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. , . 00 <br /> TUFF BOY SALES, INC. <br /> 3870 W. YOSEMITE AVE. • LATHROP, CA 95330 • (209) 858-4131 • FAX (209) 858-2835 <br /> non E CE���,�s� <br /> August 11, 2010 LUIS <br /> AUG 12 <br /> Ben Escotto <br /> San Joaquin County Environ.menta! Health Dept. ENVIRQNMENT HEALTH <br /> 600 E. Main St. PERMIT/SERVICES <br /> Stockton CA 952.02 <br /> Re: Tire !nventory <br /> Debt Mr. Escotio, <br /> Thank you for taking the time to meet with Martin Harris and myself on July 28, 2010. <br /> Additionally I appreciate you arranging for your supervisor. Robert McClellon and your <br /> colleague, Alfonso, to join us in the meeting. <br /> As you are aware; the purpose of our meeting was to discuss the results of your recent <br /> inspection of our facility, and to allow your office to inform Tuff Boy as to the different ways that <br /> Tuff Boy can operate within the waste tire rules set forth by the California Department of <br /> Resources Recycling and Recovery (Cal Recycle), as well as operation within the enforcement <br /> of those rules by SJCEHD. <br /> The meeting further allowed for an exchange of information that hopefully will lead to a better <br /> understanding by SJCEHD of the tire maintenance activities re acing to the seasonal operations <br /> of Tuff Boy and the various trailer fleets serviced by Tuff Boy. <br /> Over the course of the meeting, Tuff Boy was given the opportunity to explain how a "flawed" <br /> waste tire definition and the associated compliance requirements enforced by SJCEHD, were <br /> creating a costly and unfair burden to the Tuff Boy operation. <br /> Mr. McClellon, representing SJCHED, was most understanding of Tuff Boy's concerns relating <br /> to their tire. noeration and nffPkPr1 that the i-,tent nF the lov,, \^vas not mcant to entrap businesses <br /> exhibiting proper waste fire disposal practices, but was meant to allow for broad enough ruiestc <br /> aid enforcement actions against individuals accumulating or improperly disposing of waste tires. <br /> Tuff Boy proceeded to seek confirmation on their understanding that Tuff Boys' present <br /> designation as a minor waste tire generator allows for 500 waste Tres to be stored on Its <br /> property. Wits yin this designation. SJCHED includes ail tires previcusly used on a vehicle, <br /> including good-used-federally-approved for highway service life;: that are mounted on a rim and <br /> ready for reinstallation on a vehicle (''maintenance ready used tires"). Additionally, Tuff Boy <br /> sought rule clarification that, under the present designation of a waste tire facility, exceeding the <br /> current total ''waste" tire storage limit of 500 tires on buff Boy property, would require accepting <br /> a reclassification to the next level (i.e.: re-designating Tuff Boy as a major waste tire generator;. <br /> SJCHED responded with a suggestion that Tuff Boy be recias-ified as a tire dealer as a means <br /> to more appropriate!, defii-ie the operational, needs of Tuff Ro v,, cnasiness activities. <br /> 1 <br />