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a <br /> 1.w <br /> GWADC Clarification <br /> Page 3 of 4 <br /> (Note: Prior to final approval of the Project all wet weather problems for which the use <br /> of the tarp was previously failed must be addressed.) <br /> LACK OF GWADC <br /> Tonnage of green waste has decreased to a point that total cover of waste cannot be <br /> accomplished. Evaluation of consistant GWADC performance over a typical daily cell <br /> of waste has not always been possible. In order to monitor cover performance, <br /> quantities of GWADC must be adequate to cover a cell-size area over a period of time <br /> and during different weather conditions. <br /> If COS intends for the Project demonstration evaluation to continue or needs to <br /> temporarily curtail the EHD evaluation, a plan addendum is required. This plan <br /> should explain the shortage problem, how COS plans to provide for daily waste cover <br /> during shortages, and how EHD evaluation of GWADC will be facilitated. <br /> (Note: Prior to final Project approval, wet weather concerns due to shortage of <br /> GWADC shall be addressed). <br /> PONDING AT FRENCH CAMP LANDFILL (FCL) <br /> Ponded water over intermediate cover fill areas is a violation of CCR, Title 14. <br /> Ponding has been indicated as a problem on inspection reports several times during <br /> the past rainy season. Corrective action for ponding is required and would include <br /> draining or pumping ponds and/or filling in ponds with soil. Proper grading of <br /> intermediate cover areas during drier weather will be required before the next rainy <br /> season to prevent wet weather ponding problems. Since the grading plan in the <br /> February 1993 RDSI is outdated and the average daily tonnage is greatly reduced, a <br /> revised grading plan is required. <br /> All observed ponding will be cited on inspection reports by EHD. <br /> CONCLUSION <br /> Violations of any CCR, Title 14 standards (litter, erosion, lack <br /> of adequate soil stockpile, inadequate intermediate cover thickness, grading, etc.) will <br /> be cited as an area of concern or violation depending on the discretion of the <br /> inspector. <br /> Criteria for issuing a violation or "area of concern" includes the severity and/or the <br /> chronic nature of a problem. Two consecutive, monthly violations for the same <br />