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Response: According to the Lanthrop/Manteca Fire Department, the pile height limit <br /> within the RRF building is 12 feet. Therefore, storage calculations included <br /> in Appendix B have been revised to utilize the maximum pile height of 12 <br /> feet. Additionally, Section 2.3.2, Design Calculations, and Section 3.1.5.2, <br /> Storage of Salvaged or Recycled Materials, have been revised to indicate <br /> the maximum pile height of 12 feet. <br /> Comment 6: Page 25 Waste quantities The TPR is not clear as to the tonnage the <br /> facility intends to accept. The amount listed in the EIR for UP 00-07 states <br /> that the facility accepts up to 500 tons of source separated wood and <br /> green waste. <br /> Response: The tonnage the facility intends to accept is 500 tons per day of municipal <br /> solid waste and/or heavier mixed recyclables. Section 2.5.2, Waste <br /> Quantities, has been revised to discuss the site tonnage. <br /> Comment 7: Page 3-9 the location of the stockpiles of wood waste.The TPR makes no <br /> mention of the height restriction that is required by a permit condition. <br /> Response: The height restriction on wood waste piles is 12 feet. This restriction has <br /> been added to the text in Section 3.1.5.2, Storage of Salvaged or Recycled <br /> Materials. <br /> Comment 8: Page 3-10 Load Checking. The TPR states that all personnel are trained <br /> g <br /> and experienced in identifying unacceptable wastes. How many personnel <br /> will there be looking for the unacceptable wastes. <br /> Response: Section 3.1.8, Load Checking, has been revised to indicate that one staff <br /> person will be assigned to inspect waste for unacceptable wastes. <br /> Comment 9: Page 3-10 Load checking.The operator tells the customer to remove the <br /> waste from the site himself or have the waste removed by a hazardous <br /> waste hauler. When the waste is determined to be a hazardous waste. The <br /> waste must be handled as a hazardous waste. This means any transport of <br /> the waste after this point must be under the manifest system and be <br /> moved by a licensed hazardous waste hauler. <br /> Response: Section 3.1.8, Load Checking, has been revised to indicate that the <br /> operator will tell the customer to remove the waste from the site by a <br /> licensed hazardous waste hauler under the manifest system. <br /> Comment 10:Page 3-13 Dust control. The dust control methods described in the TPR <br /> address only the dust generated outside of the building. They do not <br /> address dust being generated by activities inside the building. <br /> 2 <br /> L:\Allied\2003.0146\Correspondence\responsetoLEAcom men ts.doc <br />