thank you for helping us to move the conversation to the next step.Even though this topic may be divisive.we can model discourse the way it should happen in our city. Email Joseph C.Jackson,chairman of the sustainability commission for the city of Palm Springs. at CapriJoePS@gmail.com- 31 Palm Springs resident views sought on leaf blowers Joseph C.Jackson,Spedsl to The Oven Sun Published I!p n. P1 Ocr 20,20 In [pdnea 416 p.m.PI rid 2U.2016 Leaf blowers—pro and con—have been a topic or discussion in neighborhoods,in social media,across our Coachella Valley and statewide. In 1990.the city of Indian Wells banned gasolme-powered leaf blowers.with a Sept. 15-Dec. 1 exemption for use by golf course operators. Indian Wells is the only valley city to have taken such action.although in California at least 55 cities have some sort of leaf blower ban. In 2012-13,and again in 2015-16. the Sustainabdity Commission of the city of Palm Springs discussed a possible ban of leaf blowers. Recently,in June.the Palm Springs City Council directed the Sustainabdity Commission to study options for reducing or eliminating gas-powered leaf blowers.with a possible phased-in approach. r?noto coerfesy, Acloser look:City revisits potential leaf blower ban llstorvinewsl2Ol6lD6123lps-counci4discuss4eaf-blowers- and-solar-oanels166301604 f1 A study session with public comment will be held at Palm Springs City Hag Council Chambers on Monday Oct.24,at 5 pm so that residents.business owners.and all interested persons can express their opinions. Spanish translabon will be provided. The California Air Resources Board has slated what we all know that leaf blowers emit more pollution than most gas engine cars,that they are noisy, and that the dust they create worsens allergies.asthma,and clouds our already compromised air quality in the desert. Despite these concerns,many property and business owners insist on using the more powerful gas blowers as the only effective way to dean large expanses of parking lots. desertscape and lawn. Rakes.brooms,outdoor vacuums and the more environmentally friendly electrio-powered leaf blowers are some of the solutions possible. No decisions have been made for Palm Springs.The Sustainabikty Commission hopes to make a recommendation to the City Council by year's end. That is why we,need to hear from you next Monday at our study session. Please tell us: • What do you like about leaf blowers?What don't you liked • How do you(or your gardeners)currently clean your property?What kinds of equipment are used and are needed? • If gas-powered leaf blowers were to be banned,how would you dean your propertyl • What experience have you had with the newer,low-emission and quieter electric battery leaf blowers and vacuums? Thank you for helping us to move the conversation to the next step.Even though this topic may be divisive we can model discourse the way it should happen in our city. Email Joseph C.Jackson,chairman of the sustainability commission for the city of Palm Springs at CapriJoePS@gmail.wm. 31 Attachment 3 32 Report to the Palm Springs Sustainability Commission Ad Hoc Subcommittee on Leaf Blowers Date of Subcommittee Meeting: October 26, 2016 Members: Roy Clark,Jen Futterman,Joe Jackson Bottom Line Up Front The Leaf Blower Subcommittee recommends that the City of Palm Springs immediately start to phase out gas powered leaf blowers and eliminate them in all areas/zoning of the City by December 31, 2018. The two-year phase-out period will include testing battery powered blowers and other maintenance equipment by City employees and contractors and an exchange program for gardener/landscaper-owned gas powered leaf blowers. Bacltground. On June 23, 2016, the Palm Springs City Council directed staff and the Sustainability Commission"to continue to conduct studies and develop options for the reductions and/or elimination of gas powered leaf blowers including grant or incentive options, educational components,health protection for workers,and a potential phased-in regulations."At the regular Sustainability Commission meeting,July 19, 2016,an ad hoc subcommittee was appointed. It is comprised of members of the Health and Wellness Subcommittee and the Outreach Subcommittee. Over the summer months, the ad hoc subcommittee reviewed data from prior work of the Sustainability Commission in 2012-13 and 2015-16; staff reports,which included research on action by other California cities; ONE-PS Ecology Committee minutes; leaf blower manufacturer noise and emission specifications;and South Coast Air Quality Management District (SCAQMD) communications. A public study session was set for October 24,2016. Postcards were sent to all applicable licensed gardening/landscaping business owners and community organizations. On-line notices were sent through the City website, ONE-PS,Nextdoor, Facebook, and other social media outlets. The Desert Sun printed an invitation to the study session on the Opinion Page,October 21. People were also invited to submit comments in writing to city staff and the Commission chair. Approximately 28 people attended the study session and 13 people spoke in public comment.Translation into Spanish was available at the meeting. Over 65 emails were received in advance of the meeting,as well as many other messages through social media. The subcommittee reviewed all of these comments.The responses were approximately 70%for some sort of ban of leaf blowers. Subcommittee Recommendations. Based on all the information we have reviewed to this time,the members of the ad hoc subcommittee are in consensus on these statements: 1. Gas powered leaf blowers should be phased out in the City of Palm Springs. Corded electric blowers and vacuums, rakes,and brooms are options for maintenance in settings such as individual yards. Battery powered blowers maybe a solution for Rev. 11-28-16 Page 1 33 maintenance in larger settings such as City, HOA,and commercial properties. Current battery technology may not be sufficiently advanced at this time to provide a viable solution in larger settings or in environments with temperatures above 100 degrees,which we experience in the City about one-third of the year. Lithium-ion batteries used in some blowers are advertised as capable of keeping their charge up to S hours. However,additional testing of battery-powered blowers in the real settings and environments of Palm Springs is necessary before they can be widely adopted.The testing will show how long batteries keep their charge in practice and how well they operate at high temperatures. 2. The City of Palm Springs can show leadership as a"sustainable city"by testing battery-powered blowers and other maintenance equipment on City property. The City staff and contractors can obtain equipment through a pilot project with the SCAQMD and/or purchase battery powered equipment so that City employees and contractors can demonstrate how to clean City parks, medians,and streets and other properties without gas powered blowers.We commend City staff for already pursuing a pilot project with the SCAQMD. We recommend follow-through by Facilities management on this pilot project and funding by City Council to purchase current state-of-the-art equipment as needed and more capable equipment as it becomes available. 3. We expect that after two years of testing and demonstration,acceptable equipment options and operating procedures for maintaining individual yards and City, HOA, and commercial properties will be identified.Therefore, we recommend that the City eliminate gas powered blowers in all areas/zoning of Palm Springs by December 31,2018.We believe this to be in the best interest of the health and well- being of all of our residents. 4. We recommend that the City and the Sustainability Commission should begin an immediate exchange program for gardener/landscaper-owned gas powered leaf blowers,especially for the less efficient and higher-polluting leaf blowers with 2- stroke engines. This program could be in partnership with the SCAQMD, CVAG,and other regional bodies, and perhaps with City grant assistance for more robust funding. Our preference is that a special price could be available for battery or corded equipment when a gas-powered blower is returned. 5. Training of professional gardeners and landscapers on the use of leaf blowers (whether gas or electric) is currently required of gardening/landscaping business owners at the time of their City license renewal.We believe that the current requirement for training just one representative or supervisor from each business is not sufficient for a thorough communication of proper leaf blower use and safety. City contractors have demonstrated that proper training can minimize noise,dust emissions,and the oft-cited problem of just"blowing debris from one place to another'.We recommend that all employees in a business get appropriate training on leaf blower use, including how to collect green waste in one place and use rakes and brooms to clean it up and dispose of it.A possible medium for this training is an independently produced bi-lingual video. It is recognized that employee turnover in Rev. 11-28-16 Paget 34 gardening/landscaping businesses will provide a challenge to consistently applying the training. 6. Finally,we have rejected,at this point,possible restrictions on leaf blowers by noise/decibel level,emissions levels,or by hours or days of the week,or by zoning. Many people expressed concern regarding including unenforceable or half- measures in our recommendations,which we believe would be the case by implementing restrictions.We recognize the ability of any homeowner, HOA,or business to move forward at any time with other solutions,which we commend and encourage. It would be helpful if residents could also adjust their expectations for "perfection" in landscape maintenance as we move forward in this transition. We wish to acknowledge that many in our city have responded heartily to the drought by eliminating unnecessary and water-thirsty turf.A relevant metric from the Desert Water Agency is that about one million square feet of turf were removed (and replaced with desert landscape) in Palm Springs in 2014-15 and 2015-16 rebate programs.This represents over 500 projects.As many people have written,this conservation movement toward new desert landscape,which is difficult to clean without some kind of blower, means leaf blower use is more necessary now than when maintaining turf.This acknowledgment strongly influenced our recommendation. Were it practical to eliminate all leaf blowers due to health concerns,we would recommend it. As an ad hoc subcommittee,we move this report for approval by the Sustainability Commission,to be forwarded to the City Council with supporting staff reports as required. Rev. 11-28-16 Page 35 Attachment 4 36 California Environmental Protection Agency AIR RESOURCES BOARD A REPORT TO THE CALIFORNIA LEGISLATURE ON THE POTENTIAL HEALTH AND ENVIRONMENTAL IMPACTS OF LEAF BLOWERS Mobile Source Control Division February 2000 State of California 37 AIR RESOURCES BOARD A REPORT TO THE CALIFORNIA LEGISLATURE ON THE POTENTIAL HEALTH AND ENVIRONMENTAL IMPACTS OF LEAF BLOWERS i Public Hearing: January 27, 2000 Date of Revision: February 29, 2000 This report has been reviewed by the staff of the California Air Resources Board and approved for publication. Approval does not signify that the contents necessarily reflect the views and policies of the Air Resources Board, nor does mention of trade names or commercial products constitute endorsement or recommendation for use. 38 ACKNOWLEDGMENTS This report on potential health and environmental impacts of leaf blowers was developed by the following Air Resources Board staff: Mobile Sources Control Division: Nancy L.C. Steele, D.Env. (Lead) Scott Rowland Michael Carter (Branch Chief) Research Division: Hector Maldonado Cindy Stover And with the assistance of additional staff: Cresencia Gapas-Jackson, Leslie Krinsk, Jeff Long, Keith Macias, Angela Ortega, Muriel Strand, John Swanton, Maggie Wilkinson, and Walter Wong. The many other individuals who provided information and assistance for this report are listed in Appendix B. 39 TABLE OF CONTENTS EXECUTIVE SUMMARY............................................................................................. 1 1, INTRODUCTION............................................................................................... 7 A. Background............................................................................................. 7 B History of the Leaf Blower and Local Ordinances..................................... 7 C. Environmental Concerns .......................................................................... 8 D. Health and Environmental Impacts......................... 9 1. Life-cycle Impact Assessment.............................................................. 9 2. Risk Assessment................................................................................ 10 E Public Involvement................................................................................. 10 F. Overview of This Report........................................................................ 11 II. DESCRIPTION OF THE HAZARDS ............................................................... 12 A. Exhaust Emissions..... ... ..._................................................................ 12 1. Characterization of Technology......................................................... 12 2, Exhaust Emissions....................... ..................................................._ 13 a. Leaf Blower Population ......................................................... 13 b. Emission Inventory................................................................ 14 3. Regulating Exhaust Emissions........................................................... 14 a. State Regulations................................................................... 14 b. Federal Regulations ............................................................... 15 e. South Coast AQMD Emissions Credit Program..................... 16 4. Summary........................................................................................... 16 B. Fugitive Dust Emissions......................................................................... 16 1. Definition of Fugitive Dust Emissions................................................ 17 2. Calculating Leaf Blower Emissions.................................................... 18 a. Generation of Fugitive Dust by Leaf Blowers......................... 18 b. Size Segregation of Particulate Matter.... 19 c. Calculation Assumptions and Limitations............................... 19 d. Calculation Methodology....................................................... 20 3. Characterization of Fugitive Dust Emissions...................................... 21 a. Emission Factors - This Study................................................ 21 b. Statewide Emissions Inventory - This Study .......................... 22 c. Previous Emissions Estimates: ARB, 1991 ............................. 23 d. Previous Emissions Estimates: SMAQMD............................. 23 e. Previous Emissions Estimates: AeroVironment...................... 23 4. Particulate Composition.................................................................... 24 5. Regulating Fugitive Dust Emissions.................... 24 a. State and Federal PM10 and PM2.5 Standards....................... 25 b. Local District Regulations...................................................... 25 6. Summary........................................................................................... 25 ii 40 C. Noise Emissions............................ ..................................................... 26 1. Defining Noise.................................................................................. 26 2. Measuring the Loudness of Sound..................................................... 27 a. Loudness Description............................................................. 27 b. Sound Level Measurement........................I............................ 29 3. Noise in California............................................................................. 30 a. Noise Sources ._.... ................-----................................. 30 b. Numbers of People Potentially Exposed: the Public................ 30 c. Numbers of People Potentially Exposed: the Operator........... 31 4. Regulating Noise............................................................................... 31 a. Federal Law........................................................................... 31 b. State Law.............................................................................. 31 c. Local Ordinances................................................................... 32 5. Noise From Leaf Blowers.................................................................. 33 a. Bystander Noise Exposure......................................-............. 33 b. Operator Noise Exposure....................................................... 34 6. Use of Hearing Protectors and Other Personal Protection Gear ......... 37 a. Zero Air Pollution Study(1999)............................................. 38 b. Citizens for a Quieter Sacramento Study(1999b)---------- -------- 38 c. Survey99 Report(Wolfberg 1999)......................................... 38 7. Sound Quality................................................................................... 39 8. Summary.................................................................. . .. .......... 41 III. REVIEW OF HEALTH EFFECTS.................................................................... 42 A. Particulate Matter .................................................................................. 42 B. Carbon Monoxide................................................... ....... ..._.....__...... 43 C. Unburned Fuel .......................................................................................43 D. Ozone.................................................................................................... 44 E. Noise.............................................................................................. .... 44 1. Hearing and the Ear........................................................................... 45 2. Noise-Induced Hearing Loss ............................................................. 45 3, Non-Auditory Physiological Response........... ................................... 46 4. Interference with Communication,..................................................... 47 5. Interference with Sleep......................................................................47 6. Effects on Performance and Behavior................................................47 7. Annoyance and Community Response............................................... 48 8. Effects of Noise on Animals..............................................................49 IV. POTENTIAL HEALTH AND ENVIRONMENTAL IMPACTS OF LEAF BLOWERS ..... 50 A. The Leaf Blower Operator.....................................................I............... 50 1. Exhaust Emissions............................................................................. 51 2. Fugitive Dust Emissions.................................................................... 52 3. Noise................................................................................................ 53 B. The Public-at-Large ............................................................................... 53 to 41 1. Exhaust Emissions............................................................................. 54 2. Fugitive Dust Emissions.................................................................... 55 3. Noise ............................................................... ............................... 55 C. Summary of Potential Health Impacts..................................................... 56 V. RECOMMENDATIONS................................................................................... 58 VI. REFERENCES CITED........... .. .................................................................. 59 APPENDICES Appendix A SCR 19 Appendix B Contact List Appendix C Ambient Air Quality Standards Appendix D Chemical Speciation Profile for Paved Road Dust Appendix E Physical Properties of Sound and Loudness Measures Appendix F American National Standard For Power Tools- Hand-held and Backpack, Gasoline-Engine-Powered Blowers B175.2-1996 Appendix G Manufacturer-reported Noise Levels from Leaf Blowers Appendix H Research Needs Appendix I Future Technology and Alternatives Appendix J Exposure Scenarios for Leaf Blower Emissions and Usage Appendix K Bibliography List of Tables Table 1. Major findings of the Orange County Grand Jury and City of Palo Alto.............. 8 Table 2. Statewide inventory of leaf blower exhaust emissions....................................... 14 Table 3. Exhaust emissions, per engine, for leaf blowers,...... .................__........ ......... 15 Table 4. Silt loading values, Riverside County............................................................... 21 Table 5. Leaf blower estimated emission factors, this study............................................ 22 Table 6. Leaf blower emissions,possible statewide inventory values, this study.............. 22 Table 7. Leaf blower operator noise exposures and duration of use................................ 36 Table 8. Sound levels of some leaf blowers.................................................................... 37 'Table 9. Commercial leaf blower emissions compared to light duty vehicle emissions..... 51 Table 10.Homeowner leaf blower emissions compared to light duty vehicle emissions... 54 List of Figures Figure 1. Comparison of sound levels in the environment...................................... 28 Figure 2. Loudness levels of leaf blowers(50 ft).................................................... 34 Figure 3. Sound quality spectrum of a representative leaf blower........................... 40 Figure 4. Sound quality spectrum of a representative neighborhood....................... 40 iv 42 EXECUTIVE SUMMARY Background and Overview California Senate Concurrent Resolution No. 19 (SCR 19) requests the Air Resources Board (ARB) to prepare and submit a report to the Legislature on or before January 1, 2000, summarizing the potential health and environmental impacts of leaf blowers and including recommendations for alternatives to the use of leaf blowers and alternative leaf blower technology, if the ARB determines that alternatives are necessary. The goal of this report is to summarize for the California Legislature existing data on health and environmental impacts of leaf blowers, to identify relevant questions not answered in the literature, and suggest areas for future research. The leaf blower was invented in the early 1970s and introduced to the United States as a lawn and garden maintenance tool. Drought conditions in California facilitated acceptance of the leaf blower as the use of water for many garden clean-up tasks was prohibited. By 1990, annual sales were over 800,000 nationwide, and the tool had become a ubiquitous gardening implement. In 1998, industry shipments of gasoline-powered handheld and backpack leaf blowers increased 30%over 1997 shipments, to 1,868,160 units nationwide. Soon after the leaf blower was introduced into the U.S., its use was banned as a noise nuisance in two California cities, Carmel-by-the-Sea in 1975 and Beverly Hills in 1978. By 1990, the number of California cities that had banned the use of leaf blowers was up to five. There are currently twenty California cities that have banned leaf blowers, sometimes only within residential neighborhoods and usually targeting gasoline-powered equipment. Another 80 cities have ordinances on the books restricting either usage or noise level or both. Other cities have considered and rejected leaf blower bans. Nationwide, two states,Arizona and New Jersey, have considered laws at the state level, and five other states have at least one city with a leaf blower ordinance. The issues usually mentioned by those who object to leaf blowers are health impacts from noise, air pollution, and dust. Municipalities regulate leaf blowers most often as public nuisances in response to citizen complaints. Two reports were located that address environmental concerns: the Orange County Grand Jury Report, and a series of reports from the City of Palo Alto City Manager's office. The City of Palo Alto reports were produced in order to make recommendations to the City Council on amending their existing ordinance. The Orange County Grand Jury took action to make recommendations to improve the quality of life in Orange County, and recommended that cities, school districts, community college districts, and the County stop using gasoline-powered leaf blowers in their maintenance and clean-up operations. The major findings of each are similar: leaf blowers produce exhaust emissions, resuspend dust, and generate high noise levels. 1 43 As per SCR 19, this report includes a comprehensive review of existing studies of the impacts of leaf blowers on leaf blower operators and on the public at large, and of the availability and actual use of protective equipment for leaf blowers. The receptors identified by the resolution are humans and the environment; sources of impacts are exhaust, noise, and dust. Because the Legislature specified that ARB use existing information, staff conducted no new studies. In order to locate existing data, staff searched the published literature,contacted potential resources and experts, and requested data from the public via mail and through a web page devoted to the leaf blower report. Two public workshops were held in El Monte, California, to facilitate further discussions with interested parties. The methodology followed for this report depends on both the objectives of SCR 19 and available data.As staff discovered, in some areas, such as exhaust emissions, much is known; in other areas, such as fugitive dust emissions, we know very little. For both fugitive dust and noise, there are few or no data specifically on leaf blower impacts. For all hazards, there have been no -dose-response studies related to emissions from leaf blowers, we do not know how many people are affected by those emissions, and no studies were located that address potential health impacts from leaf blowers. Therefore, staff determined to provide the Legislature with a report that has elements of both impact and risk assessments. The body of the report comprises three components, following the introduction: hazard identification, review of health effects, and a characterization of the potential impacts of leaf blowers on operators and bystanders. In Section II, the emissions are quantified as to specific hazardous constituents, the number of people potentially exposed to emissions is discussed, and laws that seek to control emissions are summarized. Section III reviews health effects, identifying the range of potential negative health outcomes of exposure to the identified hazards. Section IV is a synthesis of hazard identification and health effects,characterizing potential health impacts that may be experienced by those exposed to the exhaust emissions, fugitive dust, and noise from leaf blowers in both occupational and non-occupational setting. Section V discusses recommendations. Additional information, including a discussion of research needs to make progress toward answering some of the questions raised by this report,a description of engine technologies that could reduce exhaust emissions and alternatives to leaf blowers, and a complete bibliography of materials received and consulted but not cited in the report, is found in the appendices. Description of the Hazards Hazard identification is the first step in an impact or risk assessment. Each of the three identified hazards are examined in turn, exhaust emissions, dust emissions, and noise. For each, the hazard is described and quantified, to the extent possible, and the number of people potentially exposed to the hazard is discussed. For exhaust emissions, the number of people potentially impacted is as high as the population of the state, differing within air basins. Fugitive dust emissions impact a varying number of people, depending on one's proximity to the source, the size of the particles, and the amount of time since the source resuspended the particles. Finally, we also discuss laws that control the particular hazard. 