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SU0002185
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SU0002185
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Entry Properties
Last modified
11/26/2019 8:43:18 AM
Creation date
9/9/2019 10:58:20 AM
Metadata
Fields
Template:
EHD - Public
ProgramCode
2600 - Land Use Program
RECORD_ID
SU0002185
PE
2626
FACILITY_NAME
UP-00-24
STREET_NUMBER
17950
Direction
W
STREET_NAME
VIA NICOLO
STREET_TYPE
RD
City
TRACY
ENTERED_DATE
10/23/2001 12:00:00 AM
SITE_LOCATION
17950 W VIA NICOLO RD
QC Status
Approved
Scanner
SJGOV\sballwahn
Supplemental fields
FilePath
\MIGRATIONS\V\VIA NICOLO\17950\UP-00-24\SU0002185\MISC.PDF
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EHD - Public
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r <br /> REVISED CWC SECTION 13308 TIME SCHEDULE ORDER NO. R5-2002-0014-RO] 5 - <br /> MUSCO OLIVE PRODUCTS AND THE STUDLEY COMPANY <br /> SAN JOAQUIN COUNTY <br /> a.. .C&A Order Nos. AJ.a and A.Lb.b require.the Discharger to control.wastewater from entering <br /> ..surface-water drainage courses.f.On 2 Noyember 2001, staff inspected the Discharger's <br /> facilityand discovered wastewater was.directly discharged, through an overflow pipe, to the <br /> surface drainage from the one million gallon storage pond and that tailwater routinely drains <br /> to the surface water drainage courses. T ' <br /> b. C&A Order No. A.Le requires the Discharger to comply with the effluent concentration <br /> limits for DIS and BOD. The Discharger's self-monitoring reports indicate these analyte <br /> concentrations exceed the Order limits. <br /> c. C&A Order No: A.Lc requires the Discharger to limit irrigation to those times when it is not <br /> raining and to allow a three day resting period between applications and precipitation events. <br /> The Discharger's self-monitoring reports indicate irrigation occurs during rain events. <br /> I Inspections of the land application area`s`reveal s signiflcarit amount of tailwater runoff; <br /> indicating the three day resting period is not occurring. <br /> d. C&A Order No. B.1 requires implementation of a Winter Contingency Plan to prevent <br /> tailwater runoff and comply with the WDRs. Observations .on 2 November 200I indicate the <br /> Winter Contingency Plan was not fully implemented. Only small areas of the land <br /> application areas showed evidence of discing. <br /> e. C&A Order No. D.2 requires construction of a storage facility to allow wastewater storage <br /> during times of precipitation by I November 2001. The Discharger failed to construct the <br /> storage facility. <br /> .20: During the 2 November 2001'inspection,`the Discharger stated the land application areas had been <br /> disced as required by,the C&A's-Winter Contingency Plan.,.However,,observationof the land <br /> application areas on 2 November 2001 indicated less than half of the area had been disced, and in <br /> the'upper application area, almost none of the area had been disced: <br /> 21. The Discharger stated that I5-20 acres of the 95 acre land application area was planted with <br /> sorghum, a portion of 10 acres was planted with perennial grass, sudan grass was planted on <br /> 15 acres in the southeast corner, and oats had been planted on'the lower parcel. However, during <br /> the 2 November 2001 inspection,no sorghum,perennial grass, or oats were observable. A crop <br /> reported to be sudan grass was observed in two of the checks. Each of the checks was flooded <br /> W, strongly discolored.-and-odiferous water: <br /> 22. Recommendations to improve cropping presented in the Discharger's technical reports required by <br /> the C&A Order(i.e. adding organic material to soil or addition of fertilizer to improve crop <br /> growth) were not implemented until December 2001, when the Discharger began injecting liquid <br /> fertilizer at the irrigation system. In addition, none of the Discharger's consultant's recommended <br /> boron plant tissue tests have been performed. <br /> OTHER CONSIDERATIONS <br /> 23. On 8 January 2001, staff responded to State Clearinghouse Negative Declaration document <br /> number 2000122093, which addressed expansion of the olive storage tanks and construction of an <br /> interim wastewater storage pond. Staff informed the Clearinghouse and the,Discharger by letter of <br /> the need for industrial activity and construction stormwater permits, as well as the need for a <br /> Section 404 permit from the U.S..Army Corps of Engineers. The Discharger did not obtain the <br /> permits. <br />
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