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pp� JHh1-11-1953 16:29 FRO11 CH WASTE f9GT EOHRD TO 912094640138 P.02 <br /> .rnTF of CAUrORNIA <br /> Pete Wilson.Go+Tmw <br /> CALIFORNIA INTEGRATED WASTE MANAGEMENT BOARD <br /> 1020 Ninth Stmt.Suite 300 11 t <br /> 5xnmw,nta.California 95814 <br /> Michael scr `J . March 22, 1991 <br /> Solid waste Planning Manager <br /> county of Riverside C-e ►✓f,� <br /> 3.1728 Magnolia, Suite A <br /> Riverside, ca 92503 ►� ( � 3 � � <br /> Re: Definition of a MRF <br /> Dear Mr. Schier: <br /> This is in response to your faxed letter of March 191 1991. In <br /> the latter you requested clarification on when a Materials <br /> Recovery Facility (MRF) , as defined by AB 2296, has to meet the <br /> minimum recovery of 15% of the total volume processed. <br /> As you noted, Assembly bill 2296 (Cortese) in section 500100 <br /> (a) (4) of the Public Resources Code (PRC) states: " . . . "material <br /> recovery facility" means a transfer station which is designed to, <br /> and, as a condition of its permit, shall, recover for reuse or <br /> recycling at least 15 percent of the total volume of material <br /> reQei.ved by the facility." The key phraso is ''designed to, and, <br /> as a condition of its permit". Therefore for a facility to meet <br /> the definition of a MRF it would have to _b6th recover the minimum <br /> 15% of the total volume of material and have this minimum <br /> recovery. xate specified in its solid waste facilities permit. If <br /> a facility does not meet this requirement, it would be considered <br /> a transfer\processing station. <br /> If you have further questions please call John S. Brooks at <br /> (916) 323-5363. <br /> Sincerely Yours, <br /> "t• <br /> dbo D. Smith <br /> Cli,W, Local Planning Division <br /> P- ac: Don Dier - Chief, Permits' Division CIWMB <br /> on <br />