2 44 Exhaust emissions from leaf blowers consist of the Following specific pollutants of concern: hydrocarbons from both burned and unburned fuel, and which combine with other gases in the atmosphere to form ozone; carbon monoxide; fine particulate matter; and other toxic air contaminants in the unburned fuel, including benzene, 1,3-butadiene, acetaldehyde, and formaldehyde. Exhaust emissions from these engines, while high compared to on-road mobile sources on a per engine basis, are a small part of the overall emission inventory. Emissions have only been controlled since 1995,with more stringent standards taking effect in 2000. The exhaust emissions from leaf blowers are consistent with the exhaust emissions of other, similar off-road equipment powered by small, two-stroke engines, such as string trimmers. Manufacturers have developed several different methods to comply with the standards and have done an acceptable job certifying and producing engines that are below the regulated limits. Electric-powered models that are exhaust-free are also available. Data on fugitive dust indicate that the PMI0 emissions impacts from dust suspended by leaf blowers are small, but probably significant. Previous emission estimates range from less than I%to 5%of the statewide PM 10 inventory. The ARB previously estimated statewide fugitive dust emissions to be about 5 percent of the total, the Sacramento Metropolitan AQMD estimated leaf blower fugitive dust emissions to be about 2 percent of the Sacramento county PM 10 air burden, and AeroVironment estimated dust attributable to leaf blowers in the South Coast Air Basin to be less than 1%of all fugitive dust sources. Dust emissions attributable to leaf blowers are not part of the inventory of fugitive dust sources. ARB,therefore, does not have official data on the quantity of fugitive dust resuspended by leaf blowers. A more definitive estimate of leaf blower fugitive dust emissions will require verification of appropriate calculation parameters and representative silt loadings,measurement of actual fugitive dust emissions through source testing, and identification of the composition of leaf blower-generated fugitive dust. Noise is the general term for any loud, unmusical,disagreeable,or unwanted sound, which has the potential of causing hearing loss and other adverse health impacts. While millions of Californians are likely exposed to noise from leaf blowers as bystanders, given the ubiquity of their use and the increasing density of California cities and towns, there is presently no way of knowing for certain how many are actually exposed, because of the lack of studies. In contrast, it is likely that at least 60,000 lawn and garden workers are daily exposed to the noise from leaf blowers. Many gardeners and landscapers in southern California are aware that noise is an issue and apparently would prefer quieter leaf blowers. Purchases of quieter leaf blowers, based on manufacturer data,are increasing. While little data exist on the noise dose received on an 9-hr time-weighted-average by operators of leaf blowers, data indicate that some operators may be exposed above the OSHA permissible exposure limit. It is unlikely that more than 10% of leaf blower operators and members of the gardening crew, and probably a much lower percentage, regularly wear hearing protection, thus exposing them to an increased risk of hearing loss. The sound quality of gasoline-powered leaf blowers may account for the high level of annoyance reported by bystanders. Review of Health Effects 3 45 Potential health effects from exhaust emissions, fugitive dust, and noise range from mild to serious. Fugitive dust is not a single pollutant, but rather is a mixture of many subclasses of pollutants, each containing many different chemical species. Many epidemiological studies have shown statistically significant associations of ambient particulate matter levels with a variety of negative health endpoints, including mortality, hospital admissions, respiratory symptoms and illness, and changes in lung function. Carbon monoxide is a component of exhaust emissions which causes health effects ranging from subtle changes to death. At low exposures, CO causes headaches,dizziness, weakness, and nausea. Children and people with heart disease are particularly at risk from CO exposure. Some toxic compounds in gasoline exhaust, in particular benzene, 1,3-butadiene, acetaldehyde,and formaldehyde, are carcinogens. Ozone, formed in the presence of sunlight from chemical reactions of exhaust emissions, primarily hydrocarbons and nitrogen dioxide, is a strong irritant and exposures can cause airway constriction, coughing, sore throat, and shortness of breath. Finally, noise exposures can damage hearing, and cause other adverse health impacts, including interference with communication, rest and sleep disturbance, changes in performance and behavior, annoyance,and other psychological and physiological changes that may lead to poor health. Potential Health and Environmental Impacts of Leaf Blowers Health effects from hazards identified as being generated by leaf blowers range from mild to serious, but the appearance of those effects depends on exposures: the dose,or how much of the hazard is received by a person, and the exposure time. Without reasonable estimates of exposures, ARB cannot conclusively determine the health impacts from leaf blowers; the discussion herein clearly is about potential health impacts. The goal is to direct the discussion and raise questions about the nature of potential health impacts for those exposed to the exhaust emissions, fugitive dust, and noise from leaf blowers in both occupational and non-occupational settings. For the worker,the analysis suggests concern. Bearing in mind that the worker population is most likely young and healthy, and that these workers may not work in this business for all of their working lives, we nonetheless are cautioned by our research. Leaf blower operators may be exposed to potentially hazardous concentrations of CO and PM intermittently throughout their work day, and noise exposures may be high enough that operators are at increased risk of developing hearing loss. While exposures to CO, PM, and noise may not have immediate, acute effects, the potential health impacts are greater for long term exposures leading to chronic effects. In addition., evidence of significantly elevated concentrations of benzene and 1,3-butadiene in the breathing zone of operators leads to concern about exposures to these toxic air contaminants. Potential noise and PM health impacts should be reduced by the use of appropriate breathing and hearing protective equipment. Employers should be more vigilant in requiring and ensuring their employees wear breathing and hearing protection. Regulatory agencies should conduct educational and enforcement campaigns, in addition to exploring the extent of the use of protective gear. Exposures to CO and other air toxics are more problematic because there is no effective air filter. More study of CO and other air toxics exposures experienced by leaf blower 4 46 operators is warranted to determine whether the potential health effects discussed herein are actual effects or not. Describing the impacts on the public at large is more difficult than for workers because people's exposures and reactions to those exposures are much more variable. Bystanders are clearly annoyed and stressed by the noise and dust from leaf blowers. They can be interrupted, awakened, and may feel harassed, to the point of taking the time to contact public officials, complain, write letters and set up web sites, form associations, and attend city council meetings. These are actions taken by highly annoyed individuals who believe their health is being negatively impacted. In addition, some sensitive individuals may experience extreme physical reactions, mostly respiratory symptoms, from exposure to the kicked up dust. On the other hand,others voluntarily purchase and use leaf blowers in their own homes, seemingly immune to the effects that cause other people such problems. While these owner- operators are likely not concerned about the noise and dust, they should still wear protective equipment, for example, eye protection, dust masks, and ear plugs, and their exposures to CO are a potential problem and warrant more study. Recommendations The Legislature asked ARB to include recommendations for alternatives in the report,if ARB determines alternatives are necessary. This report makes no recommendations for alternatives. Based on the lack of available data, such conclusions are premature at this time. Exhaust standards already in place have reduced exhaust emissions from the engines used on leaf blowers, and manufacturers have significantly reduced CO emissions further than required by the standards. Ultra-low or zero exhaust emitting leaf blowers could further reduce public and worker exposures. At the January 27, 2000, public hearing, the Air Resources Board directed staff to explore the potential for technological advancement in this area. For noise, the ARB has no Legislative mandate to control noise emissions, but the evidence seems clear that quieter leaf blowers would reduce worker exposures and protect hearing, and reduce negative impacts on bystanders. In connection with this report, the Air Resources Board received several letters urging that the ARB or another state agency set health- based standards for noise and control noise pollution. A more complete understanding of the noise and the amount and nature of dust resuspended by leaf blower use and alternative cleaning equipment is suggested to guide decision- making. Costs and benefits of cleaning methods have not been adequately quantified. Staff estimates that a study of fugitive dust generation and exposures to exhaust emissions and dust could cost P.1 million, require two additional staff, and take two to three years. Adding a study of noise exposures and a comparison of leaf blowers to other cleaning equipment could increase study costs to $1.5 million or more(Appendix H). 5 47 Fugitive dust emissions are problematic. The leaf blower is designed to move relatively large materials, which requires enough force to also blow up dust particles. Banning or restricting the use of leaf blowers would reduce fugitive dust emissions, but there are no data on fugitive dust emissions from alternatives, such as vacuums, brooms, and rakes. In addition, without a more complete analysis of potential health impacts, costs and benefits of leaf blower use, and potential health impacts of alternatives, such a recommendation is not warranted. Some have suggested that pan of the problem lies in how leaf blower operators use the tool, that leaf blower operators need to show more courtesy to passersby, shutting off the blower when people are walking by. Often, operators blow dust and debris into the streets, leaving the dust to be resuspended by passing vehicles. Interested stakeholders, including those opposed to leaf blower use, could join together to propose methods for leaf blower use that reduce noise and dust generation,and develop and promote codes of conduct by workers who operate leaf blowers. Those who use leaf blowers professionally would then need to be trained in methods of use that reduce pollution and potential health impacts both for others and for themselves. 6 ' Q8 1. INTRODUCTION A. Background California Senate Concurrent Resolution No. 19 (SCR 19) was introduced by Senator John Burton February 23, 1999, and chaptered May 21, 1999(Appendix A). The resolution requests the Air Resources Board (ARB) to prepare and submit a report to the Legislature on or before January 1, 2000,"summarizing the potential health and environmental impacts of leaf blowers and including recommendations for alternatives to the use of leaf blowers and alterative leaf blower technology if the state board determines that alternatives are necessary."The Legislature, via SCR 19, raises questions and concerns about potential health and environmental impacts from leaf blowers, and requests that ARB write the report to help to answer these questions and clarify the debate. The goal of this report, then, is to summarize for the California Legislature existing data on health and environmental impacts of leaf blowers, to identify relevant questions not answered in the literature, and suggest areas for future research. As per SCR 19, this report includes a comprehensive review of existing studies of the impacts of leaf blowers on leaf blower operators and on the public at large, and of the availability and actual use of protective equipment for leaf blowers. The receptors identified by the resolution are humans and the environment; sources of impacts are exhaust, noise, and dust. Because the Legislature specified that ARB use existing information, staff conducted no new studies. In order to locate existing data, staff searched the published literature, contacted potential resources and experts,and requested data from the public via mail and through a web page devoted to the leaf blower report. B. History of the Leaf Blower and Local Ordinances The leaf blower was invented by Japanese engineers in the early 1970s and introduced to the United States as a lawn and garden maintenance tool. Drought conditions in California facilitated acceptance of the leaf blower as the use of water for many garden clean-up tasks was prohibited. By 1990, annual sales were over 800,000 nationwide, and the tool had become a ubiquitous gardening implement(CQS 1999a). In 1998, industry shipments of gasoline-powered handheld and backpack leaf blowers increased 30%over 1997 shipments, to 1,868,160 units nationwide(PPEMA 1999). Soon after the leaf blower was introduced into the U.S., its use was banned in two California cities,Carmel-by-the-Sea in 1975 and Beverly Hills in 1978, as a noise nuisance(CQS 1999a, Allen 1999b). By 1990,the number of California cities that had banned the use of leaf blowers was up to five. There are currently twenty California cities that have banned leaf blowers, sometimes only within residential neighborhoods and usually targeting gasoline-powered equipment. Another 80 cities have ordinances on the books restricting either usage or noise level or both. Other cities have considered and rejected leaf blower bans. Nationwide, two states, 7 49 Arizona and New Jersey, have considered laws at the state level, and five other states have at least one city with a leaf blower ordinance (IME 1999). Many owners of professional landscaping companies and professional gardeners believe that the leaf blower is an essential, time-and water-saving tool that has enabled them to offer services at a much lower cost than if they had to use rakes, brooms, and water to clean up the landscape(CLCA 1999). A professional landscaper argues that the customer demands a certain level of garden clean-up, regardless of the tool used (Nakamura 1999). The issues continue to be debated in various public forums, with each side making claims for the efficiency or esthetics of leaf blower use versus rakes and brooms. Leaf blower sales continue to be strong, however, despite the increase in usage restrictions by cities. C. Environmental Concerns The issues usually mentioned by those who object to leaf blowers are health impacts from noise, air pollution, and dust(Orange County Grand Jury 1999). The Los Angeles Times Garden Editor, Robert Straus (1.997), argues against using a leaf blower to remove dead plant material, asserting that it should be left in place to contribute to soil health through decomposition. Municipalities regulate leaf blowers most often as public nuisances in response to citizen complaints (for example,City of Los Angeles 1999). Two reports were located that address environmental concerns: an Orange County Grand Jury report(1999), and a series of reports written by the City Manager of Palo Alto(1999a, 1998a, 1998b). The purpose of the City of Palo Alto reports is to develop recommendations to the City Council on amending its existing ordinance. The Orange County Grand Jury took action to make recommendations that would "improve the quality of life in Orange County," and recommended that cities, school districts, community college districts, and the County stop using gasoline-powered leaf blowers in their maintenance and clean-up operations. The major findings of each are similar(Table 1). Table 1. Major Findings of the Orange County Grand Jury and City of Palo Alto Orange County Grand Jury Report(1999) City of Palo Alto City Manager's Report(1999a) (1) Toxic exhaust fumes and emissions are (1) Gasoline-powered leaf blowers produce fuel created by gas-powered leaf blowers. emissions that add to air pollution- (2) The high-velocity air jets used in (2) Leaf blowers(gasoline and electric) blow blowing leaves whip up dust and pollutants, pollutants including dust, animal droppings, and The particulate matter(PM)swept into the pesticides into the air adding to pollutant air by blowing leaves is composed of dust, problems. fecal matter, pesticides, fungi,chemicals, fertilizers, spores, and street dirt which consists of lead and organic and elemental carbon. 8 50 (3) Blower engines generate high noise (3) Leaf blowers(gasoline and electric)do levels. Gasoline-powered leaf blower noise produce noise levels that are offensive and is a danger to the health of the blower bothersome to some individuals. operator and an annoyance to the non- consenting citizens in the area of usage. As will be discussed in more detail later in this report, the findings in these two reports about exhaust emissions and noise are substantiated in the scientific literature. The report's findings regarding dust emissions, however, were not documented or based on scientific analysis of actual emissions, but were based on common sense knowledge. The City of Palo Alto continued to examine the issue, at the behest of council members, and reported revised recommendations for the use of leaf blowers in Palo Alto in September (City of Palo Alto 1999b) and.January 2000 (City of Palo Alto 2000). The City of Palo Alto subsequently voted to ban the use of fuel-powered leaf blowers throughout the city as of July 1, 2001 (7inko 2000). D. Health and Environmental Impacts SCR 19 asks ARB to summarize potential health and environmental impacts of leaf blowers, and thus our first task is to determine what information and analysis would comprise a summary of health and environmental impacts. The methodology followed for this report is dependent both on the objectives of SCR 19 and on the available data. As staff discovered, in some areas, such as exhaust emissions, we know much; in other areas, such as fugitive dust emissions, we know very little. For both fugitive dust and noise, there are few or no data specifically on leaf blower impacts. For all hazards, there have been no dose-response studies related to emissions from leaf blowers and we do not know how many people are affected by those emissions. Therefore, staff determined to provide the Legislature with a report that has elements of both impact and risk assessments, each of which is described below. 1. Life-cycle Impact Assessment Life-cycle impact assessment is the examination of potential and actual environmental and human health effects related to the use of resources and environmental releases (Fava et al. 1993). A product's life-cycle is divided into the stages of raw materials acquisition, manufacturing, distribution/transportation, use/maintenance, recycling,and waste management(Fava et al. 1991). In this case, the relevant stage of the life-cycle is use/maintenance. Life-cycle impact assessment tends to focus on relative emission loadings and resources use and does not directly or quantitatively measure or predict potential effects or identify a causal association with any effect. Identification of the significance and uncertainty of data and analyses are important(Bamthouse 1997). 2. Risk Assessment 9 51 A traditional risk assessment, on the other hand, seeks to directly and quantitatively measure or predict causal effects. A risk assessment evaluates the toxic properties of a chemical or other hazard, and the conditions of human exposure, in order to characterize the nature of effects and determine the likelihood of adverse impacts (NRC 1983).The four components of a risk assessment are: Hazard identification: Determine the identities and quantities of chemicals present, the types of hazards they may produce, and the conditions under which exposure occurs. Dose-response assessment: Describe the quantitative relationship between the amount of exposure to a substance (dose) and the incidence of adverse effects (response). Exposure assessment: Identify the nature and size of the population exposed to the substance and the magnitude and duration of their exposure. Risk characterization: Integrate the data and analyses of the first three components to determine the likelihood that humans (or other species)will experience any of the various adverse effects associated with the substance. The goal of risk assessment is the quantitative characterization of the risk, i.e., the likelihood that a certain number of individuals will die or experience another adverse endpoint, such as injury or disease. A risk assessment is ideally followed up by risk management, which is the process of identifying, evaluating, selecting, and implementing actions to reduce risk to human health and ecosystems(Omenn et al. 1997). While a risk assessment appears to be preferable because it allows us to assign an absolute value to the adverse impacts,a quantitative assessment is difficult, if not impossible, to perform when data are limited- E. Public Involvement To facilitate public involvement in the process of preparing the leaf blower report, staff mailed notices using existing mailing lists for small off-road engines and other interested parties, posted a leaf blower report website, met with interested parties, and held two public workshops, in June and September, 1999. In addition to face-to-face meetings and workshops, staff contacted interested parties through numerous telephone calls and e-mails. A list of persons contacted for this report is found in Appendix B. Letters and documents submitted to the Air Resources Board as of December 15, 1999, are listed in Appendix K. The vast majority of those contacted were very helpful, opening their files and spending time answering questions. ARB staff were provided with manufacturer brochures;unpublished data; old,hard-to-find reports and letters; and given briefings and demonstrations. Many reports have been posted on the Internet, for downloading at no cost, which considerably simplified the task of tracking down significant works and greatly reduced the cost of obtaining the reports, i to 52 F. Overview of this Report The main body of this report comprises four additional sections, followed by the references cited and appendices. Section II describes the hazards, as identified in SCR 19, from leaf blowers. Hazardous components of exhaust emissions, fugitive dust emissions, and noise are covered in turn, along with who is exposed to each hazard and how society has sought to control exposure to those hazards through laws. Section III reviews health effects of each of the hazards, with exhaust emissions subdivided into particulate matter, carbon monoxide, ozone, and toxic constituents of burned and unburned fuel. Health effects from fugitive dust are covered in the subsection on particulate matter. Section IV discusses the potential health and environmental impacts of leaf blowers, synthesizing the information presented in Sections 1I and Ili. Section V discusses recommendations. Additional information, including a discussion of research needs to make progress toward answering some of the questions raised by this report, a description of engine technologies that could reduce exhaust emissions and alternatives to gasoline-powered leaf blowers,and a complete bibliography of materials received and consulted but not cited in the report, is found in the appendix. 11 53 II. DESCRIPTION OF THE HAZARDS This section of the report describes the three potential hazards identified by SCR 19 as resulting from leaf blowers. This report examines the three hazards that have been of most concern of the public and the Legislature. Hazard identification is the first step in an impact or risk assessment. In this section, then,each of the three identified hazards are examined in turn, exhaust emissions, dust emissions, and noise. For each, the hazard is described and quantified, and the number of people potentially exposed to the hazard is discussed. For exhaust emissions, the number of people potentially impacted is as high as the population of the state,differing within air basins. Fugitive dust emissions impact a varying number of people, depending on one's proximity to the source, the size of the particles, and the amount of time since the source resuspended the particles. Finally, in this section we also discuss laws that control the particular hazard. A. Exhaust Emissions Exhaust emissions are those emissions generated from the incomplete combustion of fuel in an engine. The engines that power leaf blower equipment are predominantly two-stroke, less than 25 horsepower(hp) engines. This section describes the two-stroke engine technology prevalent in leaf blower equipment and associated emissions, reviews the leaf blower population and emission inventory data approved by the Board in 1998, and describes federal, state, and local controls on small off-road engines. 1. Characterization of Technology Small,two-stroke gasoline engines have traditionally powered leaf blowers, and most still are today.' The two-stroke engine has several attributes that are advantageous for applications such as leaf blowers. Two-stroke engines are lightweight in comparison to the power they generate,and operate in any position, allowing for great flexibility in equipment applications. Multi-positional operation is made possible by mixing the lubricating oil with the fuel; the engine is, thus,properly lubricated when operated at a steep angle or even upside down. A major disadvantage of two-stroke engines is high exhaust emissions. Typical two-stroke designs feed more of the fuel/oil mixture than is necessary into the combustion chamber. Through a process known as scavenging, the incoming fuel enters the combustion chamber as the exhaust is leaving. This timing overlap of intake and exhaust port opening can result in as much as 30% of the f telloil mixture being exhausted unburned. Thus, exhaust emissions consist of both unburned fuel and products of incomplete combustion. The major pollutants from a two-stroke engine are, therefore, oil-based particulates, a mixture of hydrocarbons, and carbon monoxide_ A two-stroke engine forms relatively little oxides of nitrogen emissions, because the extra fuel absorbs the heat and keeps peak combustion temperatures low. Unless otherwise referenced, this section makes use of material in the ARB's Small Off Road Engine staff report and attachments, identified as MSC 98-02; 1998a. 12 54 Hydrocarbon emissions, in general,combine with nitrogen oxide emissions from other combustion sources to produce ozone in the atmosphere. Thus ozone, although not directly emitted, is an additional hazard from leaf blower exhaust. In addition, some of the hydrocarbons in fuel and combustion by-products are themselves toxic air contaminants, such as benzene, 1,3- butadiene, acetaldehyde, and formaldehyde(ARB 1997). The major sources of benzene emissions are gasoline fugitive emissions and motor vehicle exhaust; about 25%of benzene emissions are attributed to off-road mobile sources. Most 1,3-butadiene emissions are from incomplete combustion of gasoline and diesel fuels from mobile sources (about 96%), Sources of acetaldehyde include emissions from combustion processes and photochemical oxidation. The ARB has estimated that acetaldehyde emissions from off-road motor vehicles comprise about 27%of the total emissions. Finally, formaldehyde is a product of incomplete combustion and is also formed by photochemical oxidation; mobile sources appear to contribute a relatively small percentage of the total direct emissions of formaldehyde. Data do not exist to allow reliable estimation of toxic air contaminant emissions from small, two-stroke engine exhaust. A small percentage of blowers utilize four-stroke engines. These blowers are typically "walk-behind" models, used to clean large parking lots and industrial facilities, rather than lawns and driveways. Overall, the engines used in these blowers emit significantly lower emissions than their two-stroke counterparts, with significantly lower levels of hydrocarbons and particulate matter. These four-stroke blower engines have a significantly lower population than the traditional two-stroke blowers and only peripherally fit the definition or commonly-accepted meaning of the term"leaf blower."They are mentioned here only for completeness, but are not otherwise separately addressed in this report. 