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2200 - Hazardous Waste Program
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PR0505948
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Last modified
6/9/2020 2:01:51 PM
Creation date
6/3/2020 9:20:42 AM
Metadata
Fields
Template:
EHD - Public
ProgramCode
2200 - Hazardous Waste Program
File Section
COMPLIANCE INFO
RECORD_ID
PR0505948
PE
2227
FACILITY_ID
FA0007101
FACILITY_NAME
FORWARD INC LANDFILL
STREET_NUMBER
9999
Direction
S
STREET_NAME
AUSTIN
STREET_TYPE
RD
City
MANTECA
Zip
95336
APN
20106003
CURRENT_STATUS
01
SITE_LOCATION
9999 S AUSTIN RD
P_LOCATION
99
P_DISTRICT
004
QC Status
Approved
Scanner
SJGOV\rtan
Supplemental fields
FilePath
\MIGRATIONS\HW\HW_2227_PR0505948_9999 S AUSTIN_.tif
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EHD - Public
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i • <br /> • By September 15, 2016, 2016 submit a report that contains: (i) the waste profile and <br /> acceptance plan that was in place between April 2014 and December 2015; (ii) the <br /> waste acceptance training that was in place between April 2014 and December 2015; <br /> (iii) a copy of the Special Waste Service Agreement dated August 29, 2013 between WBP <br /> and Republic; and (iv) a copy of all analytical data and shipping manifests from WBP for <br /> the period of August 2013 through June 2016. <br /> On July 20, 2016, FORWARD submitted a response to the NOV that described the <br /> impracticability of selectively excavating the WBP bed ash from the landfill and requested a <br /> meeting with CVRWQCB to discuss the NOV and the feasible options available to address <br /> CVRWQCB concerns. This meeting was held on August 12, 2016 at the CVRWQCB Sacramento <br /> office and (among other items) addressed the results of an evaluation of potential water quality <br /> impacts associated with bed ash disposal at the landfill. Following the meeting, CVRWQCB staff <br /> requested that the potential water quality impact evaluation be documented in a technical <br /> report. The results of these evaluations were documented in a November 1, 2016 Technical <br /> Memorandum that concluded: <br /> • Selective excavation of the WBP bed ash is not feasible and removal of the bed ash <br /> would require that virtually all the 1.68 million tons of co-disposed municipal solid waste <br /> (MSW) in the bed ash disposal area would be necessary to remove the bed ash.' An <br /> excavation and offsite disposal of this amount of material would cost tens of millions of <br /> dollars (or more) and would result in significant adverse environmental impacts due to <br /> truck traffic, temporary suspension of landfill gas extraction in the excavation area, and <br /> increased probability of subsurface fires;z and <br /> • The potential leaching of copper from the bed ash and subsequent leakage (should it <br /> occur) would have no measurable effect on groundwater quality below or adjacent to <br /> the site. <br /> The November 1, 2016 Technical Memorandum is attached to this letter for reference. <br /> 'Depending on depths of burial,the total amount of excavation could exceed 1.7 million tons due to <br /> excavation slope requirements. <br /> Z Offsite disposal of 1.68 million tons of waste could require about 67,000 truckloads and more than 21 million <br /> roundtrip vehicle miles assuming a hauling capacity of 25 tons per truck and disposal at the Kettleman Hills Landfill <br /> (the closest Class I landfill to Forward Landfill) <br /> Forward Landfill Response to CVRWQCB 2 <br /> Date:June 24,2017 <br />
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