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State Inspection- French Ca*Landfill Site Page 6 of'6,, <br />Facility No.— c j. <br />Landfill under performance standards may begin on May 4, 1992." A complete description of <br />the use of Performance Standards should be included in an updated RDSI. <br />14 CCR 17681 Availability of Cover- Cover material is not available on-site. On the day of <br />the inspection, the site operator reported that only 2 - 3 days of cover was stockpiled on <br />site (see attached map). This standard requires that "if on-site sources of cover material <br />are insufficient, substantiation must be shown to the Enforcement Agency that an adequate <br />supply of cover material will be provided." <br />14 CCR 17684 Intermediate Cover- On the day of the inspection, waste was observed to be <br />"daylighting" in several areas of intermediate cover. These areas of "thinning" <br />intermediate cover were located both north north-west and south of the active face (see <br />attached map) and apparently were the result of the removal of previously stockpiled cover <br />from these areas. <br />14 CCR 17696 Operating Site Maintenance- The casing surrounding Monitoring Well 2 located <br />along the French Camp Slough was loose. This apparently happened during grading activities <br />on the north slopes of the landfill. The significance of the loose casing to the integrity <br />of the well's sanitary seal was not determined during the inspection. <br />14 CCR 17704 Leachate Control- The Corrective Action Program of the ll/13/92 Tentative WDRs <br />reported, "Monitoring well MW -1 has VOC contamination. As of 29 June 1990, ground water <br />from this well contained benzene, ethylbenzene, chlorobenzene, dichlorobenzene, toluene and <br />xylene. A Verification Monitoring Report prepared by the Discharger indicates that <br />downgradient wells have not been affected. The Discharger has been requested to initiate <br />evaluation monitoring and propose corrective actions pursuant to Article 5, Chapter 15. The <br />Corrective Action Program shall include, but not be limited to, any evaluation monitoring, <br />investigation, data collection, data analysis or other tasks necessary to monitor the <br />effectiveness of corrective actions or to begin any ground water cleanup needed to achieve <br />compliance with the Water Quality Protection Standard." This standard will remain as an <br />"area of concern" until such time the RWQCB determines that "compliance with the Water <br />Quality Protection Standard" has been achieved. <br />14 CCR 17709 Contact with Water- In the Description of the Site, section Ill, of the <br />11/13/92 Tentative WDRs, it is reported that "refuse is in contact with ground water in a <br />localized area in the vicinity of well MW -1 and is the suspected source of VOCs in ground <br />water from this well. VOCs have not been detected in water from the three.downgradient <br />monitoring wells. An evaluation monitoring program pursuant to Article 5, Chapter 15 will <br />be required as specified in this Order." The Information Sheet attached to the Tentative <br />WDRs notes that "Refuse was encountered in Boring MW -1 to a depth of 37 feet, which is <br />approximately 4 feet below first encountered ground water. It is suspected that this <br />portion of the southern portion of the landfill may have been the original course of the <br />French Camp Slough which was filled with refuse during the early development of the <br />landfill." Since the placement of this waste pre -dates the implementation of this standard, <br />this will remain as an "area of concern" until"an evaluation monitoring program pursuant to <br />Article 5, Chapter 15" is initiated "to investigate this matter and implement appropriate <br />remedial action." <br />14 CCR 17777 Final Site Face- This standard requires that the slope of those portions of the <br />fill which will be the final exterior surface shall not be steeper than approximately 30% <br />Using a clinometer, slopes of greater than 300 were found along both the French Camp and <br />Walker sloughs (see attached map). In 9/28/92 correspondence to the operator, Board staff <br />noted that "due to the age of the landfill and the lack of available information regarding <br />the stability and placement of the fill, a slope stability study is required to be <br />conducted. The timing of the execution of the slope stability study should precede the <br />design of the perimeter road/drainage system." <br />Waste Management Speciali <br />