2. Exhaust Emissions a. Leaf Blower Population The best estimates available indicate that there are approximately 410,000 gasoline- powered blowers in use in the state today. Less than 5,000 of those use four-stroke engines; the remainder(99%)utilize two-stroke engines. These data have been developed from information gathered through the development and implementation of ARB's small otf=road engine regulation. Since the small off-road engine regulation does not apply to blowers powered by electric motors, data regarding the number of electric blowers are not as extensive. However, information shared by the handheld power equipment industry indicates that approximately 60 percent of blowers sold are electric. This would indicate that there are approximately 600,000 electric blowers in California. It must be stressed that the majority of the blower population being electric does not imply that the majority of usage accrues to electric blowers. In fact, electric blowers are more likely to be used by homeowners for occasional use,whereas virtually all professional gardeners use engine-powered blowers- b. Emission Inventory 13 55 California's emission inventory is an estimate of the amount and types of criteria pollutants and ozone precursors emitted by all sources of air pollution. The emission inventory method and inputs for small off-road engines, with power ratings of less than 25 hp, were approved by the Board in 1998 (ARB 1998b)(Table 2). Exhaust emissions from leaf blowers contribute from one to nine percent of the small-off road emissions,depending on the type of pollutant,based on the 2000 emissions data. Exhaust emission standards for small oft-road engines,which will be implemented beginning in 2000, will result in lower emissions in the future. By 2010, for example, hydrocarbon emissions are expected to shrink by 40% statewide, while CO declines by 35% and PM10 drops 90%. The reductions reflect the replacement of today's blowers with cleaner blowers meeting the 2000 standards. Table 2. Statewide Inventory of Leaf Blower Exhaust Emissions(tons per day) Leaf blowers Leaf blowers All Lawn & All Small Off- 2000 2010 Garden 2000 Road 2000 Hydrocarbons, 7.1 4.2 50.24 80.07 reactive Carbon Monoxide 16.6 9.8 434.99 1046.19 CO Fine Particulate 0.2 0.02 1.05 3.17 Matter (PM10) 3. Regulating Exhaust Emissions a. State Regulations The California Clean Air Act,codified in the Health and Safety Code Sections 43013 and 43018, was passed in 1988 and grants the ARB authority to regulate off-road mobile source categories, including leaf blowers. The federal Clean Air Act requires states to meet national ambient air quality standards(Appendix C) under a schedule established in the Clean Air Act Amendments of 1990. Because many air basins in California do not meet some of these standards, the State regularly prepares and submits to the U.S. EPA a plan that specifies measures it will adopt into law to meet the national standards. Other feasible measures not specified in the state implementation plan may also be adopted as needed. In December 1990, the Board approved emission control regulations for new small off-road engines used in leaf blowers and other applications. The regulations took effect in 1995, and include exhaust emission standards, emissions test procedures, and provisions for warranty and production compliance programs. In March of 1998, the ARB amended the standards to be implemented with the 2000 model year(ARB 1998a). Table 3 illustrates how the standards compare with uncontrolled engines for leaf blower engines. Note that there was no particulate 14 56 matter standard for 1995-1999 model year leaf blowers,but that a standard will be unposed beginning with the 2000 model year. Among other features of the small off-road engine regulations is a requirement that production engines be tested to ensure compliance. Examination of the certification data confines that manufacturers have been complying with the emissions regulations; in fact, engines that have been identified as being used in blowers tend to emit hydrocarbons at levels that are 10 to 40 percent below the existing limits. This performance is consistent with engines used in string trimmers, edgers, and other handheld-type equipment, which are, in many cases, the same engine models used in leaf blowers. Table 3 Exhaust Emissions Per Engine for Leaf Blowers (grams per brake-horsepower-hour,g/bhp-hr) Uncontrolled 1995-1999 2000 and later Emissions Standards Standards HC+NOx 283 + 1.0 180+4.0 543 CO 908 600 400 PM 3.6 --4 1.5 b. Federal Regulations Although the federal regulations for mobile sources have traditionally followed the ARB's efforts, the U.S. EPA has taken advantage of some recent developments in two-stroke engine technology. Specifically, compression wave technology has been applied to two-stroke engines, making possible much lower engine emissions. Bolstered by this information, the U.S. EPA (1999a)has proposed standards for blowers and other similar equipment that would be more stringent than the ARB standards. ARB plans a general review of off-road engine technology by 2001, and will consider the implications of this new technology in more detail then. A short description is included in Appendix 1. c. South Coast AOMD Emissions Credit Program 2Applicable to engines of 20-50 cc displacement,used by the vast majority of leaf blowers. 3For yr 2000, the HC+NOx standards have been combined. °There was no particulate standard for this time period. 15 57 The South Coast Air Quality Management District(SCAQMD), an extreme non-attainment area for ozone, has promulgated Rule 1623 - Credits for Clean Lawn and Garden Equipment. Rule 1623 provides mobile source emission reduction credits for those who voluntarily replace old high-polluting lawn and garden equipment with new low- or zero-emission equipment or who sell new low- or zero-emission equipment without replacement. The intent of the rule is to accelerate the retirement of old high-polluting equipment and increase the use of new low-or zero-emission equipment. In 1990, volatile organic carbon emissions from lawn and garden equipment in the South Coast Air Basin were 22 tons per day (SCAQMD 1996). To date, no entity has applied for or received credits under Rule 1623 (V. Yardemian,pers. com.) 4. Summary Exhaust emissions from leaf blowers consist of the following specific pollutants of concern: hydrocarbons from both burned and unburned fuel, and which combine with other gases in the atmosphere to form ozone; carbon monoxide; fine particulate matter; and other toxic air contaminants, including benzene, 1,3-butadiene, acetaldehyde, and formaldehyde. Exhaust emissions from these engines, while high compared to on-road mobile sources on a per engine basis, are a small part of the overall emission inventory. Emissions have only been controlled since 1995, with more stringent standards taking effect in 2000. The exhaust emissions from leaf blowers are consistent with the exhaust emissions of other, similar off-road equipment powered by small, two-stroke engines, such as string trimmers. Manufacturers have developed several different methods to comply with the standards and have done an acceptable job certifying and producing engines that are below the regulated limits. Electric-powered models that are exhaust- free are also available. B. Fugitive Dust Emissions `Blown dust' is the second of the hazards from leaf blowers specified in SCR 19. For the purposes of this report,we will use the term "fugitive dust,"which is consistent with the terminology used by the ARB. This section, in addition to defining fugitive dust emissions, characterizes fugitive dust resuspended by leaf blowers by comparing previous estimates of emission factors(amount emitted per how per leaf blower) and emissions inventory (amount resuspended per day by all leaf blowers statewide) to a current estimate, developed for this report. In addition, the potential composition of leaf blower dust and fugitive dust controls at the state and local levels are described. 16 58 1. Definition of Fugitive Dust Emissions From the Glossary of Air Pollution Terns,available on the ARB's website 5 the following definitions are useful: Fugitive Dust: Dust particles that are introduced into the air through certain activities such as soil cultivation, or vehicles operating on open fields or dirt roadways; a subset of fugitive emissions. Fugitive Emissions: Emissions not caught by a capture system (often due to equipment leaks, evaporative processes, and windblown disturbances). Particulate Matter(PM): Any material, except uncombined water, that exists in the solid or liquid state in the atmosphere.The size of particulate matter can vary from coarse, wind-blown dust particles to fine particle combustion products. Fugitive dust is a subset of particulate matter, which is a complex mixture of large to small particles that are directly emitted or formed in the air. Current control efforts focus on PM small enough to be inhaled, generally those particles smaller than 10 micrometers(um). So-called coarse particles are those larger than 2.5 µm in diameter, and are directly emitted from activities that disturb the soil, including construction, mining, agriculture, travel on roads, and landfill operations, plus windblown dust, pollen, spores, sea salts, and rubber from brake and tire wear. Those with diameters smaller than 2.5 µm are called fine particles. Fine particles remain suspended in the air for long periods and can travel great distances. They are formed mostly from combustion sources, such as vehicles,boilers, furnaces, and fires, with a small dust component. Fine particles can be directly emitted as soot or formed in the atmosphere as combustion products react with gases from other sources(Finlayson-Pitts & Pitts 1986). Dust emissions from leaf blowers are not part of the inventory of fugitive dust sources. ARB, therefore, does not have official data on the quantity of fugitive dust resuspended by leaf blowers. No data on the amount and size distributions of resuspended dust from leaf blower activities have been collected, although estimates have been made. ARB evaluated three previous estimates (McGuire 1991, Botsford et al. 1996, Covell 1998) and developed a proposed methodology for estimating fugitive dust emissions from leaf blowers. The estimate presented below begins with the assumptions and calculations contained in the study conducted for the SCAQMD by AeroVironment(Botsford et al. 1996). Additional methodologies and data have been reviewed and derived from the U.S. EPA document commonly termed AP-42, and reports by the Midwest Research Institute; University of California, Riverside; and the Desert Research Institute. 'http://arbis.arb.ca.gov/htmUgloss.htm 17 59 2. Calculating Leaf Blower Emissions There are more than 400,000 gasoline-powered leaf blowers,plus approximately 600,000 electric leaf blowers, that are operated an estimated 114,000 hours per day in California. The fundamental premise in the calculations below is that leaf blowers are designed to move relatively large materials such as leaves and other debris, and hence can also be expected to entrain into the air much smaller particles, especially those below 30 µm diameter, which are termed total suspended particulate (PMtsp). Subsets of PMtsp include PM10, particulates with diameters less than or equal to 10 um, and PM2.5,particulates with diameters less than or equal to 2.5 µm. Particles below 30 µm are not visible to the naked eye. Note that PM10 includes PM2.5 particles, and PMtsp includes PM10 and PM2.5 particles. a. Generation of Fugitive Dust by Leaf Blowers The leaf blower moves debris such as leaves by pushing relatively large volumes of air, typically between 300-700 cubic feet per minute, at a high wind speed, typically 150 to 280 miles per hour(hurricane wind speed is>117 mph). A typical surface is covered with a layer of dust that is spread,probably non-uniformly, along the surface beingeleaned. While the intent of a leaf blower operator may not be to move dust, the high wind speed and volume result in small particles being blown into the air. In order to calculate how much fugitive dust is generated by the action of a blower,we assume that this layer of dust can be represented by a single average number, the silt loading. This silt loading value, when combined with the amount of ground cleaned per unit time and the estimated PM weight fractions,produces estimates of fugitive dust emissions front leaf blowers. Staff have located no fugitive dust measurement studies on leaf blowers, but have found previous calculations of fugitive dust estimates from leaf blowers. Based on a review of those estimates, staff applied the latest knowledge and research in related fields in order to derive a second-order approximation. This section presents the best estirates using existing data, while recognizing that estimates are only approximations. Variables that would affect fugitive dust emissions, and for which ARB has little or no empirical data, include, for example: (1)the specific surface types on which leaf blowers are used; (2)the percentage of use on each specific surface type; (3) effects of moisture,humidity, and temperature; (4) silt loading values for surfaces other than paved roadways, shoulders, curbs, and gutters and in different areas of the state; and (5) measurements of the amount of surface cleaned per unit time by the average operator. Other variables are not expected to greatly influence fugitive dust emissions; the hurricane-force winds generated by leaf blowers are expected to overcome such influences, for example, as the roughness of relatively flat surfaces and the effect of particle static charge. 18 60 b. Size Segreeation of Particulate Matter PM emissions can be subdivided into the following three categories, operator emissions, local emissions, and regional emissions. They are differentiated as follows: t) Operator emissions. PMtsp emissions approximate emissions to which the operator is exposed. The larger of these particles, between approximately 10 and 30 gym, have relatively short settling times, on the order of minutes to a couple of hours, maximum (Finlayson-Pitts& Pitts 1986, Gillies et al. 1996, Seinfeld&Pandis 1998). These would be emissions to which both the leaf blower operator and passersby would be exposed. 2) Local emissions. PM10 emissions will be used to estimate "local' PM emissions. PM10, which includes particles at or below 10 um, may remain suspended for hours to days in the atmosphere (Finlayson-Pitts&Pitts 1986, Gillies et al. 1996, Seinfeld & Pandis 1998). These are emissions to which persons in the near-downwind-vicinity would be exposed, for example, residents whose lawns are being serviced and their neighbors, persons in commercial buildings whose landscapes are being maintained or serviced, and persons within a few blocks of the source. 3) Regional emissions. PM2.5 emissions may remain suspended for as long as a week or more (Finlayson-Pitts&Pins 1986, Gillies, et al. 1996, Seinfeld& Pandis 1998). These particles are sized at or below 2.5 µm, and hence can be considered as contributors to regional PM emissions over a county or air basin because of their long residence time. c. Calculation Assumptions and Limitations The method presented uses the following assumptions. 1)Methods used for estimating wind blown dust for paved roads can be applied to estimating fugitive dust emissions from leaf blowers. That is, one can use an "AP-42" type (U.S. EPA 1997) of approach that calculates dust emissions based on the silt loading of the surfaces in question. 2) The typical leaf blower generates sufficient wind speed to cause sidewalk/roadway dust. in particular, particles 30 µm or less in aerodynamic diameter, to become airborne. The AeroVironment study(Botsford et al. 1996) assumed that nozzle air velocities ranged from 120 to 180 mph, and calculated that wind speed at the ground would range from 24 mph to 90 mph, sufficient to raise dust and equivalent, at the middle to high end speeds, to gale-force winds. 3)Currently available paved road, roadside shoulder, and gutter silt loadings (Venkatram & Fitz 1998)can be used to calculate emissions from leaf blowers,as there are no data on silt loadings on other surfaces. Observations and communications with landscapers indicate that leaf blowers are most commonly used to clean hardscape surfaces, such as sidewalks, after lawns and 19 61 flower beds have been trimmed and cuttings left on hardscapes. Debris is then frequently blown into the roadway before being collected for disposal. 4)The size fractions for particles for paved road dust can be used to calculate emissions from leaf blowers (G. Muleski,pers. comm.). The ratios of particle size multipliers, or"k" factors, are used to estimate the weight fraction of windblown dust for leaf blower usage. The "k" factor is a dimensionless value that represents the percentage of the total dust loading that is of a certain size fraction (MRI 1997). 5) Silt loading values and usage are assumed to be the same for residential and commercial leaf blower use. In an earlier draft, ARB staff had proposed different silt loading values for residential and commercial leaf blowers; comments were received that indicated that heavier-duty commercial leaf blowers were used in the same way in both residential and commercial settings. In addition,data on nozzle air speeds indicate that most electric leaf blowers, targeted at homeowners, have air speeds at or above 120 mph, the lowest air speed considered in the AeroVironment report(Botsford et al. 1996) as capable of raising dust. 6) The weight of total suspended particulates is equivalent to 100% of the silt loading, the weight fraction that comprises PM 10 is 19%of the total, and the weight fraction comprising PM2.5 is 9%of the total (U.S. EPA 19.97, MRi 1997, G. Muleski, pers. com). A recent study, however, found that 50-70% of the mass of PMtsp of paved road dust at three southern California locations is present in the PM10 fraction(Miguel et al. 1999), so more data would be helpful. A final limitation is the recognition that emissions inventories are estimates orthe unknown and unknowable actual emissions inventory. An earlier draft of this report was criticized as providing only estimates of emissions, and not actual emissions, when in fact all emissions inventories are based on models developed through scientific research on how the chemicals behave in the atmosphere, limited testing to determine emission factors, and industry-provided data on the population and usage of each particular source of air pollution. Each generation of emission inventories is an improvement over the one previous as assumptions are examined, tested, and modified. As discussed earlier,the estimate in this report builds on previous estimates. d. Calculation Methodology The proposed emissions estimation methodology uses measured silt loadings (Venkatram & Fitz 1998) and size fraction multipliers for PMI0 and PM2.5 (U.S. EPA 1997, MRI 1997, G. Muleski, pers. com.). �7 EFsjze=(sL) (Q) (f j.) where: F,F,;,,=PM30, or PMI0, or PM2.5 emission factors; sL= silt loading fraction, from ARB (1998b); 20 62 Q= amount of ground cleaned per unit time, estimated to be 1,600 mz/hr, corresponding to a forward speed of I mph, with the operator sweeping the blower in a one meter arc; f,,.= fraction of PMtsp dust loading that comprises PM 10(0.19) or PM2.5 (0.09). Silt loading values are the critical parameter in the calculation. ARB has chosen, for this emissions estimate, to use recent data from a study conducted for the ARB by a team at the University of California, Riverside(Venkatram& Fitz 1998)(Table 4). As data were collected only in Riverside County, it is not known how representative they are of other areas of the state or of substrates cleaned by leaf blowers. The data are,however, the most complete we have to date. Because the data are not normally distributed, the median and 95%percentile samples for silt loading are used to represent the data set in calculations. Table 4 Silt Loading Values, Riverside County rams per s uare meter, mZ Roadway Type Material Loading, Silt Loading, Range of Silt Median Median 95% Loading Values Paved Road 108.44 0.16(6.34) 0.003-107.596 Roadway Shoulders 481.08 3.33 (15.73) 0.107-23.804 Curbs and Gutters 144.92 3.39 (132.94) 0.97-556.65 3. Characterization of Fugitive Dust Emissions This section includes results from this present analysis. as well as results from previous estimates prepared by the ARB and others for comparison_ a. Emission Factors -This Study Possible emission factors have been calculated for leaf blower use on paved roadways, roadway shoulders, and curbs and gutters (Table 5). Two emission factors are presented for each surface and particle size,based on the median and 95`h percentile of the empirical silt loading data. The resulting range for PM10 is from 48.6 to 1030.6 g/hr for PM10, for example, depending on the surface cleaned. Cleaning of curbs and gutters generates the highest emission factors, whereas paved roadways and shoulders are lower. As discussed before,staff have no data on which to base emission factors for sidewalks, driveways, lawns, or flower beds. 21 63 Table 5.Leaf Blower Estimated Emission Factors,This Study (grams per hour,g/hr) Emission Factor Paved Roadway, Shoulders, Curbs/Gutters, Median 95%) Median 95% Median 95% Total Suspended 256.0(10,144.0) 5,328 (251168) 5,424(212,704) Particulate PM10 48.6 (1,927.4) 1,012.3 4,781.9 1,030.E 40,413.8 PM2.5 23.0 (913.0) 479.5 (2,265.0) 488.2 (19,143.4) b. Statewide Emissions Inventory -This Study Three potential statewide emissions inventory values(Table 6), in tons per day (tpd), have been calculated by multiplying the median emissions factors, shown above,by the hours of operation for each of tluee different substrates: paved roadways, paved shoulders, and paved curbs/gutters, based on the Riverside data. From the statewide emissions inventory, the total number of hours of operation in the year 2000 are estimated to be 113,740 hr/day, or 97,302 ]tr/day for gasoline-powered leaf blowers plus 16,438 hr/day for electric leaf blowers.6 Table 6. Leaf Blower Emissions, Possible Statewide Values, This Study (tons per day, tpd) Emissions Inventory Paved Roadway, Shoulders, Curbs/Gutters, Median Median Median Total Sus ended Particulates 32.1 667.4 679.4 PM10 6.1 126.8 129.1 PM2.5 2.9 60.1 61.2 The goal in developing an emissions inventory is to derive one statewide emissions inventory number for each category of particulate sizes, which can then be subdivided by air basin or air district. Ideally,ARB would have developed emissions factors for each surface cleaned by leaf blowers, and apportioned the emissions based on the percentage of hours spent cleaning each surface annually. Table 6, however, presents an array of values because staff have no data on the percentage of time spent cleaning various surfaces. For comparison, the 1996 statewide PM10 60n a per-unit basis, electric blowers are assumed to be used 10 fir-'yr. 22 64 estimated emission inventory was 2,400 tpd; estimates for paved road dust, unpaved road dust, and fugitive windblown dust were 400, 610, and 310 tpd, respectively. Based on the estimates in Table 6, then, PM 10 emissions impacts from leaf blower use could range from insignificant (0.25%)to significant(5.4%), on a statewide basis. Additional study is required to refine the analysis and develop a statewide emission inventory. c. Previous Emissions Estimates: ARB, 1991 The ARB's Technical Support Division, in a July 9, 1991 response to a request from Richard G. Johnson, Chief of the Air Quality Management Division at the Sacramento Metropolitan Air Quality Management District,prepared a leaf blower emissions estimate in grams per hour of dust(McGuire 1991). PM 10 emissions were reported as being 1,180 g/hr, or 2.6 lb/hr, which is the same order of magnitude as the present study's calculated emission factors for roadway shoulders and curbs/gutters (Table 5). If this emission factor is combined with current statewide hours-of-operation data of 113,740 hr-'day of leaf blower usage, this would produce an emission inventory of 147.8 tpd of PM10, similar to the present study's inventory for shoulders and curbs/gutters(Table 6). d. Previous Emissions Estimates: SMAOMD Sacramento Metropolitan Air Quality Metropolitan District (SMAQMD)staff(Covell 1998) estimated that "Dust Emissions(leaf blowers only)" are 3.2 tpd in Sacramento County. The memo included commercial and residential leaf blower populations (1,750 commercial and 15,750 residential), and hours of use (275 hr/yr for commercial and 10 hr/yr for residential). Using these values one can calculate the assumed g/hr emission factor for particulate matter. The resulting emission factor is 1,680 g/hr,or 3.7 lb/hr.The resulting statewide emission inventory is 210.4 tpd, higher than this study's estimates(Tables 5 & 6). e. Previous Emissions Estimates: AeroVironment The South Coast AQMD commissioned AeroVironment to determine emission factors and preliminary emission inventories for sources of fugitive dust previously uninventoried; leaf blowers were one of the categories examined (Botsford et aL 1996). The study focused on PM10, and did not include field measurements. The study assumed that each leaf blower was used, at most,one day per week to clean 929 m� (1000 ft)of ground. Silt loading was assumed to be 1.42 g/m2. Combining these two values yields an emission factor of 5.5 g/hr. With an estimated 60,000 leaf blowers in the South Coast Air Basin, AeroVironment calculated an emission inventory of 8.6 tpd,just for the South Coast AQMD, more than double the basin-wide inventory calculated for the Sacramento Metropolitan AQMD(above). The obvious difference between this estimate and the others summarized herein is the assumption that each leaf blower is used for no more than one day per week and is used to clean an area equivalent to only one front yard (20 ft by 50 ft); as commercial gardeners could not make a living cleaning one front yard once per week, this figure is obviously much too low. It is, however, coincidentally similar to the present study's estimate for paved roadways (Table 6). 