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FROM �' • 10. 12. 1990 1& 19 P. 2 <br /> L <br /> RTATR OF CA1190RNIA GF,ORGE ORURMUM,Go. or <br /> CALIFORNIA INTEGRATED WASTE MANAGEMENT BOARD <br /> 1070 NINTH STRPL+T,SUIW 700 <br /> SACRAMFNTO,CALFORNIA 95814 <br /> OCT 121990 <br /> Ed Padilla <br /> Environmental Health Division <br /> San Joaquin County <br /> 1601 East Hazelton Avenue <br /> Stockton, CA 95201 <br /> Subject: Ogden Soil Remediation Project <br /> Dear Mr. Padilla: <br /> Staff of the California Integrated Waste Management Board have <br /> evaluated the Ogden Environmental Soil Remediation Project and <br /> have determined that it is a solid waste processing facility <br /> requiring a solid waste facilities permit. To assist you in <br /> determining what action would be appropriate prior to issuance of <br /> a permit, I offer the following. <br /> Title 14 of the California Code of Regulations provides fairly <br /> wide latitude to local enforoement agencies (LEA) when confronted <br /> with a solid waste facility operating either in violation of a <br /> permit or without a permit. <br /> Section 18304 requires an LEA to ,issue a notice and order when it <br /> determines a person is operating a facility without a valid solid <br /> waste facilities permit. This regulation provides a menu of <br /> actions the notice and order may contain, including a cease and <br /> desist order if the LEA determines that to be the appropriate <br /> action. Another option is to include in the notice and order a <br /> timeframe for obtaining a permit while allowing the facility to <br /> operate. In this situation, the notice and order should specify <br /> conditions the LEA deems appropriate to minimize environmental <br /> impacts, and a rigorous schedule of milestones leading to the <br /> issuance of the permit. <br /> I trust this letter will help you in deciding how to proceed with <br /> this situation. As you know, these are only suggestions. The <br /> i <br />