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Draft Supplemental Environmental Impact Report Page IV.A-21 <br /> Forward Inc.Landfill 2018 Expansion Project <br /> 15015200-33B or subsequent advisory (Hazardous Wildlife Attractants On or Near Airports)". FAA <br /> Advisory Circular 150/5200-33B recommends a separation distance of 10,000 feet between <br /> wildlife attractants and the airport operations area(AOA). The AOA is defined as any area of <br /> the airport used or intended to be used for landing,take-off, or maneuvering of aircraft. <br /> Both proposed landfill expansion areas are more than 10,000 feet from the end of the nearest <br /> runway (11L/29R)and airport operations area. In addition, creek restoration has been limited <br /> such that birds are not attracted to the creek, and off-site habitat restoration is included, away <br /> from the airport flight zones. <br /> U.S. Code Title 49, Subtitle VII,Part A, Subpart iii, Chapter 447, Section 4471 requires adequate <br /> public notice for the construction, alteration,establishment, or expansion, or the proposed <br /> construction, alteration,establishment, or expansion, of a sanitary landfill that could affect air <br /> safety. 40 Code of Federal Regulations (CFR)Section 258.10, among other requirements, <br /> stipulates that landfills within five miles of an airport must notify the affected airport and the <br /> FAA. <br /> As discussed under EPA and FAA Regulations, above, the project applicant submitted <br /> preliminary plans (consistent with the project evaluated in this EIR)to the Federal Aviation <br /> Administration and received a "Determination of No Hazard to Air Navigation" on October 12, <br /> 2017, indicating that the project does not constitute a "hazard to flight" in the view of the FAA. <br /> As described under Bird Strikes and Gull Survey Evaluations,in the Setting section of this <br /> chapter,the potential for bird strikes associated with the landfill is no longer a substantial <br /> hazard due to the extensive bird control program that has been implemented by Forward over <br /> the past 10 years. With the adopted and existing land use measures in place to prevent potential <br /> bird strikes, the gull control program continues to be successful,therefore ensuring <br /> compatibility of existing landfill operations and the proposed expansion areas for land uses <br /> located within the Conical Surface Zone for the Stockton Airport. <br /> The San Joaquin Council of Governments, acting as the ALUC, considered the compatibility of <br /> the proposed project with the ALUP in a letter submitted to the County in response to the NOP <br /> for this SEIR. They concluded that: <br /> • The FAA notification and review has occurred <br /> • The FAA issues a "Determination of No Hazard to Air Navigation", indicating that the project <br /> does not constitute a "hazard to flight'in the view of the FAA. <br /> • Forward, Inc's plans appear to be consistent with FAA Advisory Circular 150/5200-33B. <br /> Specifically, all expansions of landfill operations are located more than 10,000 feet from the AOA. <br /> In light of the above observations, SJCOG's determination is that the Forward Infill Project is <br /> compatible with conditions with the adopted Stockton Metropolitan Airport ALUCP. Conditions of <br /> approval include, but are not limited to: <br /> • Submit finalized plans to the FAA and Caltrans Division of Aeronautics for review upon filing a <br /> development application with San Joaquin County. <br /> • Comply with all applicable law and implementing advisories as indicated in the ALUCP. <br />