23 65 4. Particulate Composition Substances such as fecal material, fertilizers, fungal spores, pesticides,herbicides, pollen, and other biological substances have been alleged to make up the dust resuspended by leaf blower usage(Orange County Grand Jury 1999), and thus staff looked for data on the composition of particulate matter. Little information is available. Suspended paved road dust is a major contributor to airborne particulate matter in Los Angeles and other cities (Miguel et al. 1999). Staff considered, therefore, size-segregated chemical speciation profiles for paved road dust to chemically characterize leaf blower PM emissions. The chemical speciation profiles for paved road dust show small percentages of the toxic metals arsenic, chromium, lead, and mercury. In addition to soil particles,paved road dust emissions may contain contributions from tire and brake wear particles. Paved road dust chemical speciation, however, characterizes the dust by elemental composition, and was not useful in estimating health impacts for this assessment. ARB's chemical speciation profile for paved road dust is presented in Appendix D for information. Recently, however, researchers published a study on allergans in paved road dust and airborne particles(Miguel et al. 1999). The authors found that biologic materials from at least 20 different source materials known to be capable of causing or exacerbating allergenic disease in humans are found in paved road dust, including pollens and pollen fragments,animal dander, and molds. Allergen concentrations in the air are increased above the levels that would otherwise occur in the absence of suspension by passing traffic. The authors conclude that paved road dust is a ubiquitous mixed source of allergenic material, resuspended by passing traffic, and to which virtually the entire population is exposed. The applicability of this study to particulate matter resuspension by leaf blower usage is unknown, but it is likely that leaf blowers would be as effective at resuspending paved road dust as automobiles. Information on the characteristics of other sources of resuspended particulates, for example lawns and gardens, is unfortunately lacking. 5. Regulating Fugitive Dust Emissions Fugitive dust emissions are generally regulated as a nuisance, although PM10 and PM2.5 are specifically addressed through the state planning process as criteria air pollutants. There are no explicit federal, state,or local regulations governing leaf blower fugitive dust emissions. 24 66 a. State and Federal PM10 and PM2.5 Standards The California and Federal ambient air quality standards for PM 10 and PM2.5 are located in Appendix C. Any state that has air basins not in attainment with the standards must submit a plan to U.S. EPA on how they will achieve compliance. For California, most of the state violates the PM 10 standard; attainment status has not yet been determined for the new PM2.5 standard (promulgated July 18, 1997 and under challenge in the courts). California, and its air districts, is therefore required to control sources of PM10, including fugitive dust. b. Local District Regulations Many air districts have a fugitive dust control rule that prohibits activities that generate dust beyond the property line of an operation. For example, the SCAQMD Rule 403 states: "A person shall not cause or allow the emissions of fugitive dust from any active operation,open storage pile, or undisturbed surface area such that the presence of such dust remains visible in the atmosphere beyond the property line of the emission source." In addition, rules may place limits on the amount of PM10 that can be detected downwind of an operation that generates fugitive dust; for SCAQMD that limit is 50 µg/m3 [SCAQMD Rule 403]. The Mojave AQMD limits PM emissions to 100/rgim' [Mojave AQMD Rule 403]. Others, such as the San Joaquin Unified APCD, define and limit visible emissions(40%opacity) from activities that generate fugitive dust emissions [SJUAPCD Rule 8020). Finally, another approach is to simply request individuals take reasonable precautions to prevent visible particulate matter emissions from moving beyond the property from which the emissions originate [Great Basin Unified APCD Rule 401]. 6- Summary Data on fugitive dust indicate that the PM 10 emissions impacts from dust suspended by leaf blowers are small, but probably significant. Previous emission estimates range from less than 1% to 5% of the statewide PM 10 inventory. The ARB previously estimated statewide fugitive dust emissions to be about 5 percent of the total,the Sacramento Metropolitan AQMD estimated leaf blower fugitive dust emissions to be about 2 percent of the Sacramento county PMl0 air burden, and AeroVironment estimated dust attributed to leaf blowers in the South Coast Air Basin to be less than 1%of all fugitive dust sources. Dust emissions attributable to leaf blowers are not part of the inventory of fugitive dust sources. ARB, therefore, does not have official data on the quantity of fugitive dust resuspended by leaf blowers. A more definitive estimate of leaf blower fugitive dust emissions will require research to verify appropriate calculation parameters, determine representative silt loadings, measure actual fugitive dust emissions through source testing, and identify the chemical composition of leaf blower-generated fugitive dust. 25 67 C. Noise Emissions The third of the hazards from leaf blowers identified in SCR 19 is noise. This section defines noise, describes the physical properties of sound and how sound loudness is measured, discusses noise sources, the numbers of Californians potentially exposed to noise, and how noise is regulated at the federal, state,and local levels,and addresses specific sound loudness and quality from leaf blowers. In addition, the incidence of the use of hearing protection, and other personal protective equipment,by leaf blower operators is described. 1. Defining Noise Noise is the general term for any loud, unmusical, disagreeable,or unwanted sound. In addition to damaging hearing,noise causes other adverse health impacts, including interference with communication, rest and sleep disturbance,changes in performance and behavior, annoyance, and other psychological and physiological changes that may lead to poor health (Berglund& Lindvall 1995). In this report, noise will be used to refer both to unwanted sounds and sounds that damage hearing. The two characteristics. although related, do not always occur together. The effects of sound on the ear are determined by its quality, which consists of the duration, intensity, frequency, and overtone structure, and the psychoacoustic variables of pitch, loudness, and tone quality or timbre, of the sound. Long duration, high intensity sounds are the most damaging and usually perceived as the most annoying. High frequency sounds,up to the limit of hearing, tend to be more annoying and potentially more hazardous than low frequency sounds. Intermittent sounds appear to be less damaging than continuous noise because the ear appears to be able to recover, or heal, during intervening quiet periods. Random, intermittent sounds, however, may be more annoying, although not necessarily hazardous,because of their unpredictability(Suter 1991). The context of the sound is also important. While certain sounds may be desirable to some people, for example, music at an outdoor party, others may consider them noise, for example, those trying to sleep. Even desirable sounds, such as loud music, may cause damage to hearing and would be considered noise in this context. Thus, not only do loudness,pitch, and impulsiveness of sound determine whether the sound is noise, but also the time of day,duration, control(or lack thereofj, and even one's personality determine whether sounds are unwanted or not. The physical and psychoacoustic characteristics of sound, and thus noise, are described in more detail in Appendix E.The discussion is focused on information necessary for the reader to understand how sound is measured, and clarify treasures of leaf blower sound. The interested reader is referred for more information to any physics or acoustic reference book, or the works referred to herein. 26 68 2. Measuring the Loudness of Sound The weakest intensity of sound a health human ear can detect has an amplitude of 20 millionths of a Pascal'(20 AN). The loudest sound the human ear can tolerate,the threshold of pain, has an amplitude ten million times larger, or 200,000,000 µPa. The range of sound intensity between the faintest and the loudest audible sounds is so large that sound pressures are expressed using a logarithmically compressed scale,termed the decibel (dB)scale. The decibel is simply a unit of comparison between two sound pressures. In most cases, the reference sound pressure is the acoustical zero,or the lower limit of hearing.The decibel scale converts sound pressure levels (SPL) to a logarithmic scale,relative to 20 µPa(Figure I). SPL, dB= 10 loglo (P2/Pn2) Where P is the pressure fluctuation in Pascals, Po is the reference pressure; usually 20 µPa. Thus, from this relationship, each doubling of sound pressure levels results in an increase of 6 dB. From the relationship between sound intensity and distance(Appendix E), we find also that doubling the distance between the speaker(source) and listener(receiver), drops the level of the sound by approximately 6 dB. Sound pressure levels are not directly additive, however, but must first be expressed as mean square pressures before adding(Berglund& Lindvall 1995). The equation is as follows: SPL= 10 loglo (IOSPL;10 + IOSPL2J10+ —, + IQsK,X/10) For example,if two sound sources have SPLs of 80 dB and 90 dB, then the resulting sound pressure is 90.4 dB. Adding two sounds with the same SPL, for example 90 dB,increases the total SPL by 3 dB, to 93 dB. a. Loudness Description Sound pressure level,however, does not completely describe loudness,which is a subjective perception of sound intensity. Loudness increases with intensity,but is also dependent on frequency. Thus the human ear may not perceive a six dB increase as twice as loud. In general, people are more sensitive to sounds in the middle of the range of hearing, from around 200 Hz to 5000 Hz. Fletcher and Munson(1933) first established the 1000-Hz tone as the standard sound against which other tones would be judged for loudness. Later, Stevens(1955)proposed that the unit of loudness be termed the sone, and that one Bone be ascribed to a 1000-Hz tone set at a SPL 'Other units used to represent an equivalent sound pressure include 0.0002 µbar, 0.0002 dyne%mZ, and 20 µN/m�. 27 69 of 40 dB under specified listening conditions. On the sone scale, a sound twice as loud as one sone would be two sones, four times as loud would be four sones, and so on. Equal loudness contours, identified in units of phons,demonstrate how the SPL, in dB, of a tone must be varied to maintain the perception of constant loudness. Ideally, sound measurement meters would give a reading equal to loudness in phons, but because phons are based on human perception, and perception process will vary from individual to individual, this has not been practical until recently(Berglund&Lindvall 1995). Loudness is still measured in decibels,however, following past practices. Various filters have been devised to approximate the frequency characteristics of the human ear, by weighting sound pressure level measurements as a function of frequency. Several weighting systems have been developed,but the one in most common use is the A-weighted filter, with sound pressure levels commonly expressed as dBA. Loudness levels range from about 20 dB (24=hr average)in very quiet rural areas, to between 50 and 70 dB during the daytime in cities. Additional examples of typical loudness measures are illustrated in Figure 1. Perceived Sound Level Sound Level Examples Leaf Blower Reference d6 µPa 160 2x109 fireworks at 3 feet 150 jet at takeoff 140 2x108 threshold of pain OSHA limit for impulse noise 130 power drill 120 2X107 thunder 110 auto horn at 1 meter 90-105 dB leaf blower at operators ear 100 2006 snowmobile 90 diesel truck,food Wender 90 dB OSHA permissible exposure limn 80 2x105 garbage disposal r4 ? 70 vacuum cleaner q, �-:� k ,. 52.75 tl6 Leaf blower at 50 fast MODERpTELYr 60 2x104 ordinary conversation LOUD 50 average home QUIET 40 2x103 library 30 quiet conversation I VERY QUIET 20 2x102 soft whisper 10 rustling leaves BARELY AUDIBLE 0 2001 threshold of hearing dB=decibels ,Pa.micro Pascals Fig. I. Comparison of sound levels in the environment 28 70 b. Sound Level Measurement The ANSI B 175 Accredited Standard Committee, a group that includes government officials,Underwriters Laboratories, leaf blower manufacturers, and trade associations, and which is accredited by the American National Standards Institute, Inc. (ANSI),developed a method for measuring the sound levels from leaf blowers(Appendix F). The purpose of the standard method is to establish sound level labeling requirements for leaf blowers applicable to noise received by bystanders. The standard also includes requirements for safety precautions to be included in manuals for use by operators. The ANSI standard specifies a test area in a field in which natural ground cover does not exceed three inches in height and which is free of any large reflecting surfaces for a minimum of 100 ft from the blower. The sound level meter must be set for slow response and the A-weighting network. Once the blower is adjusted and running properly, the receiver(microphone) is set up 50 ft from the operator and 4 ft above ground. Sound level readings are taken in a circle every 45 degrees for a total of eight readings, as either the operator rotates or the microphone is moved. The eight readings are then averaged and reported to the nearest decibel. In wide use, the method has been criticized as sometimes generating unreproducible results.Typical comments expressed in meetings with ARB staff were to the effect that the manufacturer-reported sound levels for leaf blowers can be significantly different than those obtained by some third party testers. The standard has been revised(Dunaway 1999) and approved February 11, 2000, which may address the issue of reproducibility. Other comments about the method criticize the fundamental requirements for testing in an open field,with no reflecting surface for 100 ft, and the receiver 50 ft away, as being unrealistic and unrepresentative of real-world use on residential properties(Allen 1999a). A standardized method, however, usually does not reflect real-world conditions, but rather is useful for comparing sound levels from different blowers tested under the saute conditions.The complexity and precision required by the method does appear to render it unsuitable as a field enforcement standard(Zwerling 1999). While the ANSI method yields sound level exposures for a bystander, the noise level exposure for the operator is measured using an audiodosimeter. For occupational exposures, a dosimeter can report the noise dose as a percentage relative to the permissible exposure level of 90 dBA (8 CCR General Industry Safety Orders, Article 105,Appendix A; 29 CFR 1910.25). The eight-hour time-weighted-average sound level experienced by the worker is then calculated from the dose, using a formula specified in regulations. Additional details can be found in the OSHA and Cal/OSHA Technical Manuals-9 8OSHA's Technical Manual is available on their website(www.osha.gov) and noise measurement is in Section III, Chapter 5. Cal/OSHA's manual is available from Cal/OSHA. 29 71 3. Noise in California a. Noise Sources By all accounts,noise exposure is increasing both as the number of sources increases and as existing sources get noisier(Berglund& Lindvall 1995). We drive our cars more and take more airplane trips, increasing noise from what have been the two major sources of noise for at least the last two decades; sales of engine-powered lawn and garden equipment continue to increase; and movie theaters and video arcades use noise to increase excitement(Consumer Reports 1999. PPEMA 1999, U.S. EPA 1981). The major sources of noise are transportation, from road, air, and rail traffic, which impact the most people of all noise sources: industrial machinery and facilities;construction;building services and maintenance activities;domestic noise from one's neighbors; and self-inflicted noise from leisure activities,which may quality as domestic noise to one's neighbors(Berglund& Lindvall 1995). b. Numbers of People Potentially Exposed: the Public It is not possible to state with any certainty how many people in California are exposed to noise from leaf blowers. Indeed, the most recent nationwide estimate of the number of people exposed to noise from various sources dates from 1981. In that study, the U.S. EPA estimated that 730,000 people were exposed to noise from leaf blowers above the day-night average sound level of 45 dBA (U.S. EPA 1981). The use of leaf blowers has grown tremendously since 1980, however, and thus these numbers cannot be reliably scaled for an estimate of the number of Californians exposed to leaf blower noise today. As California's population has grown almost 41% since 1970(CDF 1998, CDF 1999), population density, and thus noise exposure, has increased. California classifies counties as being metropolitan or non-metropolitan, based on the Bureau of the Census categorization of standard metropolitan statistical areas as containing or being close to a large city. As of January 1, 1999, the thirty-four metropolitan counties comprise 96.7% of California's population,or about 32.67 million people. The population of Californians who live in non-metropolitan counties, while small at 3.3%of the total,or L I l million people, has increased faster than the population in metropolitan counties (47.1% increase versus 40.5% increase, 1970-1999) and thus even noise exposures in the lowest populated counties have likely increased over the past thirty years. Unfortunately,without a comprehensive and current survey of noise exposures in California, it is not possible to determine, from available data,how many Californians are exposed to noise, and in particular exposed to noise from leaf blowers.The only conclusion is that the number of people atYected by noise is likely increasing as population density increases even in non-metropolitan areas of the state. How many people are exposed to, and annoyed by, noise from leaf blowers is a question for future research. 30 72 c. Numbers of People Potentially Enosed: the Operator In southern California, about 80% of lawn and landscape contracting firms use leaf blowers (Anon 1999), thus one can assume that most gardeners are exposed to the noise from leaf blowers,either as an operator or from working in close proximity to the operator. From the California database of employees covered by unemployment insurance, in the fourth quarter of 1998 there were 59,489 workers reported by 6790 firms, in the SIC Code 0782, Lawn and Garden Services(M. Rippey, pers. com). This number is assumed to be the lower bound of those exposed, as there are an unknown number of self-employed gardeners, who may not report their eamings or be covered by unemployment insurance. Future research could test the hypothesis that all lawn and garden service workers are exposed, as operators or from working in close proximity, to the noise from leaf blowers. 4. Regulating Noise a. Federal Law The Noise Control Act of 1972 established a statutory mandated national policy "to promote an environment for all Americans free from noise that jeopardizes their public health and welfare."The Office of Noise Abatement and Control was established within the U.S. EPA to carry out the mandates of the Noise Control Act. The Office of Noise Abatement and Control published public health and welfare criteria; sponsored an international conference; examined dose-response relationships for noise and its effects; identified safe levels of noise; promulgated noise regulations; funded research; and assisted state and local offices of noise control; until funding for the office was removed in 1981-1982 (Suter 1991; Shapiro 1991). In its almost ten years of operation, U.S. EPA produced several documents that are still relevant and were consulted from this report. The hearing of workers is protected by regulations promulgated under the Occupational Safety and Health Act of 1970. As California employers fall under California's equivalent program, hearing protection law will be covered below under state law. b. State Law California enacted the Noise Control Act of 1973 to "establish a means for effective coordination of state activities in noise control and to take such action as will be necessary..." [HSC 46000(g)];the office was established within the California Department of Health Services. One of the primary functions of the office was to provide assistance to local governmental entities that develop and implement noise abatement procedures, and several guidelines were written. Funding for the office, however, ended beginning in the 1993-1994 fiscal year; no relevant reports or guidelines were located for this report. California's counterpart to OSHA, the Cal/OSHA, has a General Industry Safety Order [8 CCR Article 105 5095-5100] for the control of noise exposure that is very similar to the federal 31 73 OSHA regulations. When sound level exposure exceeds 85 dBA for an 8-hour time-weighted average, employers are required to provide a hearing conservation program at no cost to conservation program includes audiometric testing of hearing,provision employees. The hearing p gr g g, of hearing protectors, training, and record keeping. Employers are required to provide employees with hearing protection when noise exposure exceeds 90 dBA in an eight-hour work day; as noise levels increase, the allowable exposure duration also decreases. The permitted duration for an employee exposed to 103 dBA, for example, is one hour and nineteen minutes in a work day[8 CCR 5096(a)(b)]. Employers are allowed to use personal protective equipment to reduce sound level exposures if administrative or engineering controls are not feasible or fail to reduce sound levels within permissible levels. c. Local Ordinances In contrast to the low level of activity on noise control at the federal and state levels, local California cities and counties have been very active in regulating and enforcing noise standards. About twenty cities have banned the use of gasoline-powered,or gasoline- and electric-powered leaf blowers, from use within their city limits (City of Palo Alto 1999a). Including the recent Los Angeles ban on use within 500 ft of residences, about 13%of Califonrians live in cities that ban the use of leaf blowers, and six of the ten largest California cities have ordinances that restrict or ban leaf blowers. All together, about one hundred California cities have ordinances that restrict either leaf blowers specifically or all gardening equipment generally, including the cities with bans on leaf blower use (IME 1999). The restrictions on leaf blowers fall into four basic categories, with many cities employing a combination of approaches: time of day/day of week, noise levels, specific areas, and educational (City of Palo Alto 1999a). Time of day/day of week ordinances are the most common and are used to control when leaf blowers can be operated.Typically, hours of use are restricted to times between 7:00 a.m. and 7:00 p.m., and days of use are either Monday through Friday or Monday through Saturday, and sometimes including Sunday, with shorter hours on the weekend, based on the assumption that leaf blower noise is most offensive during the evening and night time hours, and on the weekend. There may be exceptions for homeowners doing their own yard work and for work in commercial areas. Time of day/day of week ordinances are relatively easy to enforce. A problem with these ordinances, however, is that they ignore the needs for quiet during the day of babies,young children, and their caretakers; day-sleepers; the ill; the retired; and a growing population of those who work in a home office. Some cities regulate leaf blower use based on noise levels recorded at a specified distance from the operator. Palos Verdes Estates and Davis, for example, set the noise level at 70 dBA at 50 ft, and Newport Beach and San Diego have a 65 dBA at 50 ft restriction. Davis allows single- family homeowners to avoid the restriction if the leaf blower is operated for less than ten minutes. Palos Verdes Estates requires blowers to be tested and certified by the city. Otherwise, a noise level restriction is very difficult to enforce as the enforcement officer must be trained in the use of sound level meters, carry the meter, and record the sound level before the operator turns off the 32 74 leaf blower or moves on- These rules target the control of noise from blowers, and could protect those who are home during the day, if they could be effectively enforced. Recognizing that leaf blowers are often perceived as most offensive when used in residential areas, many cities stipulate usage restrictions only in residential areas, or within a certain distance of residential areas. The residential use distance restrictions prohibiting the use of leaf blowers range from 100 ft, in Foster City, to 500 ft, in Los Angeles. This type of ordinance protects those who are at home and in need of quiet during the day, but does not address issues of those who work and recreate in commercial or other non-residential areas. Cities sometimes couple area restrictions with user guidelines, such as prohibitions on blowing debris onto adjacent properties, and require operators be educated on the proper use of leaf blowers so as to minimize noise levels and environmental issues. These educational approaches are generally not oriented towards enforcement, but seek to change operator behavior. Educational approaches are often endorsed by landscapers and manufacturers, who believe that much of the discord over leaf blower usage originates with the few gardeners who use them incorrectly or inconsiderately. For example, an organization calling itself LINK, or Landscapers Involved With Neighborhoods and Kids, promotes educating operators to use their leaf blowers at half-throttle within 150 ft of homes (LINK 1999). 