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WASTE DISCHARGE REQUIREMENTS -'-- <br /> FORWARD INC.,FORWARD LANDFILL <br /> SAN JOAQUIN COUNTY <br /> Class I for the purpose of closure and postclosure maintenance in Order No. 89-148. The <br /> cover consists of a foundation layer, a 24—inch, 1x10-1cm/sec compacted clay layer, an <br /> 18—inch vegetative drainage layer, and a culvert drainage system. A Final Hazardous Waste <br /> Facility Post-Closure Permit Modification No. 2 was issued by the Department of Toxic <br /> Substances (DTSC) on 7 June 1995 to update, modify and reformat the Hazardous Waste <br /> Facility Post-Closure Permit. The permit authorizes the Discharger to conduct post-closure <br /> maintenance, ground water monitoring, and corrective action for ground water <br /> contamination with respect to WMU A- <br /> 5. The discharger proposed the operation of a composting facility in a Report of Waste <br /> Discharge dated 26 April 1996. Waste Discharge Requirements for the composting facility <br /> were waived, in accordance with Resolution No. 96-031, Conditional Waiver of Waste <br /> Discharge Requirements for Composting Operations, and with the conditions that the <br /> facility will be built and operated as described in the 26 April 1996 Report of Waste <br /> Discharge. <br /> 6. The discharge proposes an alternative to the prescriptive liner requirements of Chapter 15. <br /> The alternative design substitutes a Geosynthetic Clay Liner(GCL)for the prescriptive <br /> 2-foot thick compacted clay component of the liner system. The Discharger also E <br /> demonstrated that the design was in accordance with the Subsections 2510(b) and(c) of <br /> Article 1. Subsections 2510(b) and (c) describe the Board's authority to consider <br /> alternatives to construction or prescriptive standards. The Discharger demonstrated that the <br /> engineered alternative is feasible and consistent with the performance goal and affords <br /> equivalent protection against water quality impairment. <br /> 7. In the Spring of 1994, the Discharger constructed a temporary Soil Remediation Pad (SRP), <br /> consisting of one-foot of compacted clay, which was used to bioremediate petroleum (diesel <br /> and oil) contaminated soil from late May through September 1994 and 1995. In September <br /> of those years, all of the soil undergoing treatment and about 3-4 inches of the compacted <br /> clay liner were removed from the SRP and placed in the WMUs. The SRP was scheduled to <br /> be closed, however, the Discharger is now proposing to reuse, not close the SRP. <br /> Petroleum contaminated soils currently stockpiled in WMU G at the landfill will be treated <br /> on the SRP in future years. The Discharger proposes to continue using this SRP. The SRP <br /> is only operated in the dry months during fair weather and is not currently encroaching on <br /> any operational WMUs. <br /> 8. Waste management units at Forward are described in the following table.The acreage <br /> shown(213 acres) is greater than the size of the property(157 acres) because some units <br /> overlap. <br />