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John Funderburg, Principal Plrtnner <br /> October 30, 2018 <br /> 1'a;ge 12 <br /> 1 <br /> Austin Road,See Figure f11.0-4. The new refuse rhea, located in the northern part of the <br /> landfill,4vould bring the California Health Care Facility, Dewitt-Nelson Northern <br /> Califomia Youth Correctional Facility, the Conservation Corps Facility,and the Northern <br /> California Women's Facility much closer to the landfill. SDEIR at IV.E-5. <br /> ' Instead of analyzing the expanded landfill's impact on these:uses, the SI)HIII <br /> references a mitigation measure calling rorthe modification oaf the Odor Control <br /> Management Plan to include daily management odor inspections when cm mery wasres <br /> are being processed. Here too, the SDEIR is deficient, First, the current Project does not <br /> even include cannery waste,so fur odor inspectinn tied to cannery waste processing will <br /> do nothing to reduce odors from waste ciispcâ–şsal. Second, the SDEIR doses not even <br /> ' include a copy of the Chinr Control Management flan,so the public has no way of <br /> to determining whether the Plan covers all applicable sources of landfill odors. T1iird, the; <br /> (cont.) measure calls for a "modificalion"to the Odor Plan, thereby implying that the Odor Plan <br /> I is an established plan that is already being implemented, if sits, the Plan is clearly <br /> ineffective as nearby sensitive receptors continue to ca)mplain about landfill-related <br /> odors. <br /> The EIR must be revised to include a description cif th<: i; <br />