5. Noise From Leaf Blowers In a survey of Southern Californian gardeners by a consumer products manufacturer (Anon 1999),the top two ranked attributes of a desirable leaf blower were, in order, "powerful" and "quiet." Important features were identified as "backpack mounted," "noise below legal limits," and "variable speed." When asked what they dislike about their leaf blowers, the most commonly cited problem was "noise." Taken together, these answers suggest that loud noise from leaf blowers is not only an issue for the public, but is also a major issue of concern for the gardeners who use them, at least in Southern California. On the other hand, a major manufacturer has indicated that low noise does not even show up in their survey of desirable leaf blower features (Will 1999b), so perhaps low noise is only a concern of California gardeners. a. Bystander noise exposure Manufacturer-reported noise levels from leaf blowers are summarized in Appendix G; all reported noise levels are assumed to represent bystander exposure, with the receiver 50 ft from the blower, unless otherwise noted. The reported levels are based on statements in promotional literature or personal communications with manufacturers; some manufacturers did not report the sound levels of most of their models in materials available to the ARB. For backpack and hand held blowers, sound levels range from 62 dBA to 75 dBA,with more than half registering between 69 and 70 dBA (Figure 2). Bearing in mind the logarithmic decibel scale, the difference in a leaf blower at 62 dBA and one at 75 dBA, a 13 dBA range, represents more than a quadrupling of the sound pressure level, and would be perceived by a listener as two to three 33 75 times as loud. The rule of thumb is that when a sound level increases by ten dB, the subjective perception is that loudness has doubled(MPCA 1987), Fig. 2. Loudness Levels of Leaf Blowers (50 ft) 20 a v 15 0 0 10 — -- 0 E5 -- - -- z 0 62 63 64 65 66 67 68 69 70 71 72 73 74 75 Loudness (dB) There are presently two gasoline-powered backpack and three hand held electric leaf blowers that are reported by their manufacturers to be very quiet. Maruyama and Toro have the two quietest backpack blowers, and Poulan/Weedeater, Stihl,and Tom have produced the quietest hand held blowers. Echo, Inc., which sells slightly under one-third of the total number of backpack blowers, has a model rated at 65 dB, the PB-46LN. In 1996,the most popular Echo backpack leaf blower, based on sales, was the Echo PB-400E, which is also one of the noisiest at 74 dBA. By 1999, however, the quieter PB-46LN had surpassed the PB-400E in sales(Will, L., pers.com.). b. Operator Noise Exposure Data on noise levels at the leaf blower operator's ear are limited. The League for the Hard of Hearing(1999)publishes a fact sheet in which the noise level of a leaf blower is listed as 110 dBA. Clark(1991)reported that one model by WeWeater emitted a maximum level of l l0- 112 dBA and an equivalent A-weighted sound level (L,y) of 103.6 dBA_This leaf blower model, however,is no longer available and these data may not be comparable to today's leaf blowers. Other than Clark's report, no other published report could be located, but unpublished data were found. Schulze and Lucchesi (1997), in an unpublished conference presentation,reported the range and average sound pressure level from four leaf blowers. The four leaf blowers were 34 76 unidentified models from Craftsman,Weedeater,and Shop Vac:.9 The authors reported that 3 ft from the leaf blower the sound pressure levels ranged from 80 to 96 dBA, with an average value of 88 dBA, and concluded that leaf blower noise did not violate the OSHA permissible noise exposure limit. Sound pressure levels, however, were not measured at the operator's ear, and thus usefulness of the data is limited. In addition, whether or not the OSHA noise exposure limits are violated depends on the amount of time the listener is exposed, as the action level is an eight-hour time-weighted average. At least one of the leaf blowers had an SPI, above the Permissible Exposure Limit of 90; at 96 dBA, the operator would be restricted to a 3 hr. 29 minute daily exposure without hearing protection. The Portable Power Equipment Manufacturers Association(Hall 1999)conveyed limited, blinded data to the ARB on operator exposures. With no information as to data collection methods (some pages were marked "ISO 7182"), manufacturers, models,or maximum and minimum sound levels, these data are of limited quality. Reported operator sound levels, some of which were identified as "full open throttle" or"full load," ranged from 91.5 dBA to 106 dBA. A consultant with James, Anderson & Associates, Inc. (Ilager 1999), provided ARB with data collected as a part of comprehensive noise exposure studies by the firm (Table 7). As with the PPEMA data, ARB was not given the make or models of leaf blowers tested. Sound levels were recorded in the hearing zone of groundskeepers while they were operating leaf blowers, along with the amount of time the groundskeeper operated the leaf blower in an 8-hr day. Sound levels were measured in dBA per federal OSHA requirements. As shown,duration of use ranged from 15 minutes to T6 hours(average 2.1 hr) during the day. Operator exposure ranged from 88.6 to 101.3 dBA. In this data set, only one of the six individuals monitored would have exceeded the protective levels, based on leaf blower use for 7.6 hrs. 9ARB was not able to obtain the specific models tested or actual SPLs for each model leaf blower. 35 77 Table 7.Leaf Blower Operator Noise Exposures and Duration of Use Ha ar 1999 Average SPL,dBA Minimum SPL, Maximum SPL, Duration of Leaf dBA dBA Blower use hr 99.5 96.4 101.3 0.75 92.0 N/R N/R LO 101.2 N/R 1O1.9 2.3 101.3 98.3 105.7 7.6 95.9 92.0 1 97.0 0.25 88.6 85.0 90.4 0.5 N/R=not reported Eric Zwerling of the Rutgers Noise Technical Assistance Center, along with Les Blomberg, Executive Director of the Noise Pollution Clearinghouse, recently conducted studies of operator exposure and the sound quality of leaf blowers (Zwerling 1999). While the data are still being analyzed, preliminary results were made available to the ARB. Three backpack and one handheld leaf blowers were tested using ANSI B175.2-1996 test method for the bystander exposure and using personal dosimetry for operator exposures (Table 8). All equipment used for tests was certified and calibrated. Zwerling and Blomberg used a 3 dB exchange rate for the operator dosimetry, as recommended by NIOSH, but noted that the data can be reasonably compared to data derived with the OSHA mandated 5 dB exchange rate because of the steady sound emissions of the leaf blowers. Because of this, the OSHA permissible exposure durations, which are based on the 5 dB exchange rate, are noted in Table 8. The difference is most important for the worker, who is allowed, for example, a i hr exposure(unprotected) at 105 dB by OSHA, but only 4 min, 43 see exposure(unprotected) under the more conservative NIOSH- recommended 3 dB exchange rate. 36 78 Table 8. Sound Levels of Some Leaf Blowers, E. Zwerling & L. Blomberg OSHA Permissible Bystander Operator Exposure Exposure, Exposure,* Duration Make/Model Type Condition dB Leq (approx) Stihl BR 400 Backpack New 73.89 105.7, 105.8, 52 min 105.5 Stihl BR 400 Backpack Used 74.5, 74.63 103.3, 102.9 1 hr, 19 min ICioritz DM9 Backpack Used 76.0 102.0 1 hr, 31 min Stihl BR 75 Handheld New 68.4 98.4, 97.9 2 hr, 38 min *Samples ranged from 5-10 minutes; each reported value is a distinct sample. The microphone was attached to the cap above the operator's ear. Finally, the Echo Power Blower Operator's Manual advises operators to wear hearing protection whenever the unit is used. The user is instructed that "OSHA requires the use of hearing protection if this unit is used 2 hours per day or more." This statement indicates that the operator may be exposed to an SPL of 100 dBA or more during use. 6. Use of Hearing Protectors and Other Personal Protection Gear When this study was initiated, there were no studies found that documented the incidence of personal protective equipment usage among operators of leaf blowers. Hearing protectors are widely available, and some manufacturers provide an inexpensive foam ear plug set with the purchase. More expensive custom molded ear plugs and ear muffs provide better protection than the moldable foam ear plugs, but again no data were available on usage. Two studies did examine the incidence of usage of hearing protection in other industries. 1n one study of 524 industrial workers, although 80.5%were provided with hearing protection devices, only 5.1% wore them regularly(Maisarah & Said 1993). In another study of metal assembly workers who worked in a plant where the average noise level was 89 dBA,only 39% of the men reported wearing hearing protection always or almost always (Talbott et al. 1990). By the end of September 1999, however,three studies were delivered to the ARB that included information on the use of hearing protection by leaf blower operators. Two of the studies consisted of direct observations of operators; the third was a survey that asked people who hire gardeners to recall the use of personal protection gear by their gardeners. Following are summaries of each of the studies. \ 37 79 a. Zero Air Pollution Study (1999) The goal of this study was to "observe 100 yard maintenance workers to determine the percentage of workers who followed the safety instruction while operating gas powered leaf blowers." Workers were observed from August to October, 1997 in the western portions of the City of Los Angeles, including the San Fernando Valley. Of 100 leaf blower operators observed, none wore hearing protection, one (l%) wore breathing protection(dust mask), and 22 (22%) wore eye protection of some kind. Of the workers observed, 27 (27%) were interviewed; seven of those claimed hearing impairment as a result of using leaf blowers and two claimed to have breathing problems which they attributed to using leaf blowers. Ten of those interviewed (37%) said they were aware of manufacturers' safety instruction but did not feel it was necessary to follow the instructions.The remaining 17 (63%)were unaware of manufacturers' safety instructions. b. Citizens for a Quieter Sacramento Study (I 999b� The goal of this study, as for the Zero Air Pollution study, was to determine the percentage of leaf blower operators who wear personal protective equipment when using blowers. A total of 64 observations were made during August and September 1999; 12 in Sacramento,47 in the Los Angeles area, and 5 in other cities. Most(88%) of the observations were of blowers being used on residential properties. Of the 64 observations, there were four(6%) individuals observed wearing hearing protection, 41 (64%) were not wearing hearing protection, and in the remaining cases the observer could not tell whether or not hearing protection was used. Eye protection use was lower, only 3 (5%) operators were wearing glasses, but breathing protection incidence was higher, seven (11%) wore dusk masks. Observations were also made of the incidence of personal protection of other workers,when the crew was larger than one person. Of the 38 observations of other workers, two(5%) were using hearing protection, two (5%) were using eye protection, and two(5%) wore dusk masks. c. Survey99 Report (Wolfberg 19991 The third study provided to the ARB was authored by Mrs. Diane Wollberg, Chair of the Zero Air Pollution Education Committee and Mr. George Wolfberg. Although the authors are members of Zero Air Pollution, the study was distinct from the 1997 study summarized above. The goal of this study was to determine "opinions and perceptions of California residents regarding the use of leaf blowers . . . for residential landscape maintenance." Mainly residents of Los Angeles were surveyed. Survey takers asked residents a variety of questions related to the use of leaf blowers on residential properties, in addition, respondents were asked about the incidence of personal protective equipment use by leaf blower operators. Because the data are based on recall rather than direct observations, their usefulness is limited. Data are summarized here, nevertheless, for completeness. Of respondents who have had leaf blowers used on their properties in the previous 12 months, 53% reported that leaf blower operators never use a face mask, 62% never use eye 38 _ 8� protection, and 69% never wear hearing protection. On the positive side, however, respondents reported that 13%.of operators always wear a face mask, 19% always wear eye protection, and 9%always wear hearing protection. These percentages are much higher than found in the two direct observation studies. 7. Sound Quality As discussed earlier,the perceived loudness of noise is dependent on both sound pressure level and frequency, which is termed the sound quality. One study examined sound quality from leaf blowers(Zwerling 1999). While this study is unpublished and data are still being analyzed,the authors have made data and preliminary findings available to the ARB. Figures 3 and 4 illustrate sample sound spectra from a leaf blower and ambient sound,respectively. As shown in Figure 3, the sound spectrum of the gasoline-powered leaf blower contains a significant amount of high intensity and high frequency emissions. In a quiet residential neighborhood(Figure 4), there are few or no natural sources of sound at these high frequencies. Therefore, the sound emissions of gasoline-powered leaf blowers are not only more intense than the ambient sound levels, their spectra are noticeably different than the spectrum for ambient sounds. The high frequency emissions are, therefore, not masked by other sounds and are more noticeable,perhaps accounting for the high level of annoyance reported by bystanders. These data and their implications for annoyance should be confirmed by further study. Fig. 3. Sound Quality Spectrum of a Representative Leaf Blower Stihl BR-400 1/3 Octave Spectrum 80.0 70.0 60.0 - m 0 50.0 -- 40.0 30.0 12 25 50 100 200 400 800 ik6 31<15 6k3 120 Hertz 39 � 1 Fig.4. Sound Quality Spectrum of a Representative Neighborhood 1/3 Octave Spectrum 80.0 70.0 .... ._ 60.0 —-- m 50.0 40.0 30.0 12 25 50 100 200 400 800 1k6 3k15 6k3 12k5 Hertz 8. Summary Noise is the general term for any loud,unmusical,disagreeable,or unwanted sound, which has the potential of causing hearing loss and other adverse health impacts. While millions of Californians are likely exposed to noise from leaf blowers as bystanders, given the ubiquity of their use and the increasing density of California cities and towns, there is presently.no way of knowing for certain how many are actually exposed, because of the lack of studies. In contrast, it is likely that at least 60,000 lawn and garden workers are daily exposed to the noise from leaf blowers. Many gardeners and landscapers in southern California are aware that noise is an issue and apparently would prefer quieter leaf blowers. Purchases of quieter leaf blowers, based on manufacturer data, are increasing. While little data exist on the noise dose received on an 8-hr time-weighted-average by operators of leaf blowers, data indicate that some operators may be exposed above the OSHA permissible exposure limit. It is unlikely that more than 10% of leaf blower operators, and probably a much lower percentage, regularly wear hearing protective gear, thus exposing them to an increased risk of hearing loss. The sound quality of gasoline-powered leaf blowers may account for the high level of annoyance reported by bystanders. 40 82 111, REVIEW OF HEALTH EFFECTS Leaf blower noise, exhaust and fugitive dust emissions, as discussed in previous sections of this report, are health concerns. The goal of this section is to present information on health effects of identified hazards from leaf blowers; this section does not present exposure information or data tying identified hazards to specific health effects in leaf blower operators or bystanders. The following discussion addresses the health effects of particulate matter, carbon monoxide, unburned fuel, and noise. Particulate matter, carbon monoxide, and unburned fuel are components of exhaust emissions; particulate matter is also the major constituent of fugitive dust. Ozone is a pollutant that is formed in the atmosphere through chemical reactions of hydrocarbons(unburned fuel) and nitrogen oxides in the presence of ultraviolet light. Although not directly emitted, ozone is a pollutant of concern because leaf blowers emit hydrocarbons, which react to form ozone. The health effects of nitrogen oxides are not discussed as these emissions from leaf blowers are relatively low, and any health effects would be negligible. National Ambient Air Quality Standards have been set by the federal government to protect public health and welfare. In addition, California has State ambient air quality standards. These standards include a margin of safety to protect the population from adverse effects of chronic pollutant exposure. The National Ambient Air Quality Standards and California standards are intended to protect certain sensitive and probable risk groups of the general population (Appendix C). A. Particulate Matter Fugitive dust is not a single pollutant, but rather is a mixture of many subclasses of pollutants, collectively termed particulate matter(PM), each containing many different chemical species (U.S. EPA 1996). Particles of 10 µm and smaller are inhalable and able to deposit and remain on airway surfaces. The smaller particles (2.5 µm or less) are able to penetrate deep into the lungs and move into intercellular spaces. The respirable particles owe their negative health impacts, in part,to their long residence time in the lung,which allows chemicals time to interact with body tissues. ARB staff could not locate data on the specific chemical and physical make-up of leaf blower dust, although some data are available on paved road dust, thus only generic effects from the respirable fraction(particles 10,um and smaller)are addressed. Many epidemiological studies have shown statistically significant associations of ambient PM levels with a variety of negative human health endpoints, including mortality, hospital admissions, respiratory symptoms and illness measured in community surveys, and changes in pulmonary mechanical function. Associations of both short-term, usually days, and lona term, usually years, PM exposure with most of these endpoints have been consistently observed. Thus, the public health community has a great deal of confidence that PM is significantly associated with negative health outcomes,based on the findings of many studies. 41 83 There remains uncertainty, however, regarding the magnitude and variability of risk estimates for PM. Additional areas of uncertainty include the ability to attribute observed health effects to specific PM constituents, the time intervals over which PM health effects are manifested, the extent to which findings in one location can be generalized to other locations, and the nature and magnitude of the overall public health risk imposed by ambient PM exposure. While the existing epidemiology data provide support for the associations mentioned above, understanding of underlying biologic mechanisms is incomplete (U.S. EPA 1996), B. Carbon Monoxide A component of exhaust, carbon monoxide (CO) is a colorless, tasteless, odorless, and nonirritating gas that is a product of incomplete combustion of carbon-containing fuels. With exposure to CO, subtle health effects can begin to occur, and exposure to very high levels can result in death. The public health significance of CO in the air largely results from CO being absorbed readily from the lungs into the bloodstream, forming a slowly reversible complex with hemoglobin, known as carboxyhemoglobin. The presence of significant levels of carboxyhentoglobin in the blood reduces availability of oxygen to body tissues(U.S. EPA 1999b). Symptoms of acute CO poisoning cover a wide range depending on severity of exposure, from headache, dizziness, weakness, and nausea, to vomiting,disorientation,confusion, collapse, coma, and at very high concentrations,death. At lower doses, central nervous system effects, such as decreases in hand-eye coordination and in attention or vigilance in healthy individuals, have been noted(Horvath et al. 1971, Fodor and Winneki 1972, Putz et al. 1976, 1979.as cited in U.S. EPA 1999b). These neurological effects can develop up to three weeks after exposure and can be especially serious in children. National Ambient Air Quality Standards have been set to protect public health and welfare and are intended to protect certain sensitive and probable risk groups of the general population. The sensitive and probable risk groups for CO include anemics, the elderly, pregnant women, fetuses, young infants, and those suffering from certain blood,cardiovascular, or respiratory diseases. People currently thought to be at greatest risk from exposure to ambient CO levels are those with ischemic heart disease who have stable exercise-induced angina pectoris(cardiac chest pain) (ARB 1992, U.S. EPA 1999b). In one study, high short-term exposures to CO were found in people operating small gas-powered garden equipment(ARB 1992). C. Unburned Fuel Some toxic compounds are present in gasoline and are emitted to the air when gasoline evaporates or passes through the engine as unburned fuel (ARB 1997). Benzene, for example, is a component of gasoline. Benzene is a human carcinogen and central nervous system depressant. The major sources of benzene emissions in the atmosphere are from both unburned and burned gasoline. The amount of benzene in gasoline has been reduced in recent years through the 42 84 mandated use of California Reformulated Gasoline (ARB undated fact sheet1). Other toxic compounds that are emitted from vehicle exhaust include formaldehyde, acetaldehyde, and 1,3- butadiene. Acetaldehyde is a probable human carcinogen(Group 112)and acute exposures lead to eye, skin, and respiratory tract imitation. 1,3-Butadiene is classified as a probable human carcinogen, is mildly irritating to the eyes and mucous membranes, and can cause neurological effects at very high levels. Formaldehyde is highly irritating to the eyes and respiratory tract and can induce or exacerbate asthma. It is classified as a probable human carcinogen(Group B I). D. Ozone Ozone is a colorless, odorless gas and is the chief component of urban smog. It is by far the state's most persistent and widespread air quality problem. Ozone is formed from the chemical reactions of hydrocarbons and nitrogen dioxide in the presence of sunlight. Leaf blowers emit substantial quantities of hydrocarbons, primarily from unburned fuel, which can react to form ozone. Ozone is a strong irritant and short-temp exposures over an hour or two can cause constriction of the airways, coughing, sore throat, and shortness of breath. Ozone exposure may aggravate or worsen existing respiratory diseases, such as emphysema, bronchitis, and asthma. Chronic exposure to ozone can damage deep portions of the lung even after symptoms, such as coughing, disappear. Over time, permanent damage can occur in the lung, leading to reduced lung capacity. E. Noise The literature on health effects of noise is extensive. Exposure of adults to excessive noise results in noise-induced hearing loss that shows a dose-response relationship between its incidence, the intensity of exposure,and duration of exposure.Noise-induced stimulation of the autonomic nervous system reportedly results in high blood pressure and cardiovascular disease (AAP 1997). In addition there are psychological effects. The following subsections will first discuss noise-induced hearing loss and physiological stress-related effects. Adverse impacts on sleep and communication, effects of performance and behavior, annoyance, and effects on wildlife and farm animals are also described. These are not perfect divisions between discreet affects: nighttime noises can cause sleep-deprivation, for example, which can lead to stress, elevated blood pressure, and behavioral changes,especially if the effect is repeated and uncontrollable. But first, before discussing effects, the reader should have an understanding of how the ear functions. 'P'http://arbis.arb.ca.gov./cbg/pub/cbgbkgrt.htm i 43 85 i i 1. Hearing and the Ear A detailed discussion of the ear's anatomy and the mechanism by which we hear is beyond the scope of this report, but a basic level of understanding is necessary so that later discussions of damage to hearing will be better understood. For further information, the reader is referred to any basic acoustics or biology text. The ears are paired sensory organs that serve two functions, to detect sound and to maintain equilibrium; only sound detection will be addressed in this report. The ears are composed of the external ear, middle ear, and the inner ear. With the assistance of the external ear in collecting and focusing sound, vibrations are transmitted to the middle ear via the ear canal and the eardrum. The vibrations of the eardrum are transmitted by the bones of the middle ear to the fluid-filled sensory organ of the inner ear,the cochlea. As the fluid of the inner ear vibrates, the hair cells located in the cochlea bend, stimulating sensory receptors, and leading to nerve impulses being transmitted to the brain via the auditory nerve. The greater the hair cell displacement, the more sensory receptors and neurons are stimulated, resulting in the perception of an increase in sound intensity.• Hearing loss can result from damage or growths in any portion of the ear and the part of the brain that processes the nerve impulses. Damage to the outer and middle ear result in conductive hearing loss, in which case the vibrations can still be perceived and processed if they can be transmitted by another means to the inner ear. Damage to the inner ear and auditory nerve result in sensorineural hearing loss. Sensorineural hearing loss can be temporary, if the body's mechanisms can repair the damage, but cumulative inner ear damage will result in permanent hearing loss. Aging, diseases, certain medications, and noise cause the majority of sensorineural hearing loss, which is not reversible by surgery or medication, and is only partially restored by hearing aids. 2. Noise-Induced Hearing Loss Roughly 25%of all Americans aged 65 and older suffer from hearing loss. Contrary to common belief, hearing loss is not part of the natural aging process, but is caused by preventable, noise-induced wear and tear on the auditory system (Clark& Bohne 1999). Noise-induced hearing loss develops gradually over years and results from damage to the inner ear. Sensory cells within the cochlea are killed by exposure to excessive noise. These cells do not regenerate but are replaced with scar tissue. After weeks to years of excessive noise, the damage progresses to the point where hearing loss occurs in the high-frequency range and is detectable audiometrically; speech comprehension is not usually affected and so at this level hearing loss is goes unnoticed by the individual. Eventually, with continued exposure, the hearing loss spreads to the lower pitches necessary to understand speech. At this point, the impairment has proceeded to the level of a handicap and is quite noticeable. The damage is not reversible and is only poorly compensated for by hearing aids. 44 86 There is considerable variability among individuals in susceptibility to hearing loss. Based on major field studies conducted in the late 1960s and early 1970s, the U.S. EPA suggested that a 24-hour equivalent sound level of 70 dBA would protect 96% of the population, with a slight margin of safety, from a hearing loss of less than five dBA at 4000 Hz (U.S. EPA 1974). This 24- hour,year-round equivalent sound level is based on a forty-year work-place noise level exposure (250 working days per year) of 73 dBA for eight hours and 60 dBA for the remaining 16 hours. The National Institute for Occupational Safety and Health reviewed the recommended occupational noise standard recently (NIOSH 1996) and reaffirmed its recommended exposure limit of 85 dBA for occupational noise exposure. The report concluded that the excess risk of developing occupational noise-induced hearing loss for a 40-hr lifetime exposure at 85 dBA is 8%. In comparison, the OSHA regulation (29 CFR 1910.95) allowing a 90 dBA permissible exposure limit results in a 25% excess risk of developing hearing loss. The OSHA regulation, however, has not been changed to reflect the recommendation of the National Institute for Occupational Safety and Health. NIOSH also recommended changing the exchange rate, which is the increment of decibels that requires the halving or doubling of exposure time, from the OSHA mandated 5 dBA to 3 dBA. This would mean that if the worker was permitted to be exposed to 85 dBA unprotected for 8 hr,then a noise exposure level of 88 dBA would be limited to 4 hr per day. The 3-dBA exchange rate is supported by acoustics theory, and by national and international consensus. OSHA, however, continues to mandate a 5 dBA exchange rate in its regulations. In addition, the American Academy of Pediatrics(1997)has asked the National Institute of Occupational Safety and Health to conduct research on exposure of the fetus to noise during pregnancy and recommends that the OSHA consider effects on the fetus when setting occupational noise standards. 3. Non-Auditory Physiological Response In addition to hearing loss, other physiologic and psychological responses resulting from noise have been noted and are termed non-auditory effects. Noise is assumed to act as a non- specific biological stressor, eliciting a "fight or flight" response that prepares the body for action (Suter 1991). Research has focused on effects of noise on blood pressure and changes in blood chemistry indicative of stress. Despite decades of research, however, the data on effects are inconclusive. While many studies have shown a positive correlation between hearing loss, as a surrogate for noise exposure, and high blood pressure, others have shown no correlation(Suter 1991; Kryter 1994). The National Institutes of Occupational Safety and Health(1996)has called for further research to define a dose-response relationship between noise and non-auditory effects, such as hypertension and psychological stress. 