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III. On July 25,2002,this LEA conducted routine inspection and noted that the <br /> ® concentration of methane gas in the gas monitoring probe GP-10, located a few <br /> feet north of the scale house,was 10%. <br /> IV. In August 2002,Forward, Inc. submitted a Gas Monitoring Probe Working Plan <br /> to this LEA and, subsequently, installed the gas extraction system and the flare <br /> station. <br /> V. On September 6,2002, this LEA conducted routine inspection and noted that the <br /> concentration of methane gas in the gas monitoring probe GP-10, located a few <br /> feet north of the scale house, was less than 5%. <br /> VI. In May 2003, Forward, Inc. had completed the installation of multilevel gas <br /> monitoring probes at the boundaries. The probes Nvere renumbered beginning <br /> with GP-1 at the main gate and the subsequent numbers were toward the south. <br /> VII. On June 27, 2003,this LEA conducted routine inspection and noted that the <br /> concentration of methane gas in the gas monitoring probe GP-9 (formerly GP-2), <br /> located near the west boundary, was 18 %. <br /> VIII. On July 29,2003, this LEA conducted routine inspection and noted that the <br /> concentration of methane gas in the gas monitoring probes GP-8 (formerly GP-3) <br /> and GP-9 (formerly GP-2), both of which were located near the west boundary, <br /> was 8%and 18 %,respectively. <br /> IX. On July 30,2003, The Regensis Group, Contractor, of 2210 South Asuza Avenue, <br /> West Covina, California, submitted a plan to install gas extraction system that <br /> would be connected to the existing flare station. <br /> X. On August 28, 2003, this LEA conducted routine inspection and noted that the <br /> concentration of methane gas in the gas monitoring probes GP-9 (formerly GP-2), <br /> located near the west boundary, was 37 %. <br /> XI. The concentrations of methane gas in excess of 5%at the boundary, as described <br /> in VII,VIII and X, were documented under the violations of Gas Control, Section <br /> 20919 of Title 27 of California Code of Regulation(27CCR). The concentrations <br /> of methane gas as described above should be documented under the violations of <br /> Explosive Gases Control, Section 20919.5 of 27CCR. <br /> VIOLATIONS: <br /> Consequently,the Forward Landfill has operated in violation of the following section(s) <br /> of 27CCR: <br /> 27CCR 20919.5 Explosive Gases Control <br /> (a) Owners or operators of all MSWLF units must ensure that: <br /> Notice and Order 03-01 Page 2 of 5 Forward Landfill <br /> October 3,2003 <br />