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Interested Parties - 2 - • 21 April 2005 <br /> r <br /> processing waste is designated waste, and that it cannot be applied to land for beneficial reuse without <br /> polluting groundwater. Although staff has concerns about the treatment, storage, and disposal of some <br /> food processing wastewaters, not all food processing wastewater is a designated waste. Additionally, <br /> designated waste can be applied to land for beneficial reuse and/or treatment if the discharge complies <br /> with the applicable Basin Plan policies (specifically, State Water Resources Control Board Resolution <br /> No. 68-16). <br /> The purpose of the General Order is unchanged: to provide a consistent regulatory program and simplified <br /> permitting process to regulate discharges of designated waste that are exempt from Title 27 of the <br /> California Code of Regulations pursuant to Section 20090(i). However, in order to better address the <br /> needs and concerns of all interested parties, the General Order has been revised so that it is only <br /> applicable to ready mix concrete wastewater and associated solid wastes. Another General Order for <br /> designated waste liquids generated by food processors may be proposed at a later date. <br /> This notice is being sent to persons and entities that staff has identified as being potentially interested <br /> parties. Receipt of this notice does not mean that the recipient generates and/or improperly manages <br /> designated waste. <br /> If you have any questions or do not have Internet access,please call Anne Olson at(916)464-4740. <br /> VWJ4 VVI CA <br /> WENDY S. WYELS, Supervisor <br /> Title 27 and WDR Units <br /> cc: See list next page <br />