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<br /> quantities listed during a single day. If the limits were added together the total would
<br /> _,.exceed the 8,668 tons per day. Revise and clarify the information. – —
<br /> 8. The JTD,Page 4-8, Section 4.3.1,lists ADC limits.Are the limits proposed based on site
<br /> needs?Please explain. If the limits are based on site needs,then they should be expressed
<br /> as site needs and not limits. Revise to clarify information.
<br /> 9. The JTD,Page 4-8, Section 4.3.1,lists waste materials accepted by the facility that are
<br /> proposed for reusc onsite. Please describe the materials that would be included in the
<br /> category of'.Beneficial Inerts(other than soil)". Revise to include definition,
<br /> 10.The JTD,Page 4-8, Section 4.3.1,states that"Consistent with discussions with the ILEA,
<br /> the test for green waste was considered to indicate also the quantity of ash and cement
<br /> kiln dust necessary, and the test for treated auto shredder residue was considered to
<br /> indicate also the quantity of C&D ADC necessary."The agreement was that, because the
<br /> quantities received by the facility were so low,the numbers for the green waste could be
<br /> substituted for the ash waste..There were no conversations regarding treated auto,
<br /> shredder residue and C&D ADC having the same or like characteristics. Revise to
<br /> remove any reference to discussion with the LEA,
<br /> 11.The JTD,Page 4-9 Section 4.3.1, indicates that the soil needs for daily,intermediate, and
<br /> operations layers were added together to derive the maximum contaminated soil limit.
<br /> The actual site needs should reflect an average and not a peak amount, Revise to include
<br /> a reasonable average tonnage limit.
<br /> 12.The JTD,Page 4-9, Section 4.3.2, states"Therefore,on days when less waste is received
<br /> the site can accept more loads of the beneficial reuse materials." Would the number of
<br /> additional loads of beneficial reuse material be based on site needs? If the material
<br /> accepted is for future use,how would it be handled, stored and tracked?Please explain,
<br /> 13.On Page 4-10, Section 4.5, of the JTD) "weekly averages"is worded-such that it appears
<br /> that the facility is accepting"35,987 tons, six days a week."Revise to reflect actual
<br /> conditions at the site.
<br /> 14.The JTD,Page 4-11, Section 4.5, states "discussions with the LEA resulted in the
<br /> conclusions that ash and cement kiln dust are believed to have similar properties to PGM
<br /> and that C&D.material is believed to have similar properties to treated auto shredder
<br /> residue." See comment 10 listed above. There was no conversation regarding similar
<br /> properties. It was based on the fact that the facility uses very little or no ash and cement
<br /> kiln dust as ADC.Revise to remove any reference to the discussion with the LEA.
<br /> 15.The JTD,Page 4-12, Section 4.7.1, indicates that the site life estimate is reduced. This
<br /> issue was raised on the previous JTD amendment review(August 2005).The.
<br /> Environmental Health Department(EHD)asked for an explanation in writing of the
<br /> change in site life and has not received it. Please provide a written explanation.
<br /> 16.The JTD, Page 4-13, Section 4.7.2, states "Since a good majority of the waste accepted at
<br /> Forward Landfill will be construction/deirxolition type wastes,the inflow rate will be
<br /> dependent on how much of that type of work is occurring in the area."Please explain this
<br /> staten*nt and provide supporting documentation.
<br /> 17.The JTD,Page 6-1, Section 6.1,states "Forward is proposing to extend the hours of
<br /> operation for the landfill to 4 a.m.to 9:30 p.m., with waste receipt stopping at 9:00 p.m."
<br /> Revise to reflect current actual hours of operation.
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