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C <br />11 <br />FORWARD <br />INCORPORATED <br />May 13, 2005 <br />Mr. Robert McClellan <br />Environmental Health and Safety Department <br />San Joaquin County <br />304 East Weber Avenue, Third Floor <br />Stockton, CA 95202 <br />P.O. Box 6336 <br />1145 W. Charter Way • Stockton, CA 95206 <br />(209) 466.4482 • (800) 204-4242 • FAX (209) 466-1067 <br />2005 MAY 20 PM 2: 33 <br />HEALTH DE-P;,RTNENT <br />RE: Resolution of Issues Related to May 4, 2005 Inspection <br />Dear Robert: <br />As agreed upon in our recent meeting with California Integrated Waste Management <br />Board Staff and stated in our May 5, 2005 letter we are providing you with our proposed <br />Action Plan that we intend to follow in order to resolve the issues discussed and raised in <br />the CIWMB inspection report of May 4, 2005. We appreciate your willingness to reach <br />reasonable solutions for the issues covered by the report and look forward to discussing <br />this plan with you in greater detail at your convenience. <br />I . Revise Material Reporting Format: <br />We have revised our daily tonnage reports. These changes will also be reflected in our <br />monthly and quarterly reports submitted to your department. The intent of these revised <br />reports is to more clearly show the amount and types of materials received for use as <br />Alternative Daily Cover, other cover and other forms of beneficial reuse. We request you <br />review this attached sample and comment as to the format and information provided. <br />2. Processed green material used as ADC <br />In a March 19, 2004 letter from the LEA, concern was expressed that any food materials <br />contained in the City of Stockton's curbside collection program would prohibit that <br />material from being used as ADC. The concerns expressed at that time were based on the <br />definition of green material contained in the composting regulations approved in April <br />2003. We acknowledge that the ADC regulations approved in May 2004 require that an <br />operator must implement a program specified in the RDSI to minimize contamination in <br />ADC material types. As we discussed at our recent meeting, we do not believe that the <br />composting regulations govern ADC materials. <br />