45 87 4. Interference with Communication The inability to communicate can degrade the quality of living directly, by disturbing social and work-related activities, and indirectly, by causing annoyance and stress. The U.S. EPA (1974), in developing its environmental noise levels,determined that prolonged interference with speech was inconsistent with public health and welfare. Noise that interferes with speech can cause effects ranging from slight irritation to a serious safety hazard(Suter 1991), and has been shown to reduce academic performance in children in noisy schools, as reviewed by Kryter (1994). The U.S. EPA, therefore, developed recommended noise levels that are aimed at preventing interference with speech and reduced academic performance. An outdoor yearly average day-night sound level of 55 dBA permits adequate speech communication at about 9-10 ft, and also assures that outdoor noise levels will not cause indoor levels to exceed the recommended level of 45 dBA. 5. Interference with Sleep It is common experience that sound rouses sleepers. Noise that occurs when one is trying to sleep not only results in repeated awakenings and an 'inadequate amount of sleep,but is also annoying and can increase stress. Noise that is below the level that awakens, however, also changes the sleep cycle, reduces the amount of"rapid eye movement" sleep, increases body movements,causes cardiovascular responses, and can cause mood changes and performance decreases the next day (Suter 1991). The U.S. EPA recommended an indoor average yearly day- night level of 45 dBA, which translates into a night time average sound level of 35 dBA, to protect most people from sleep disturbance. An average sound level, however,does not adequately account for peak sound events that can awaken and disturb sleep. Continuous noise has a significantly smaller sleep disturbance effect than intermittent noise. Research has found that subjects in sleep laboratory experiments will gradually reduce the number of awakenings throughout the night in response to noise, but other physiological changes, including a momentary increase in heart rate, indicative of arousal do not change. The question is whether physiological arousal, short of awakening,has a negative health effect. While study results are inconclusive on this issue, it is clear that noise above a certain level, about 55 dBA L�q according to Kryter(1994), will awaken people,even after long periods of repeated exposures. Repeated awakenings reduce feelings of restedness and cause feelings of annoyance, leading to stress responses and associated health disorders. 6. Effects on Performance and Behavior The working hypothesis in this area has been that noise can cause adverse effects on task performance and behavior at work, in both occupational and non-occupational settings. Results of studies, however, have not always been as predicted. Sometimes noise actually improves performance, and sometimes there are no measurable differences in performance between noisy and quiet conditions(Suter 1991). Kryter(1994) concluded that masking by noise of other 46 88 auditory signals is the only inherent auditory variable responsible for observed effects of noise on mental and psychomotor tasks. The effect of noise on "helping behavior" in the presence and absence of noise is more clear. Mathews and Canon (1975)tested the hypothesis that high noise levels may lead to inattention to the social cues that structure and guide interpersonal behavior. In a laboratory study in which subjects did not know they were being studied, they found that fewer persons were willing to help someone who had "accidentally" dropped materials when background noise levels were 85 dB than when they were 65 dB or 48 dB, In a subsequent field study, similar results were demonstrated with background noise from a lawn mower. Initially, subjects were tested as to their willingness to help a man who had dropped books and papers while walking from his car to a house; in this test,helping behavior was low both in ambient (50 dB) and high(87 dB) noise conditions. When the test was repeated with a cast on the arm of the man who dropped the books, helping behavior was high under ambient noise(80%) and low under high noise (15%) conditions. These and other studies lead to the conclusion(Suter 1991)that even moderate noise levels can increase anxiety,decrease the incidence of helping behavior,and increase the likelihood of hostile behavior. 7. Annoyance and Community Response Annoyance is a response to noise that has been extensively studied for years. Various U.S. government agencies began investigating the relationships between aircraft noise and its effect on people in the early 1950's. Annoyance is measured as an individual response to survey questions on various environmental factors, including as noise (Suter 1991). The consequences of noise- induced annoyance are privately held dissatisfaction,publicly expressed complaints, and possibly adverse health effects. Fidell et al. (1991) reviewed and synthesized the relationship between transportation noise and the prevalence of annoyance in communities based on over 30 studies. The relationship is an exponentially increasing function, with less than 10%of respondents reporting themselves to be highly annoyed at noises under an average day-night sound level of 56 dB. Fifty percent responded they were highly annoyed at sound levels approaching 79 dB, and nearly every person was highly annoyed at sound levels above 90 dB. Suter(1991)concluded that throughout decades of study, community annoyance has been positively correlated with noise exposure level, and that although variables such as ambient noise level,time of day, time of year, location,and socioeconomic status are important, the most important variable is the attitude of the affected residents. Kryter(1994) further elaborates that interference by noise, and the associated annoyance,depends on the activity of an individual when the noise event occurs, and the intensity and duration of the noise. People have different beliefs about noise, which are also important. Those most annoyed share similar beliefs that the noise may be dangerous, is probably preventable, are aware that non-auditory effects are associated with the noise source, state they are sensitive to noise, and believe that the economic benefit represented by the source is not important for the community(Fields 1990). S. Effects of Noise on Animals 47 89 Kryter(1994)reviewed studies on the effects of noise both on wildlife and farm animals. None of these studies examine noise-induced hearing loss, but rather looked at effects of noise on litter size, prevalence of wildlife, and milk production. Most of the studies were conducted to examine the effects of airport noise, including noise from landings and takeoffs and sonic booms near commercial and military airports, and noise from construction activities during laying of pipelines across wilderness areas. Negative impacts on wildlife and farm animals,due to noise, were not supported by the studies. In the airport studies, the absence of human activities in the areas surrounding the high noise exposure zones appeared to be more important than noise, resulting in abundant wildlife. Farm animals exposed to frequent sonic booms showed little or no negative effects, again using such criteria as reproduction, milk production, and growth rate. No study, however,has examined the effects of leaf blower noise on animals. 48 90 IV. POTENTIAL HEALTH AND ENVIRONMENTAL IMPACTS OF LEAF BLOWERS This section of the report synthesizes the information presented in the two previous sections, hazard identification and health effects, and characterizes the potential health impacts of leaf blowers on operators and bystanders. As discussed previously, there are no studies of the health impacts of leaf blowers, and essential information is missing that prevents ARB from preparing a quantitative risk characterization. There is, for example,no information on the quantitative relationship between exposure to hazards from leaf blowers and adverse effects. The size of the exposed population and the magnitude and duration of exposures are also unknown. The goal of this section, then, is to point the discussion in directions dictated by the findings of the two previous sections, and to raise questions about the nature of health impacts that may be experienced by those exposed to the exhaust emissions, fugitive dust, and noise from leaf blowers in both occupational and non-occupational settings. Leaf-blower operators and bystanders have two different types of exposures to exhaust and fugitive dust emissions: exposures that occur on a regional basis and exposures that occur when one is within a short distance of the leaf blower. Regional exposures are those exposures to air pollution that occur as a result of leaf blowers contributing to the basin-wide inventory of ozone, carbon monoxide, particulates, and toxic air pollutants. While leaf blowers contribute a small percentage to the basin-wide air pollution,they are nonetheless a source of air pollution that can be, and is,controlled through exhaust emission standards. The second type of exposure is of greater concern. Lawn and landscape contractors, homeowners using a leaf blower, and those in the immediate vicinity of a leaf blower during and shortly after operation, are exposed to potentially high exhaust, fugitive dust, and noise emissions from leaf blowers on a routine basis. While ARB staff have not located conclusive data on how often,how long, and at what concentrations exposures occur, the ARB off-road model assumes that each commercial leaf blower is used for 275 hr/yr, and each residential leaf blower is used for 10 hr/yr. These figures do not tell us, however, how long each leaf blower operator is exposed. Because of the highly speculative nature of the data on operator and bystander exposure time,staff have been unable to develop estimates of the quantities of chemicals individuals could be exposed to per amount of time. Instead, impacts are presented somewhat qualitatively, with recommendations for appropriate personal protection or controls from hazards that staff have -found to be significant. A. The Leaf Blower Operator In this section, data are presented that apply to the commercial leaf blower operator, a person who regularly uses the leaf blower in the course of a landscaping or gardening job. Staff assume that a commercial leaf blower operator will use equipment with a higher horsepower than a residential, or homeowner, operator. 49 91 1. Exhaust Emissions The typical leaf blower owned and operated by commercial lawn and landscape contractors, with an average horsepower of three and a load factor of 50% based on the ARB off- road emissions model,produces the estimated average emissions for a one hour usage as shown in Table 9. Actual operator usage apparently ranges from 15 minutes to a full work day (Table 7). To illustrate the magnitude of potential exhaust and fugitive dust emissions, staff have compared the estimated leaf blower emissions to the emissions from one hour of operation of two different types of light duty vehicles, one new and one old. A comparison of emissions from leaf blowers to vehicle engines is relevant to provide some sense of the relative quantities of pollutants. Table 9. Commercial Leaf Blower Emissions Compared to Light Duty Vehicle Emissions 3 hp average,50% load factor, 1999 emissions data Exhaust Emissions, Exhaust Emissions, Exhaust Emissions, g/hr new light duty older light duty vehicle,* g/hr vehicle,** g/hr Hydrocarbons 199.26 0.39 201.9 Carbon Monoxide 423.53 15.97 1310 Particulate Matter 6.43 0.13 0.78 Fugitive Dust 48.6-1031 N/A N/A *New light duty vehicle represents vehicles one year old, 1999 or 2000 model year, driven for one hour at 30 mph. **Older light duty vehicle represents vehicles 1975 model year and older, pre-catalytic vehicle, driven for one hour at 30 mph. For CO(Table 9), the estimated 423 g emitted by one hour of leaf blower use is approximately 26 times the amount emitted by a new vehicle,but approximately one-third of the CO emissions of an older vehicle. While not implying that the operator will inhale this amount of CO,these data do suggest concern about the relatively large amount of CO emitted directly into the air space surrounding the operator. For particulate matter exhaust emissions, the leaf blower emits eight to 49 times the particulates of a light duty vehicle,primarily because of the large amount of unburned fuel directly released by the two-stroke engine. Another way to visualize the data is to compare emissions for a given amount of leaf blower operation to miles traveled by car. The Air Resources Board regularly publishes such emissions benchmarks. Thus, for the average 1999 leaf blower and car data presented in Table 9, we calculate that hydrocarbon emissions from one-half hour of leaf blower operation equal about 7,700 miles of driving, at 30 miles per hour average speed. The carbon monoxide emission benchmark is signfrcantly different. For carbon monoxide, one-half hour of leaf blower useage 50 92 (Table 9) would be equivalent to about 440 miles of automobile travel at 30 miles per hour average speed. Exposure data are necessary to determine potential health impacts of the pollutants. Since few exposure data exist, staff have developed a model that estimates potential exposures based on 10 minutes of leaf blower operation and compares those emissions to the amount of still air in which emissions would need to be mixed to avoid a transitory, local exceedance of the ambient air quality standards,which are health-based standards. Details of the model and results are presented in Appendix J. The exposure scenario suggests that 10 minutes of leaf blower usage could expose the operator to a significant,potentially harmful dose of CO, assuming a worst case exposure, in which there is no dispersion of pollutants out of the immediate area. In this case,the operator could be exposed to potentially harmful amounts of carbon monoxide. The best case would be that all emissions and fugitive dust from the leaf blower would be blown out of the immediate area, resulting in little or no exposure to the operator. Actual exposures would most likely be somewhere in between these two assumptions and would vary greatly with weather conditions, wind,use or nonuse of protective gear, walking speed of the operator, and type of machine used. In addition, for carbon monoxide exposures, whether or not the operator has heart disease would be important in determining potential risk. Exposure studies would need to be conducted to obtain more reliable estimates of operator exposure, and staff recommend further research. On December 27, 1999, ARB was mailed a redacted copy of a 1995 report on operator exposure levels for several chemicals that are present in handheld gasoline-powere equipment exhaust emissions.The report summarized breathing zone measurements during operation of chain saws, a string trimmer, and a leaf blower,but all data pertaining to equipment other than the leaf blower was blacked-out. The study and its limitations are discussed in some detail in Appendix H, but it is relevant to note here that ARB has received two measurements from one leaf blower of breathing zone concentrations of carbon monoxide, toluene, benzene, 1,3- butadiene, acetaldehyde, and formaldehyde. As reported in the study, concentrations of carbon monoxide, benzene, and 1,3-butadiene were high enough as to reinforce concern over operator exosures for the commercial leaf blower operator. 2. Fugitive Dust Estimated fugitive dust emissions cannot be compared to light duty vehicle exhaust. The worst case exposure scenario,however, suggests that ten minutes of use of a commercial blower would exposure the operator to significant amounts of PM(Appendix J). While leaf blower operators would not be expected to spend significant amounts of time within such a particulate cloud,the day-in-day-out exposure to this much PM 10 could result in serious,chronic health consequences in the long-term. Short-term exposures of one to two days to high levels of PM can lead to coughing and minor throat irritation. Long-term exposures have shown statistically significant associations of ambient PM levels with a variety of negative human health outcomes, as discussed previously. These data strongly suggest that professional leaf blowers operators,and 51 93 those regularly working within the envelope described above, should wear a face mask effective at filtering PM from the air, and further research is warranted. 3. Noise The potential health impacts of leaf blowers on workers from noise center on noise- induced hearing loss. Two factors contribute to an increased risk of hearing loss in typical career gardeners: the high sound pressure levels emitted by leaf blowers at the level of the operator's ear, and the infrequent use of hearing protection. While we cannot estimate the percentage of workers who will experience noise-induced hearing loss without additional data, these two factors are likely to be responsible for hearing loss in an unknown percentage of workers,although individuals may not notice any hearing loss until many years have passed. In order to reduce potential hearing loss, employers should ensure that employees use hearing protection. State and local health and enforcement agencies should promote hearing protection in campaigns targeted at professional landscapers and gardeners. Hearing loss is gradual, and may become obvious only years after the exposure has ceased. B. The Public-at-Large Those who are not working in landscaping and gardening fall into two categories: homeowners doing their own gardening and bystanders. Homeowners who chose to use a leaf blower likely experience relatively low-level exposures which they control. Bystanders may experience low or high exposures, depending on the nature of the exposure. Bystanders, however, almost never have chosen to be exposed to the exhaust, dust, and noise emissions of the leaf blower. Thus their attitude toward the leaf blower is likely very negative and they may be highly annoyed by the exposure. In addition, staff have received letters, and read testimonials on Internet web-sites, concerning acute symptoms, such as asthma and allergies, exhibited by sensitive individuals to relatively limited exposures. These symptoms have not been evaluated in this report as they are anecdotal and unable to be substantiated. The recent study by Miguel et al. (1999), however, lends support to those who claim that exposure to leaf blower-generated dust causes allergic and asthmatic symptoms. It is also important to acknowledge that some individuals may be very sensitive to the emissions from leaf blowers and unable to tolerate exposures that do not seem to bother other individuals. In addition to homeowner-leaf blower operators and bystanders who are in the vicinity of leaf blower operation, everyone is exposed to a small degree to air pollution that results from exhaust and dust emissions from leaf blowers. This report does not quantify those exposures, but the ARB does regulate exhaust emissions from leaf blowers,as from most other sources of air pollution. All sources of air pollution need to be reduced in order that Californians can breathe clean air. 52 94 1. Exhaust Emissions The typical leaf blower owned and operated by a homeowner for private residential use is assumed to have an average horsepower of 0.8 and a load factor of 50%, based on the ARB off- road emissions model. Emissions from one hour of operation are compared to exhaust emissions from two different age light duty vehicles (Table 10). There are few data available on the length of time a homeowner runs a leaf blower, but it is likely that the homeowner uses a leaf blower for less than one hour, which would reduce the potential exposures and impacts. Table 10. Homeowner Leaf Blower Emissions Compared to Light Duty Vehicle Emissions 0.8 hp average, 50% load factor, 1999 emissions data Exhaust Emissions, Exhaust Emissions, Exhaust Emissions, g/hr new light duty older light duty vehicle,* g/hr vehicle,** g/hr Hydrocarbons 56.73 0.39 201.9 Carbon Monoxide 119.2 15.97 1310 Particulate Matter 1.44 0.13 0.78 Fugitive Dust 48.6-1031 N/A N/A *New light duty vehicle represents vehicles one year old, 1999 or 2000 model year, driven for one hour at 30 mph. **Older light duty vehicle represents vehicles 1975 model year and older, pre-catalytic vehicle, driven for one hour at 30 mph. As with the heavier-duty commercial leaf blower,CO and particulate matter emissions from the lighter-duty leaf blower are many times higher than emissions of the same pollutants from vehicles(Table 10). CO emissions from a leaf blower that might be used by a typical homeowner are significantly lower than those from a commercial leaf blower (Table 9)and it is likely that homeowners use leaf blowers for much less than one hour at a time. The exposure scenario for homeowner usage(Appendix J) estimates a correspondingly lower potential exposure. The homeowner is, therefore, less likely to be exposed to potentially harmful amounts of carbon monoxide, although sensitive individuals should be cautioned. For all exhaust emissions, exposures are considerably lower in a residential setting than in a commercial setting. In the best case, all emissions and fugitive dust from the leaf blower would be blown out of the operator's immediate area, resulting in little or no exposure. Actual exposures would most likely be somewhere in between these two assumptions and would vary greatly with weather conditions, wind,use or nonuse of protective gear, walking speed of the operator, and type of machine used. Exposure studies would need to be conducted to obtain more reliable estimates of operator exposure, and staff recommend further research. 53 95 As discussed in Section IV. A. 1., another way to visualize the data is to compare emissions for a given amount of leaf blower operation to miles traveled by car. The Air Resources Board regularly publishes such emissions benchmarks. Thus, for the average 1999 homeowner- type leaf blower and car data presented in Table 10, we calculate that hydrocarbon emissions from one-half hour of leaf blower operation equal about 2,200 miles of driving, at 30 miles per hour average speed. The carbon monoxide emission benchmark is signficantly different. For carbon monoxide, one-half hour of a homeowner-type leaf blower useage(Table 10) would be equivalent to about 110 miles of automobile travel at 30 miles per hour average speed. 2. Fugitive Dust Emissions For fugitive dust, because the homeowner is likely using leaf blowers for a very short time each week, the potential risk from exposure is much lower than for commercial gardeners. Still, based on estimates in the exposure scenario (Appendix J), staff recommends that even homeowners wear a dust filtering mask when using a leaf blower. 3. Noise The homeowner who uses a leaf blower for a brief amount of time each week or two is unlikely to experience noise-induced hearing loss. The cumulative exposure to many recreational sources of noise, such as recreational power tool use, lawn care, shooting,boating, concert-going, and other activities that expose one to loud noises, however, is likely to be great enough to impact hearing(Clark 1991). Those who regularly use noisy power equipment should be in the habit of using hearing protection to reduce their overall exposure to potentially damaging noise. The likelihood of a bystander exposed to leaf blower noise on an irregular basis experiencing hearing loss is low. The potential health impacts from leaf blowers on bystanders that are likely more important include interference with communication, sleep interruption, and annoyance. Each of these impacts may in turn lead to stress responses, although research has not conclusively tied chronic exposures with any particular adverse health outcome. Although interference with communication, sleep interruption, and annoyance may not seem to be serious impacts, they are important health and quality of life issues for many people. At least 100 municipalities in California have restricted or banned the use of leaf blowers within city limits in response to people who object to the loud noise of leaf blowers interrupting their lives. 54 96 C. Summary of Potential Health Impacts Health effects from hazards identified as being generated by leaf blowers ranging from mild to serious, but the appearance of those effects depends on exposures: the dose, or how much of the hazard is received by a person, and the exposure time. Without reasonable estimates of exposures, ARB cannot conclusively determine the health impacts from leaf blowers; the discussion herein clearly is about potential health impacts. The goal is to direct the discussion and raise questions about the nature of potential health impacts for those exposed to the exhaust emissions, fugitive dust,and noise from leaf blowers in both occupational and non-occupational settings. For the worker,the analysis suggests concern. Bearing in mind that the worker population is most likely young and healthy, and that these workers may not work in this business for all of their working lives, we nonetheless are cautioned by our research. Leaf blower operators may be exposed to potentially hazardous concentrations of CO and PM intermittently throughout their work day, and noise exposures may be high enough that operators are at increased risk of developing hearing loss. While exposures to CO, PM, and noise may not have immediate, acute effects, the potential health impacts are potentially greater for chronic effects. In addition, evidence of significantly elevated concentrations of benzene and 1,3-butadiene in the breathing zone of workers leads to concern about exposures to these two toxic air contaminants. Potential noise and PM effects should be reduced by the use of appropriate breathing and hearing protective equipment, Employers should be more vigilant in requiring and ensuring their employees wear breathing and hearing protection. Regulatory agencies should conduct educational and enforcement campaigns, in addition to exploring the extent of the use of protective gear. Exposures to CO and other air toxics are more problematic because there is no effective air filter for these air pollutants. More study of CO and other air toxics exposures to leaf blower operators is warranted to determine whether the potential health effects discussed herein are actual effects or not. Describing the impacts on the public-at-large is more difficult than for workers because people's exposures, and reactions to those exposures, are much more variable. Bystanders are clearly annoyed and stressed by the noise and dust from leaf blowers. They can be interrupted, awakened, and may feel harassed, to the point of taking the time to contact public officials, complain, write letters and set up web sites, form associations, and attend city council meetings. These are actions taken by highly annoyed individuals who believe their health is being negatively impacted. In addition, some sensitive individuals may experience extreme physical reactions, mostly respiratory symptoms, from exposure to the kicked up dust. On the other hand, others voluntarily purchase and use leaf blowers in their own homes, seemingly immune to the effects that cause other people such problems. While these owner- operators are likely not concerned about the noise and dust, they are should still wear protective equipment, for example,eye protection, dust masks, and ear plugs, and their exposures to CO are a potential problem and warrant more study. 