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ARCHIVED REPORTS_2014 NOV TPR
EnvironmentalHealth
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ARCHIVED REPORTS_2014 NOV TPR
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Last modified
11/25/2024 3:14:45 PM
Creation date
7/3/2020 11:14:58 AM
Metadata
Fields
Template:
EHD - Public
ProgramCode
4400 - Solid Waste Program
File Section
ARCHIVED REPORTS
FileName_PostFix
2014 NOV TPR
RECORD_ID
PR0440011
PE
4445
FACILITY_ID
FA0006918
FACILITY_NAME
FORWARD RESOURCE RECOVERY FACI
STREET_NUMBER
9999
Direction
S
STREET_NAME
AUSTIN
STREET_TYPE
RD
City
MANTECA
Zip
95336
APN
20106003
CURRENT_STATUS
01
SITE_LOCATION
9999 S AUSTIN RD
P_LOCATION
99
P_DISTRICT
004
QC Status
Approved
Scanner
SJGOV\rtan
Supplemental fields
FilePath
\MIGRATIONS\SW\SW_4445_PR0440011_9999 S AUSTIN_2014.tif
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EHD - Public
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p. 27 Austin 9994(G2.a),Austin 2000(G2.a) <br /> All internal combustion engine driven equipment should be properly maintained and tuned <br /> according to manufacturers specifications. <br /> q. 28 Forward 9993(D8) <br /> Ail VOC-contaminated soil which is not being treated shall be covered with six-mil non-porous <br /> plastic. <br /> r. 29 Forward 9993(D9) <br /> if VOC emissions exceed APCD limits for open aeration, a VOC collection and removal <br /> system shall be installed to minimize VOC emissions. <br /> s. 30 Forward 9993(D90) <br /> Any net increase in VOC emissions which remain after the installation of a collection/removal <br /> system shall be offset to the degree required by SJVUAPCD Rule 220.1 <br /> t. 31 (E.1) <br /> t Proposed as Part of the Project: <br /> Use a total of 17 pieces of equipment(at any given time)over the life of the project to <br /> minimize particulate discharge. As shown In Table IV.E-1 (of the EIR)the risk from <br /> particulate—and specifically diesel fumes--was lessened for the project versus the baseline <br /> conditions is the existing 28 pieces of diesel powered landfill operating equipment to be <br /> changed out every 5 years at Forward and every 10 years at Austin would be changed to <br /> using a total of 17 pieces of equipment over 15-year or less replacement scenarios. <br /> u. 35 (E.4) <br /> Proposed as Part of the Project:- <br /> Where required by State and Federal regulations,the landfill gas monitoring,gas control and <br /> collection system will be installed, extending to the new areas of the expanding landfill and <br /> operating In conformance with applicable regulations. <br /> The existing gas extraction system,or an equivalent system,will continue to operate. <br /> Regular gas monitoring will be conducted to prevent explosive or toxic gas accumulation in I <br /> onsite buildings or beneath temporary buildings. The landfill operator will install an automatic ' <br /> combustible gas detection and alarm system for structures at the site. <br /> v. 39(E.8) <br /> Identified lin EIR: <br /> Forward Landfill shall continue to test all known water supply wells within the area of the <br /> mapped and projected groundwater plume. Groundwater monitoring test shall be performed <br /> quarterly at all dowiigradlent private wells at risk. Where detectable VOCs have historically <br /> been reported, bottled water shall continue to be supplied by the applicant(as is currently <br /> being done for two affected households) until the well sample analytical results show no <br /> detectable VOCs for four consecutive quarterly sampling events. Other offsite private wells <br /> such as the CYA wells that have not been adversely affected by the plume shall continue to <br /> be monitored and if VOC-contamination is reported then replacement water shall be provided <br /> by the applicant, if requested. For wells within the footprint of the plume,institutional controls <br /> such as notification to current and future landowners regarding risks of installing production <br /> wells shall be Implemented as part of the local well permitting process. <br /> San Joaquin County UP-00-7, ER-00-21Forward, Inc. <br /> Community Development Page 21 <br />
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