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but a hauler who is not manifesting is also putting the generator site at risk for an A/C or NOV because <br /> technically, the generator should be competing a 204 form and submitting it to CalRecycle if the hauler does not <br /> provide a CTL when a pickup is done. See Unregistered Hauler& Comprehensive Trip Log Substitution Form at <br /> the following we address: http://www.calrecycle.ca.gov/tires/forms/manifest/ <br /> 8) TPID 1667694-Cal-Sierra Pipe, LLC-Same reason as for#2. <br /> Hope that clarifies everything. <br /> Ben Escotto, Senior REHS <br /> San Joaquin County Environmental Health Department <br /> 1868 E. Hazelton Ave., Stockton, CA 95205 <br /> Email: bescottogsjcehd.com Phone: (209)468-3178 <br /> EHD Website: http://www.sigov.org/ehd Fax: (209)468-8392 <br /> From: LeClaire, Mary [ma iIto:Ma[v.LeClaireCa>CaIRecycle cagov] <br /> Sent: Wednesday, July 03, 2013 9:25 AM <br /> To: Benjamin Escotto [EH] <br /> Cc: Michael Kith [EH] <br /> Subject: FW: Waste Tire Inspection Reports <br /> Hi Benn, <br /> Please provide me with answers to the questions below. I would like to submit these reports to WTMS to ensure San <br /> Joaquin County gets credit for its final payment request. Thanks. <br /> Mary <br /> From: LeClaire, Mary <br /> Sent: Monday, May 13, 2013 9:11 AM <br /> To: 'bescotto@sjcehd.com' <br /> Subject: Waste Tire Inspection Reports <br /> Hi Benn, <br /> In reviewing your recent inspection reports, I have the following questions: <br /> • TPID 1369843—In the comments section of your inspection report,you indicate the 20 waste tires belong to <br /> Teichert Mobile Equipment, not Tecichert Aggregates. You are requesting that this TPID become Inactive. The <br /> definition of inactive is "Tires are present but operations are not active". Since there were CTLs issued as recently as <br /> 1/12/13,this facility does not meet the definition of inactive. Since the tires belong to Teichert but under a different <br /> division than the Business Name reflected in WTMS, I recommend that we correct the Business Name to Teichert <br /> Mobile Equipment and leave the TPID as active. <br /> • TPID 1513596 for David Price Inc.—In the comments section,you indicate the facility did not have their TPID <br /> certificate. Why did you not give the facility an AOC for 14 CCR 18459.1? Also . . . inspectors typically call the Hauler <br /> hotline on behalf of the facility to obtain a duplicate TPID certificate. You can call from the field to ensure this gets <br /> accomplished. <br /> • TPID 1680307 for Tes Auto—In the comments section,you indicate that were were 3 CTLs that had the old TPID <br /> number(closed). TPID 1557346 was reactivated in WTMS because CTLs were issued on a closed TPID. In the future, <br /> 2 <br />