Laserfiche WebLink
Response: Section 3.2.2, Dust Control, has been revised to include dust control <br /> measures for within the RRF building. <br /> Comment 11:Page 3-14 Nuisance control The information is not adequate. No mention <br /> of monitoring, reporting, or plan of action. <br /> Response: Section 3.2.5, Nuisance Control, has been revised to include a discussion <br /> that any nuisance complaints will be investigated and proper remediation <br /> measures implemented. Section 3.4.4, Public Complaints, also discusses <br /> recording of complaints. <br /> Comment 12:Page 3-15 Vector, bird and anima/control The timely removal of <br /> recyclable materials. Define timely. <br /> Response: Section 3.2.7, Vector, Bird and Animal Control, has been revised to <br /> indicate that any solid waste will be removed daily and that recyclables <br /> such as glass and aluminum cans will be kept in covered bins to deter <br /> vectors, birds, and rodents. Once the bins are full they will be transported <br /> off-site for appropriate recycling. <br /> Comment 13:Page 3-15 Vector, bird and animal control Forward RRF needs to have <br /> an ongoing pest control program. This includes the use of bait stations, <br /> pesticides and exclusionary methods, where possible. <br /> Response: Section 3.2.7, Vector, Bird and Animal Control, has been revised to <br /> indicate that a professional pest management company is on retainer and <br /> performs ongoing pest management services including the use of bait <br /> stations, pesticides and exclusionary methods, as needed. <br /> Comment 14:Page 3-16 Trac controls The TPR indicates that the RRF will receive an <br /> average of 150 trucks per day. The traffic must be supported by CEQA <br /> please provide the reference to support this number of vehicles. <br /> Response: The 150 trucks per day are associated with the facility operating at <br /> maximum capacity. However, initially only mixed recyclables will be <br /> accepted and the truck traffic and tonnage associated with that operation <br /> is lower than the maximum discussed in the TPR. The operator will be <br /> working within the existing CEQA which is the Final Environmental Impact <br /> Report dated December 2002 from which Land Use Permit No. UP-00-7 <br /> was issued. The truck trips for the RRF will be included with the Forward <br /> Landfill and kept below the 620 trip maximum threshold as discussed in <br /> the FEIR. <br /> Comment 15:Page 3-20 Record keeping. The TPR does not indicate that the facility will <br /> track the time that 4180 tons is reached (see comment 2). <br /> 3 <br /> L:\Allied\2003.0146\Correspondence\responsetoLEAcomments.doc <br />