55 97 V. RECOMMENDATIONS i The Legislature asked ARB to include recommendations for alternatives in the report, if ARB determines alternatives are necessary. This report makes no recommendations for alternatives. Based on the lack of available data, such conclusions are premature at this time. Exhaust standards already in place have significantly reduced exhaust emissions from the engines used on leaf blowers, and manufacturers have reduced CO emissions further than required by the standards. Ultra-low or zero exhaust emitting leaf blowers could further reduce public and worker exposures. At its January 27, 2000, public hearing, the Air Resources Board directed its staff to explore the potential for technological advancement in this area. For noise,the ARB has no Legislative mandate to control noise emissions,but the evidence seems clear that quieter leaf blowers would reduce worker exposures and protect hearing, and reduce negative impacts on bystanders. In connection with this report, the Air Resources Board received several letters urging that ARB or another state agency set health- based standards for noise and control noise pollution. A more complete understanding of the noise and the amount and nature of dust resuspended by leaf blower use and alternative cleaning equipment is suggested to guide decision- making. Costs and benefits of cleaning methods have not been adequately quantified. Staff estimates that a study of fugitive dust generation and exposures to exhaust emissions and dust could cost S1.1 million,require two additional staff, and take two to three years. Adding a study of noise exposures and a comparison of leaf blowers to other cleaning equipment could increase study costs to $L5 million or more(Appendix H). Fugitive dust emissions are problematic. The leaf blower is designed to move relatively large materials, which requires enough force to also blow up dust particles. Banning or restricting the use of leaf blowers would reduce fugitive dust emissions, but there are no data on fugitive dust emissions from alternatives, such as vacuums, brooms, and rakes. In addition, without a more complete analysis of potential health impacts,costs and benefits of leaf blower use, and potential health impacts of alternatives, such a recommendation is not warranted. Some have suggested that part of the problem lies in how leaf blower operators use the tool, that leaf blower operators need to show more courtesy to passersby, shutting off the blower when people are walking by. Often, operators blow dust and debris into the streets, leaving the dust to be resuspended by passing vehicles. Interested stakeholders, including those opposed to leaf blower use, could join together to propose methods for leaf blower use that reduce noise and dust generation, and develop and promote codes of conduct by workers who operate leaf blowers. Those who use leaf blowers professionally would then need to be trained in methods of use that reduce pollution and potential health impacts both for others and for themselves. 56 98 VI. REFERENCES CITED Air Resources Board, Staff report: Initial Statement of Reasons(ISOR) for the public hearing to consider amendments to the 1999 small off-road engine regulations. Mailout MSC#98.02, January 1998a; [online at: http://arbis.arb.ca.gov/regact/sore/sore.htm). Air Resource Board. Notice of public meeting to consider the approval of California's 1990 small off-road engine emission inventory. Mailout MSC#98-04, March 1998b. Air Resources Board. Compound summaries, Toxic Air Contaminant identification list. Acetaldehyde,pp 1-5;Benzene,pp 91-96; 1,3-Butadiene,pp 141-145; Formaldehyde,pp 513-517. [Online at http:'/arbis.arb.ca.gov/toxicx/tac/toctbl.htm] September 1997, Air Resources Board, Research Division. Cardiac response to carbon monoxide in the natural environment. Contract no. 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A study of operator observance of safety instructions for gas powered leaf blowers and of time of use of blowers. Prepared by Jack Allen,Chairman, Research Committee, Pacific Palisades, CA. August 30, 1999. Zinko, C. Leaf-blower showdown on way in Palo Alta San Francisco Chronicle, A22, February 2, 2000. Zwerling E. Electronic communications with Nancy Steele, October 19", 8 pp. 62 104 Attachment 5 105 edmunds QRIMT VAGe Emissions Test: Car vs. Truck vs. Leaf Blower By Jason Kavanagh, Engineering Editor I Published Dec 5, 2011 Even in the complex, expensive and highly political world of emissions testing and certification,rumors are a bitch. And in California —where various government agencies bring to bear the world's toughest vehicle emissions regulations on the most dense carenthusiast population anywhere— it pays to investigate rumors. So that's what we're doing. You've probably heard stories about the emissions of today's cars being cleaner than lawn equipment, about modern cars actually cleaning the air and about the pre-emissions-control era when birds fell from the stinking sky. So have we. We're all about busting myths,so we concocted an investigation to find the truth. Forget about the birds, but those other rumors,well,we've got them covered. Big, Small and Handheld Early on,we decided to go big. We'd run this emissions test at a real-deal emissions lab rather than a smog check station or asking Magrath to inhale at the tailpipes and offer commentary on their bouquets. It would have been easy to load this test in favor of the vehicles by hand-picking the cleanest combustion-powered vehicle we could find. No,only the biggest, baddest truck will do, and they don't come much bigger or badder than the 2011 Ford F-150 SVT Raptor Crew Cab. Acting as a counterweight in perception to this pickup is our long-term 2012 Fiat 500. The vehicles are absolutely poles apart.The Raptor packs a 411-horsepower 6.2-11ter V8, weighs more than 6,200 pounds and has the aerodynamics of Mount Rushmore. The dollop-size Fiat weighs a mere 2,350 pounds and has a 1.4-11ter four that generates less than one-fourth the amount of power as the Raptor.They couldn't be more different, and capturing extremes is the Idea. Like you,we made a trip Home Depot to buy a leaf blower.And like all trips to Home Depot,we lost 3 hours and bought more than we Intended. In this case we ended up with two leaf blowers— a two-stroke backpack-style job and a handheld four-stroke unit. The two-stroke leaf blower in this test is an Echo PS-SOOT, a model that sits in the middle of the manufacturer's range of backpack-style offerings. It's powered by a 50.8cc two-stroke air-cooled single-cylinder engine.The Ryobi is a RY09440 model that brings a 30cc four-stroke engine.Yes, we're pitting a 6,210cc truck against a 30cc leaf blower. Two-stroke engines have high power density, making them the engine of choice among commercial and prosumer- grade leaf blowers, but they emit more pollutants than four-strokes.The four-stroke leaf blower in this test is the Fiat to the two-stroke's Raptor.That was the Idea, anyway. Making the sausage It turns out that our local branch of the American Automobile Association (AAA),Auto Club of Southern California,runs Pxactiv the kind of Emissions lab we had in mind. It's called the Automotive Research [Pntar.and It's in 106 Diamond Bar,California.There,the fine people of AAA ran full FTP 75 emissions cycles on the Raptor and the 500. The FTP 75 cycle is one of the primary yardsticks in the U.S. certification of light-duty vehicle emissions and fuel economy. It consists of— stay with us here—three major sub-tests called phases,each of which is defined by a specific pattern of speed versus time. Phase 1 Is a 505-second cold-start cycle and is followed by Phase 2, which is a "stabilized" test that lasts 864 seconds. Phase 3 is a repeat of the Phase 1 test,the only difference being that it is performed when the engine is fully warmed. All three phases of the FTP 75 are run with the vehicle strapped to a chassis dynamometer. But before the FTP 75 can be run, an elaborate pretest sequence is carried out for each vehicle.We'll spare you the details, but suffice it to say that It is very thorough, very tedious and very time-consuming.This pretest procedure takes the better part of a 24-hour period to carry out per vehicle. Once the pretest is complete,the roller-turning,emissions-gathering part of the FTP 75 can be performed. Here,the vehicle Is"driven" by a skilled technician on the dyno over a prescribed pattern of speed versus time while the exhaust is sampled and bagged. If the speed of the vehicle (as measured by the dynamometer)falls outside of a narrow band, the test is voided and the whole expensive process must be repeated, including that protracted pretest process.A technician that flubs with any kind of frequency has a very short career in this field. It's worth noting that the load on the dyno rollers is adjusted to reflect the aerodynamics and drivetrain loss of the vehicle being tested. So the Raptor is indeed being asked to work harder at a given speed than the Fiat,just as they'd do In the real world. Comparing Apples to Kumquats: Creating the Leaf Blower Test Cycle The FTP 75 test simulates 11.04 miles driven over 31.2 minutes and includes idle periods, accelerations, decelerations and cruising.This driving cycle works great when testing things that boast driven wheels: less so for leaf blowers which, of course,don't. Therefore we needed to come up with a test for the leaf blowers that provided a basis of comparison to the vehicles, yet still reflects the way lawn equipment Is actually used in practice.Observe leaf blowers in the wild and you'll find they are very often operated at either full whack or idle. Our test would have to mimic this usage pattern. It didn't have to be leaf blowers. We considered testing lawnmowers or string trimmers, but they introduce an element of complexity— load.To properly load those devices we'd need the resistance provided by grass and shrubs, and there wasn't time to grow a lush enough lawn in Auto Club's dyno cell.That's why we settled on leaf blowers— they have essentially one knob, and that's blower speed. With these factors in mind,the test we crafted for the leaf blowers followed the FTP 75's duration and speed- up/slow-down pattern with a twist— we substituted vehicle speed with leaf blower speed. We gave the blowers full speed during the cruise periods defined by the FTP 75. The idle periods remained idle periods and boom,there's our leaf blower emissions test. The Results During the FTP 75 test,exhaust gas from the vehicle's tailpipe is captured and analyzed by laboratory-grade equipment that's so expensive it makes the Kentucky Derby look like the Pinewood Derby.This lab equipment measures all kinds of compounds coming out of the tailpipe but the three we will focus on are those with which EPA and CARB are primarily concerned, namely, non-methane hydrocarbons(NMHC), oxides of nitrogen (NOx) and 107 carbon monoxide (CU). What's that? Fewer words and more numbers? Here,then,are pollutants measured during our testing expressed in weighted grams per minute: NMHC NOx co 2011 Ford Raptor 0.005 0.005 0.276 2012 Fiat 500 0.016 0.010 0.192 Ryobi 4-stroke leaf blower 0.182 0.031 3.714 Echo 2-stroke leaf blower 1.495 0.010 6.445 Distilling the above results,the four-stroke Ryobi leaf blower kicked out 6.8 times more NOx, 13.5 times more CO and more than 36 times more NMHC than the Raptor. The two-stroke leaf blower was worse still, generating 23 times the CO and nearly 300 times more NMHC than the crew cab pickup. Let's put that in perspective.To equal the hydrocarbon emissions of about a half-hour of yard work with this two-stroke leaf blower,you'd have to drive a Raptor for 3,887 miles,or the distance from Northern Texas to Anchorage,Alaska. Clearly, engine displacement plays little part In the concentrations of these pollutants. Consider that the Fiat 500 produced more than double the NOx and more than three times the hydrocarbons of the truck. A close look at the vehicles' underhood emissions labels sheds further light—the Flat 500 is classed as LEV-II, whereas the Raptor in California trim is ULEV-II.The Raptor's emissions control equipment is simply more capable. It's only in the production of carbon dioxide (CO2)— not yet directly regulated by EPA or CARB — where the Raptor Is the higher emitter. Here,I'll Tie One Hand Behind My Back Maybe you think the above test was unduly hard on the leaf blowers. To evaluate that notion, we ran a follow-up test on the leaf blowers.We simply started them up and let them idle for 505 seconds— the duration of the Phase 1 portion of the FTP 75 — while collecting their emissions. Idling,that's all, nothing else.The only way the leaf blowers could produce fewer emissions than this is if they were shut off. We then compared the leaf blowers' idle test results to those of the vehicles running their Phase 1 driving cycle of the FTP 75 test. Remember, this is the 505-second cold-start portion of the test,which is when the vehicles produce the majority of their total emissions since their catalytic converters are still waking up. In other words,this is a best-case scenario for the leaf blowers and a worst-case scenario for the vehicles.The data below are expressed in grams per minute: NMHC NOx co Phase 1 - 2011 Ford Raptor 0.021 0.013 0.725 Phase 1 - 2012 Fiat 500 0.075 0.032 0.544 Idling - Ryobi 4-stroke leaf blower 0.077 0.002 1.822 Idling - Echo 2-stroke leaf blower 1.367 0.000 2.043 Here, the overall picture improves only slightly for the leaf blowers. Of note is that NOx is near zero for the lawn equipment.This is logical, as the formation of NOx tracks with combustion temperature, which Is lowest at idle. Carbon monoxide output of the lowest-emitting Ryobi leaf blower outstrips that of both door-stammers combined, and the two-stroke Echo in particular still belches out several times more hydrocarbons than the vehicles. 108 You'd have to drive a Raptor 235 miles — stopping every 505 seconds and doing cold restarts — to emit the same level of hydrocarbons as simply idling the two-stroke leaf blower for less than 10 minutes. Drive a Raptor. Clean the Air Remember that crazy-expensive lab equipment that measures exhaust emissions? It also measures the emissions makeup of the ambient air that the vehicles draw in through their intake tracts. This is important because, well, what if your emissions lab was located next to a natural gas vent? Only by measuring what goes into and out of the vehicle and comparing the differences can the vehicle's contribution to emissions be accurately assessed. Here's why you should care. When the Raptor(and the Fiat) was running Phase 2 of its tests on the dyno, it was cleaning the air of hydrocarbons.Yes,there were actually fewer hydrocarbons in the Raptor's exhaust than in the air it — and we— breathed. In the Raptor's case, the ambient air contained 2.821 ppm of total hydrocarbons,and the amount of total hydrocarbons coming out the Raptor's tailpipe measured 2.639 ppm. So if you want to go green,ditch the yard equipment and blow leaves using a Raptor. The manufacturer provided Edmunds the Raptor for the purposes of evaluation. S Edmunds Inc. All Rights Reserved.This information was extracted from www.edmtinds.com and is subject to the terms of the Visitor Agreement at https:/Iwow.edmund5.com/ablOLitiVisitor-agreement.hLml. Ad Ad Buying a used vehicle? i-et a AvtoChec<`ieM=!e Autc,Check ,�. „'f..r:.Ilan 109 Attachment 6 110 gV News G Forums W VaMo., Gonsumerkportsa r sew" � IC414 I : Appliances- Electronics . Hum,&Gardvn Babiesill,kids V iliitriiiIf Sh"pire MMth Horns>Cansu,ve,R,,orls reagaule apierrl,cr 2u!c-Leaf blo—js Consumer Reports magazine: September 2010 P,el Emae iJ: sra:e Not a member? Subscribe now in this report Blower noise .. .:ill sviewrd-Sentcvnhi 2a1a Membersign-In Ovvr ew Usvname: September 2910 Recommen . September 2010 R.athys This arbcle appeared in Latest on Leaf blowers PasswrxQ September 2010 Conscmer Gve",e. Sepli 2dl0 Canadian Ratn,gs S- Reports Magazine. Raungs Li Remember me How to choose tyty� Recemrrandationa l eat li safety [�y„ Buying Advice ziea�a� Price d shop Fagdl uatrnerc9 Blower"give f faryal pasoworC'+ Leaf-blower regulations nationwide Many U.S.towns and Counties now regulate leaf-blower noise.Some locales simply restrict blower use to Cerlain limes of he day primer.Butothers ban gasoline-powered leaf blowers while allowing only electric blowers.which,while far from silent are sell less noisy overall. And more than a dozen Communities.mostly in California,have banned all gas and electric leafblowers,leaving residents reaching for their rakes and brooms, The list of leaf-blower regulations below is from the Noise Pollubcn Clearinghouse,a nonpmfitorganization based in Montpelier,Vt.If your community is listed here.Check with your city or County clerk's office j ust in Case,because ordinances tan change.Even if you don'tfind your area on this list double-check with your munidpal or County government for the same reason. And wherever you live.keep your neighbors happy by not running leaf blowers very early or late in the day,or for long periods of bore.Ityou have a noisy neighbor who's less courteous than you are.Neighbor wars.Keeping Ute Peace offers advice on diffusing the situation courteously and effectively. Essential information:Read our review leafblowers,including Ratings(available to subscribers)or elecbic hand held,gasoline handheld gasoline backpack.and gasoline wheeled blowers. City Ban ae Ban all Ban all leaf Ban all leaf Be.all leaf leaf gasoline blowers blowers blown blowers powered during during above leaf certain certain Certain blowers seasons time,of decibel day level calitgmla Alameda County Belvedere Berkeley ,every Hit CaMak o Carmel Claremont Cosla Mesa Culver City Cypress' Dana Point' 1 1 1 Oav6 Del Mar Foster Fountain Valley' Hermosa Beath Huntinglon _ Beach Indian VVeIs Indio lwne' La Pa". Laguna Beach Lawndale Loma Linda Lomas Long Beach Los Altos Los Angeles Malbu Manhattan Beach Manteca Menlo Park Mil Valley Oµm Orange Onnda' Paid,And Pasadena Pours Piedmont Richmond Rohnert Park Rolling His Estates' SBCralllen[0 San Anseino Sera Okgo Santa Barbara Santa Monica Saratoga' Solana' Sunnyvale Tiouron Tustin' Vt@91 Holtywood N 'trhmler' Colorado Aspen Carbondale Cnnnacskut Greenwich Florida Palm Reach Illinois Evanston HighWd Park valnrelta Ypnnatka i Maryland Montgomery County MalIM IIYiN Ii CamOrAge New York Rrmxvm Fimer Hd Great Neck Estates Greentwrgh Huntington Lwchmom Mamaroneck New Rochelle Ne .o North Hempstead Oyster Ray Pelham Heights" Peham Manor PMam Ybge— Rye SCarsdale Soutllanplon Tarrytown , Tlwna.lon Nhte Plahs Yonkers Ore,oms bar a on Surtleya ant hold.,,on[, "DsIole,ban IS in INCt Su9Y9!!and vir'.ler only 113 Attachment 7 114 MEETING DATE: 12/16/13 STUDY SESSION COUNCIL AGENDA REPORT DATE: December 9, 2013 TO: MAYOR AND TOWN COUNCIL FROM: GREG LARSON, TOWN MANAGER _ SUBJECT: COUNCIL DIRECTION ON THE REGULATION OF LEAF BLOWERS RECOMMENDATION: Staff recommends the Council give the following direction to staff: l. Join with other local agencies in supporting a Bay Area leaf blower exchange program and Spare the Air Day leaf blower restrictions. 2. In residential zones, prohibit gas powered leaf blowers OR prohibit any leaf blower emitting over 65 decibels. 3. Direct staff to include notice of the pending regulations to gardeners, landscapers or related business license holders or permittees. 4. Direct staff to limit the first 6 months of enforcement to warning notices or letters issued by Police or Community Development as complaints are received. BACKGROUND: In July 2012, the Town of Los Gatos adopted a sustainability plan that outlined the Town's existing greenhouse gas emissions inventory,identified GHG reduction targets, and established GHG reduction measures to meet those reduction targets. The possible adoption of a leaf blower ordinance (RE-4)was identified under Renewable Energy and Low Carbon Fuels. On August 5,2013, a study session was held to ascertain Council interest in and direction on leaf blower regulation. At the conclusion of the August 5 study session, Council asked staff to return at a later date with additional information on leaf blower ordinances currently in effect in select cities, to provide information on options to limit the current use of leaf blowers in residential and commercial zones,and to provide information on educational options and exchange programs. PREPARED BY: CHRISTINA GILMORE I Assistant to the Town Manager Reviewed by: Assistant Town Manager @LTown Attorney Finance N:1MMAdinlnWorkFfls\2013 Cmmed Rtpoma Dkcmtxr 16TL fBlowers\12.)6.13 LMF Bbwmssludy snsion.dwx 115 PAGE 2 MAYOR AND TOWN COUNCIL SUBJECT: LEAP BLOWERS DECEMBER 16,2013 Per Council direction,this report provides the Council with the information on the select cities requested, in addition to providing recommendations and alternatives for proposed leaf blower regulations for Council consideration. DISCUSSION: The Town of Los Gatos currently allows the use of electric or gasoline leaf blowers and other similar moveable noise sources to be operated during the hours of 8:00 a.m. to 8:00 p.m. on weekdays and 9:00 a.m. to 7:00 p.m.on weekends and holidays in residential or noise sensitive zones. The use of powered equipment in commercial, industrial or public spaces is not time limited. Based on the survey of other jurisdictions(Attachment 1), staff would initially recommend an equipment use restriction in residential zones,based on either the noise levels or emissions of the equipment. Noise impact could be moderated by requiring equipment to be rated at 65 decibels or less, while emissions could be moderated by requiring the use of electric equipment. Note that either approach approved would also likely benefit the other, as-lower decibel equipment is also electric. A six month education and notification period is recommended following Council adoption of any regulatory changes to encourage voluntary compliance and minimize enforcement workloads. Business outreach,media coverage and warnings would be the primary educational outreach. Depending on the impact of the residential regulations, staff could return at a later date with recommendations on potential restrictions in commercial zones. Town operations on Town properties would be included as commercial operations for the time being given the generally larger comparable parcels on the properties involved. In addition, staff would recommend joining with San Mateo and possibly San Jose(see below)and other local jurisdictions in supporting and encouraging a Bay Area leaf blower exchange program through the Bay Area Air Quality Management District, as occurs in Southern California. Last,staff would recommend the use of gas powered lawn and gardening equipment be prohibited on summer Spare the Air days resulting from anticipated high particulate emissions. City of San Jose The City of San Jose is expected to include a proposed Commercial Lcaf Blower Ordinance on the City's next priority setting session to consider working with the California Air Resources Board, the Bay Area Air Quality Management District and other potential entities to identify sources of funding for policy research, ordinance implementation and potential rebates/tax credits for the purchase of electric leaf blowers. Depending on the City San Jose's interest in prioritizing the proposed recommendations, the Town Council may want to consider exploring opportunities for collaboration, as it relates to exploring rebates/tax credits for a commercial leaf blower exchange/purchase program. 116 PAGE MAYOR AND TOWN COUNCIL SUBJECT: LEAF BLOWERS DECEMBER 16, 2013 ALTERNATIVES: Besides staff recommendations addressed at the beginning of this report,the following alternatives are available for Council consideration: 1. Make no changes in the current ordinance that prescribes the hours and days of use of electric and gas powered leaf blowers in residential and commercial areas. 2. Reduce the hours and/or days for use of leaf blowers in residential and/or commercial areas. 3. Prohibit the use of gas powered leaf blowers in commercial areas. 4. Prohibit the use of leaf blowers that emit 65 decibels or more in commercial areas. 5. Prohibit the use of all leaf blowers in residential and/or commercial areas. ENVIRONMENTAL ASSESSMENT: Is not a project defined under CEQA, and no further action is required. FISCAL IMPACT: The fiscal impact will differ depending on the direction given by the Council. Attachments: 1. Summary of jurisdictions with regulations banning the use of leaf blowers_ 2. Public Comments received 12:00 PM Thursday August 8, 2013 through 12:00 PM Thursday, December 12, 2013. 117 Summary of Jurisdictions with Leaf Blower Regulations in Place Attached is a summary of the information gathered from the cities specified by the Council, with the exception of the City of Carmel which has not responded to repeated requests for information. In summary,the other cities surveyed generally provided at least some Iimits on the types of leaf blowers used in residential areas,provide varying degrees of public and education, and generally provide low priority complaint based enforcement. City of Los Altos The City of Los Altos has had a leaf blower ordinance harming the use of gas powered blowers in place since 1991. Portable electric powered blowers are permitted between 9 a.m. and 5 p.m. seven days a week in both residential and commercial areas. Staff contacted personnel from the City of Los Altos police department to provide additional information on the leaf blower ordinance. Below is a summary of questions and answers: L What is the process for reporting leaf blower violations to the City? Residents are encouraged to call the Los Altos Police Department business line while the violation is occurring. Depending on availability,patrol or code enforcement will be dispatched to the complaint. Many times,the violation is no longer occurring by the time patrol and/or code enforcement arrives on the scene. If residents are dealing with an ongoing issue, they may be referred directly to code enforcement for a long tetra resolution. 2. Approximately how many complaints does Los Altos receive each month/year? There were 348 leaf blower complaints received from October i, 2012 through October 7, 2013. 3. What is the process for bringing people into compliance with the ordinance? Los Altos police officers and code enforcement are encouraged to work on solving complaints rather than simply enforcing the ordinance. Response to leaf blower calls can require a significant amount of time, so solutions that involve prevention is encouraged. The City of Los Altos provides its officers with"yellow cards,"which are translated in both Spanish and English. These cards are given to first time offenders and explain the ordinance in brevity and the violator's information is entered into a system as a one-time warning. Typically only one warning is granted, but that is always left to the officer's discretion. 4. What types of noticing/outreach do you conduct to Inform residents, businesses, and landscape gardeners of the ordinance? Page 1 of 5 ATTACHAIEn"f 1 1 1 Q Summary of Jurisdictions with Leaf Blower Regulations in Place Other than face-to-face communication and the issuance of"yellow cards", there are no specific outreach efforts. The ordinance has been in effect for such a long period of time that most people are already aware of the ordinance. 5, flow many hours per week/month does Code Enforcement spend on leaf blower complaints and bringing people into compliance? The Code Enforcement officer currently spends between 10-15 hours a month of proactive enforcement for this type of violation. The Code Enforcement officer can conduct enforcement while doing other code enforcement duties on the streets. 6. What is the priority of response for leaf blower calls/complaints? As a patrol call,the priority is low; however an officer will respond when available. At times, the call may be in pending status for too long,due to other activity, and therefore may be canceled. However, if the Code Enforcement officer is on duty, the call assigned will have a higher level of priority. 7. What are the biggest barriers to enforcing this ordinance? There really are no big barriers from a community support perspective. The community does not appreciate the noise produced by these devices and is very supportive and, at times, demanding with regards to enforcement. Occasionally, staff experiences language barriers with people who violate the ordinance (Spanish and Vietnamese in particular)but staff has been able to communicate effectively in most cases. City of Palo Alto The Citv of Palo Alto has had a leaf blower ordinance banning the use of gas powered blowers in residential zones in place since 2005. While the ordinance bans gas powered leaf blowers in residential zones, it does permit the use of electric leaf blowers. Electric leaf blowers can be used in residential zones,Monday-Friday from 9 a.m.-5 p.m. and Saturdays from 10 a.m.-4 p.m. Electric leaf blower use is prohibited on Sundays and holidays. Additionally, gas-powered leaf blowers and electric leaf blowers can be used in non-residential zones. Electric and gas powered leaf blowers can be used Monday-Friday from 8 a.m.- 6 p.m. and Saturdays from 10 a.m. -4 p.m. Any leaf blower use is prohibited on Sundays and holidays. Staff contacted personnel from the City of Palo Alto police department to provide additional information on the leaf blower ordinance. Below is a summary of questions and answers: L What is the processfor reporting leaf blower violations to the City? The complainant can contact the police department to report an incident. The call for service is logged and a police officer is dispatched. 2. Approximately how many complaints does Palo Alto receive each month/year? Approximately 15-30 complaints are received each year. Page 2 of 5 119 Summary of Jurisdictions with Leaf Blower Regulations in Place 3. What is the process for bringing violators into compliance with the ordinance? A police officer will issue a warning to the violator and a log note is created in the call along with the violator's name. A second call could end in a secondary warning Ora$100 administrative citation. 4. What types of noticing/outreach does the City conduct to inform residents, businesses and landscape gardeners of the ordinance? Currently, there is no additional community outreach being conducted since the ordinance has been in place for several years. S. How many hours per week/month does PD spend on leaf blower complaints and bringing violators into compliance? Due to a decrease in police staffing levels,minimal time is spent on leaf blower complaints. 6. What is the priority of response for leafblower calls and/or complaints? Calls for service for leaf blower violations have the lowest priority. Often times, when the police officer arrives,the violator is gone. 7. What are the biggest barriers to enforcing this ordinance? Since electric leaf blower use is allowed under the current ordinance, gardeners will use a gas-powered generator to plug in an electrical cord to power their electric leaf blowers. While this is in compliance with the ordinance, it does not reduce the amount of noise or emissions released into the environment. City of'Beverly Hills The City of Beverly Hills has had a leaf blower ordinance banning the use or operation of any portable machine powered with a gasoline engine to blow leaves,dirt, and other debris off sidewalks, driveways, lawns or other surfaces in place since the 1970's. The use of electric leaf blowers is allowed. The primary reason for banning gas powered leaf blowers was initially related to the level of gas emissions from blowers,but over the intervening years, the main opposition to their use now is primarily noise related. The ordinance is enforced by both the Police Department and Code Enforcement. Staff contacted personnel from the City of Beverly Hills Code Enforcement to provide additional information on the leaf blower ordinance. Below is a summary of questions and answers: L What is the process for reporting leaf blower violations to the City? Page 3 of 5 120 Summary of Jurisdictions with Leaf Blower Regulations in Place There are several ways to report a violation. To make a new complaint, residents can submit a complaint through a web based application, or they can call a phone number to report a violation. If complaints are received by phone,staff will initiate a standard letter sent to the property owner informing them of the violation and providing them information on the ordinance. 2. Approximately how many complains does Beverly Hills receive each month/year? There were 256 complaints recorded in 2012, and there were 291 complaints recorded in 2013. 3. What is the process for bringing people into compliance with the ordinance? To bring violators into compliance,Code Enforcement will send a letter to the property owner or issue a"notice to appear"citation. A What types of noticing/outreach do you conduct to inform residents, businesses, landscape gardeners of the ordinance? Beverly Hills has developed a general letter and informational flyer that can be sent to property owners that informs them that gasoline-powered leaf blowers are prohibited from use. Property owners are instructed to ask their gardeners to discontinue use of gas powered leaf blowers and are assigned a Code Enforcement officer to follow up with the property owner's gardener. 5. How many hours per week/month does CE spend on leaf blower complaints and bringing people into compliance? N!A 6. What is the priority of response for leaf blower calls/complainis? N/A 7. What are the biggest barriers to enforcing this ordinance? In the last several years Code Enforcement has taken proactive measures to enforce the ordinance,primarily tracking violations when they occur,using a warning log to issue warning notices to property owners and gardeners, and proactive enforcement by officers out in the field. The combination of these proactive enforcement measures has been found to be especially effective. City of Santa Monica The City of Santa Monica banned the use of all motorized leaf blowers in 1991. Since July 1, 2013,all leaf blower enforcement is now handled by Code Compliance. Prior to that date, leaf blower enforcement was handled by the Office of Sustainability. The decision to have Code Compliance take over the enforcement is due to the fact that there are more Code Compliance inspectors out in the field seven days a week who are more readily available to respond to leaf blower complaints. Page 4 of 5 121 Summary of Jurisdictions with Leaf Blower Regulations in Place Staff contacted personnel from the City of Santa Monica Code Compliance to provide additional information on the leaf blower ordinance. Below is a summary of questions and answers; 1. What&the process for reporting leaf blower violations to the City? Residents may report violations with their iPhone or Android phone, online using GO Santa Monica, by email, or by telephone. 2. Approximately how many complaints do you receive each month/year? The average number of complaints received range from five to ten complaints on a daily basis. Complaints may be submitted via email or through a city hotline. 3. What is the process for bringing people into compliance with the ordinance? One warning letter is issued as a courtesy before a citation/fine is issued. A citation can be issued immediately if Code Enforcement Officer observes a violation while it is occurring. The compliance deadline is two weeks from the date a warning letter is issued. 4. What types of noticing/oatreach do you conduct to inform residents, businesses, landscape gardeners of the ordinance? No additional noticing or outreach besides the warning letters issued is conducted by Code Compliance. 5. How many hours per week/manth does CE spend on leaf blower complaints and bringing people into compliance? For each complaint received, Code Compliance Officers spend approximately 20 minutes within a two week time period to investigate complaints. Code Compliance Officers make a total of two visits to the address filed in the complaint. If the Code Enforcement Officer does not observe a violation occurring at the address on file, then the complaint is closed out of the system. 6. What is the priority of response for leaf blower callslcomplaints? Leaf blower complaints receive a priority three response,out of a five-tier priority system, because leaf blower compliance and enforcement is a high priority with the City Council. 7. What are the biggest barriers to enforcing this ordinance? The biggest barrier to enforcing the ordinance is a lack of staffing resources, Page 5 of 5 122 Attachment 8 123 Information Item % SYbla IK OOtCB Date: May 24, 2011 To: Mayor and City Council From: Dean Kubani, Director—Office of Sustainability and the Environment Subject: Six-month Report on Implementation of the Amended Leaf Blower Ordinance Introduction This information item provides a report on the implementation and enforcement of an amended ordinance banning the use of motorized leaf blowers (Santa Monica Municipal Code Chapter 4.08.270), which became effective October 28, 2010. Background The City of Santa Monica first adopted restrictions on users of motorized leaf blowers in 1991, and adopted amendments to the ordinance in 1995. The original ordinance banned the use of all motorized leaf blowers and held the operator of the leaf blower as the sole responsible party. Enforcement of the ordinance required that leaf blowing activity be witnessed by a police officer before a citation could be issued. Violation of the ordinance resulted in an infraction or misdemeanor, punishable by fine and/or imprisonment. On January 19, 2010, Council directed staff to prepare options for amendments to the existing leaf blower ordinance in order to improve its effectiveness. On September 14, 2010, Council adopted amendments to the ordinance which: 1. Hold property owners, water customers, owners and operators of gardening or landscape maintenance services, property management companies, and leaf blower operators responsible for adhering to the prohibition against the use of motorized leaf blowers; 2. Authorize the City's Office of Sustainability and the Environment (OSE) to issue administrative citations for any violation of the ordinance. 1 124 Discussion OSE staff have overseen enforcement of the amended ordinance since it took effect on October 28, 2010 and began a public education and outreach campaign regarding the leaf blower ban at that time. This report provides details on these efforts and on the effectiveness of the amended ordinance at reducing the illegal use of motorized leaf blowers for the first six months following its adoption through the end of April, 2011. Public Outreach and Education Following adoption of the amended ordinance OSE published educational information on its website (www.sustainablesm.ora/leafblower) that includes: • a summary of the ordinance with a link to the municipal code • information on alternatives to motorized leaf blowers • information for reporting leaf blower violations • downloadable flyers in English and Spanish that property owners can provide to their gardeners to help educate them about the ordinance • information about the environmental, noise and health impacts of leaf blowers During the fourth quarter of 2010 OSE staff mailed: leaf blower educational materials to all Santa Monica water customers as an insert to the bi-monthly water bills • 222 informational letters regarding the amended ordinance to landscape companies with Santa Monica business licenses • 182 informational letters to property management companies with Santa Monica business licenses In addition to the mailings and the educational information posted on the City's website, OSE published an article about the amended ordinance in Seascape, and issued a press release on October 26, 2010 which was used as the basis for articles in the local press. Bi-lingual flyers about the ordinance have been distributed at the City's weekly Farmers' Markets since November 2010. OSE prepared a public service announcement and a screen slide about the ordinance, which are regularly shown on CityTV and CityTV filmed two news segments on the ordinance which were shown on 2 125 its Santa Monica Update news program in October and November 2010. Signage regarding the leaf blower ordinance will be displayed on City solid waste and recycling vehicles beginning in June 2011 as part of the ongoing public information campaign. Beginning in January 2011 information regarding the leaf blower ordinance was incorporated into OSE's Sustainable Landscape . Professionals Educational Series. These classes are offered several times per month all year long for landscape contractors, designers, and maintenance workers. A special course offered on April 19, 2011 focused entirely on the ordinance and on alternatives to leaf blowers. Information regarding the leaf blower ordinance has also been included in OSE's Green Garden Academy workshops which are offered monthly to Santa Monica residents. Enforcement Process To enforce the ordinance OSE staff conduct dedicated leaf blower patrols at least two days per week. These patrols typically last four to five hours and are conducted by one staff member using a City vehicle. The patrols are undertaken at various times of day, with the time and location based on previously reported leaf blower use, locations of past violations that have not demonstrated compliance, and known weekly schedules of landscape maintenance companies. In addition to regular patrols, OSE staff monitor leaf blower use throughout the city during regular enforcement and inspection visits for the urban runoff and water conservation ordinances. Staff also conduct individual site visits in response to reports of leaf blower use from community members that are received via telephone, email or the City GO reporting system. If OSE staff observe a leaf blower in use they will inform the operator of the law, give the operator a bi-lingual (English/Spanish) flyer that explains the ordinance and potential penalties for violating it, take a photo if possible, and then send a warning letter and photo to the involved parties (which may include but is not limited to the property owner, water customer, leaf blower operator, employer of the leaf blower operator, and property management company). The letter provides information about 3 126 the ordinance, states the violation and corrective action, and directs the recipient to respond within two weeks confirming that leaf blowers are no longer being used at the property. If and when a response letter from the recipient is received within two weeks, compliance for that violation is achieved and the case is closed. In cases where a potential violation is reported by a member of the public that includes specific information regarding the date, time and location of the violation, a warning letter is issued, typically to the property owner, along with a printed bi-lingual flyer about the ordinance for the property owner to provide to their gardener, and the compliance course described above is followed. In cases where a potential violation is reported that does not include specific information regarding the violation, an educational letter (rather than a warning letter) is sent to the involved parties along with a bi-lingual flyer. These locations are then included in future patrol schedules in order to identify in the field potential future violations. If a repeat violation occurs at a property, OSE will issue a second warning letter. If compliance is not achieved within two weeks of the second warning letter being sent a I I responsible arties are provided two warnings citation will be issued. n all cases, the p p g before a citation is issued. This is consistent with the procedure for enforcement of the City's urban runoff and water conservation ordinances, which has proven effective at achieving compliance through education. Because many of the violations are reported to OSE by members of the public, the provision of two warnings prior to issuing a citation also allows OSE staff to verify a violation in the field prior to the issuance of a citation. Public Reporting of Leaf Blower Activity For the six-month period through April 30, 2011, OSE received a total of 1,133 reports of leaf blowing activity from the public. These include 774 phone calls, 269 e-mails, and 90 GO reports. These totals include repeat violation locations. Violation reports from the 4 127 public have decreased over time as leaf blowing activity has decreased (see Table 1 below). Violations Identified Directly by OSE Staff Over the same time period OSE staff observed 167 violations during regular patrols. The frequency of these violations has also decreased over time. Warning Letter and Citation Summary Based upon the violation reports from the public and direct observation of violations by OSE staff, a total of 1300 violation reports were entered into the leaf blower database through April 30, 2011. In some cases more than one report was received from the public for the same violation. A total of 1,173 individual violations of the ordinance (including first and second violations at the same address) were identified and warning letters were mailed to appropriate parties in all instances. Table 1 shows the violations identified during each of the first six months of enforcement. The number of monthly violations reached a high point of 278 during December 2010 and decreased by 60% to 112 by April 2011. The peak in December coincided with full implementation of OSE's outreach efforts. Table 1 — Leaf Blower Violations By Month Nov 2010 215 Dec 2010 278 Jan 2011 240 Feb 2011 154 Mar 2011 174 Apr 2011 112 Total 1173 5 128 Of the 1,173 total cases, 526 cases have been closed, meaning that the responsible party of a violation location contacted the City to acknowledge the problem and verify in writing that leaf blowing has ceased and will not occur in the future at the property. As of April 30, 2011 the remaining 647 cases were still open because the recipients of the warning letters have not yet responded to OSE. The majority of the open cases are past due for response and have been included in the patrol schedule in order to verify potenfial future violations in the field. As noted above, future violations at these locations will result in either a second warning or issuance of a citation. Attachment A plots the geographic locations of all open and closed cases. OSE staff also tracks all violations by time of day and day of the week in order to coordinate patrol schedules. To date, no citations have been issued by the OSE office. In three cases where a third violation was observed that triggered a citation (meaning that the property had already received two warning letters), OSE staff proactively contacted responsible parties to alert them that a fine would result if they did not immediately address the present leaf blower violation. Compliance was achieved in each of these cases and citations were not issued. Summary Since adoption of the amended leaf blower ordinance OSE has implemented a public education and outreach strategy, and is maintaining an ongoing outreach and enforcement effort. While it is not possible to determine the precise amount of leaf blowing activity prior to October 2010 or current leaf blower usage, the combination of educational outreach, increased enforcement presence and issuance of warning letters is having an impact on leaf blowing activity in Santa Monica. Since November 2010 leaf blowing activity has ceased at more than 500 properties in the City, more than 600 other locations have been identified and are in the process of coming into compliance. initial call volumes from the public and observed incidences of leaf blowing activity by OSE 6 129 staff have dropped over time since OSE began its enforcement in October 2010, and monthly violations of the ordinance have dropped by 60% since December 2010 . Prepared by: Neal Shapiro, Watershed Program Coordinator Attachments. A: City map showing all violation locations 7 130 qtv or adxu..w. 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MM1s U 015 09 1 1 9uY'I n�0I4n� I•� Attachment 9 132 BOARD MEETING DATE: November 6, 2015 AGENDA NO. 6 PROPOSAL: Execute Contract to Conduct 2016 Leaf Blower Exchange Program SYNOPSIS: At its July 10, 2015 meeting, the Board approved release of a Program Announcement to solicit competitive bids from manufacturers of low- or zero-emission/low-noise leaf blowers. This action is to award a contract to Pacific STIHL to conduct the 2016 Leaf Blower Exchange Program in an amount not to exceed $481,955 from the Rule 2202 AQIP Special Revenue Fund(27). COMMITTEE: Mobile Source, October 16, 2015; Recommended for Approval RECOMMENDED ACTION: Authorize the Chairman to execute a contract with Pacific STIHL to exchange up to 2,000 leaf blowers in an amount not to exceed $481,955 from the Rule 2202 AQIP Special Revenue Fund (27). Barry R. Wallerstein, D. Env. Executive Officer MMbeFM:VY Background Rule 2202 Air Quality Investment Program (AQIP) allows affected employers to participate by electing to invest in an SCAQMD-administered restricted fund. Effective July 1, 2015, investment can be either$45.63 annually per employee reporting to the worksite during the 6:00 a.m. to 10:00 a.m. peak window or $126.75 triennially per employee. The restricted monies are to be used by the SCAQMD to fund proposals that achieve mobile source emission reductions that would otherwise have been achieved by implementing a rideshare program. Upon registering under this option and submitting the designated investment amount, an employer is considered to be in compliance with the Rule and there is no need for the employer to take further action to reduce mobile source emissions. The collected monies are used to fund alternative mobile source emission reduction strategies that reduce mobile source emissions at a more cost-effective rate which could potentially result in greater overall emission reductions. 133 At its July 10, 2015 meeting,the Board approved the release of Program Announcement #PA2016-01 to solicit bids from potential manufacturers/suppliers of low- or zero- emission/low-noise leaf blowers to provide units at a discounted price to be used for the SCAQMD's 2016 Leaf Blower Exchange Program. Bid Evaluation While all manufacturers with certified leaf blowers were notified, only one bid from Pacific STIHL was received by the application deadline, Pacific STIHL offered two types of zero-emission/low-noise, battery-operated BGA85 and BGA100 model blowers, in addition to the BR500 model blower that meets the low-exhaust emission standards ("Blue Sky Series") required by the Program Announcement. Proposal The primary goal of this project is to replace existing two-stroke backpack blowers currently used by commercial landscapers/gardeners within the South Coast Air Basin with new zero-emission or four-stroke blowers which have significantly reduced emission and noise levels. The current CARB emission standard is 72 grams of HC + NO,per kilowatt hour. The BR500 model has been certified by CARB at 16 grams of HC+NOx per kilowatt hour. The 16 gram per kilowatt hour exceeds CARB's Blue Sky criteria of 36 grams for product in its displacement category. The cost effectiveness of this model is $0.53 per pound. The cost effectiveness of the zero-emission BGA85 and BGA100 models are $0.32 and $0.67 per pound, respectively. Because of its low- emission levels and low-noise level rating, Model BR500 was used in all prior Leaf Blower Exchange Programs. Staff proposes using the STIHL BR500 model in addition to the two zero-emission leaf blowers in the 2016 Leaf Blower Exchange Program. The BGA85 is a hand-carried battery electric model, and the BGA100 is a backpack battery electric model. Table 1, provides the specifications and pricing information of the proposed models. The past SCAQMD's leaf blower exchanges for commercial gardeners/landscapers have been conducted at STIHL dealerships. STIHL will notify all registered current equipment users of the program and conduct general outreach. Typically, thirteen exchange events are set up across the Basin, and for the convenience of the participants, the exchange events take place during consecutive weekdays. Due to the great demand, and to prevent long lines,pre-registration will be required and participants given time slots on the half-hour. At the event site, the old leaf blowers will be tested for operation and then drained of all fluids in a responsible manner and collected for scrapping. The vendor will haul the traded-in blowers to a scrapping yard where they will be crushed and recycled. The vendor will also provide training for the proper use of the equipment at each of the exchange sites. This format has been used for all prior programs. -2- 134 Since this is the first year that multiple technologies are being offered, staff recommends 750 units of model BR500 (gasoline) and 750 units of the same-priced electric unit, BGA85. Staff is also recommending up to 500 units of the more expensive BGA100, and allow the Executive Officer to adjust all of the amounts subject to the demand. This action is to execute a contract with Pacific STIHL to exchange up to 2,000 leaf blowers in an amount not to exceed $481,955 from the Rule 2202 AQ1P Special Revenue Fund (27). Outreach In accordance with SCAQMD's Procurement Policy and Procedure, a public notice advertising the PA and inviting bids was published in the Los Angeles Times, the Orange County Register, the San Bernardino Sun, and Riverside County's Press Enterprise newspapers to leverage the most cost-effective method of outreach to the South Coast Basin. Additionally, potential bidders may have been notified utilizing SCAQMD's own electronic listing of certified minority vendors. Notice of the PA has been emailed to the Black and Latino Legislative Caucuses and various minority chambers of commerce and business associations, and placed on the Internet at SCAQMD's website (httr)://www.aqmd,gov). Benefits to SCAQMD This program will exchange up to 2,000 old 2-stroke leaf blowers for new 4-stroke gasoline and zero-emission blowers. The STIHL BR500 leaf blower has been certified by CARB at 16 grams of HC+NOx per kilowatt hour. This is nearly 78 percent lower than the current emission standard of 72 grams established by CARB for new leaf blowers of that size sold in California. The STIHL BGA85 and BGA100 models are zero-emission battery-operated blowers. Based on the U.S. EPA Model', this exchange program will result in emission reductions of 157,647 pounds per year of HC+NOx. The cost effectiveness of BR500 model will be $0.53 per pound and BGA85 and BGA 100 models will be $0.32 and $0.67 per pound, respectively. Resource Impact Total expenditures for the proposed project shall not exceed $481,955 from the Rule 2202 AQIP Special Revenue Fund (27). Table 1 provides a breakdown of pricing per leaf blower. Attachment Table I —Leaf Blower Specifications and Pricing EPA-420-R-10-016;NR-005d;2010 -3- 135 Table 1: Leaf Blower Specifications and Pricing Make/Model STIHL STIHL STIHL BR 500 BGA85 BGA100 ` F HC + NOx Certification Level (gm/k W-hr) 16 N/A N/A CO Certification Level (gm/kW-hr) 307 N/A N/A Noise Rating (dB(A)) 65 64 56 Displacement (CC) 64.8 N/A N/A Engine Power(bhp) 2.4 N/A N/A Air Velocity (MPH) 181 102 128-141 Air Volume (w/Tubes) CFM 477 385 447-494 Air Volume (w/o Tubes) CFM 812 N/A N/A Weight (tbs.) 22.3 7 5.5 Fuel Capacity (fl. Oz.) 47.3 N/A N/A Warranty(Years) 2 2 2 # of So Cal Service Dealers 120 120 120 MSRP $479.95 $479.93 $1,419.88 Discounted Price $387.97 $387.97 $1,000 Discount TO SCAQMD $91.98 $91.96 $419.88 Customer pays (Plus Tax) $200 $200 $600 SCAQMD Pays (per leaf blower) 5187.97 $187.97 $400 Vendor Event& Advertising Support $64,500 (included) (included) Collection & Disposal of O Yes Yes Yes Old Blowers Battery Run Time (per charge) N/A Up to 23 Up to 300 minutes minutes 136