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-'` ATE OF CALIFORNIA <br /> GEORGE DEUKMEJIAN, Governor <br /> CALIFORNIA INTEGRATED WASTE MANAGEMENT BOARD = <br /> 1020 NINTH STREET, SUITE 300 - <br /> SACRAMENTO, CALIFORNIA 95814 �® <br /> i <br /> AUG 021990 RECEIVED <br /> Tom Horton <br /> County of San Joaquin AU 6 0 3 1990 <br /> Department of Public Works <br /> P.O. Box 1810 ENVIRONMENTAL HEALTHI <br /> 1810 E. Hazelton Avenue PERMIT/SERVe(,�ES <br /> Stockton, CA 95201 <br /> SUBJECT: Completeness of Preliminary Closure and Postclosure Maintenance <br /> Plans for North County Sanitary (SWIS NO. 39-AA-0022) <br /> Dear Mr. Horton: <br /> The California Integrated Waste Management Board (Board) received th®'North <br /> County Sanitary Landfill, Preliminary Closure and Postclosure Plan (July <br /> 1990), San Joaquin County, California, on July 12, 1990. A financial <br /> mechanism was received under separate cover on July 30, 1990. <br /> Government Code Section 66796.22 requires operators of solid waste landfills <br /> to .prepare closure and postclosure maintenance plans for approval by the local <br /> enforcement agency, the Regional Water Quality Control Board, and the Board. <br /> Title 14, California Code of Regulations (14 CCR), Article 3.4 allows solid <br /> waste landfill operators to submit preliminary closure and postclosure <br /> maintenance plans when a facility is not anticipating closure within two <br /> years. Government Code Section 66796.22 (b)(2) prohibits the operation of a <br /> solid waste landfill without an approved closure and postclosure maintenance <br /> plan for more than one year beyond the date the plan is due. <br /> Based on Board staff's review for completeness, the preliminary <br /> closure/postclosure maintenance plan is deemed complete and accepted for <br /> filing for consideration of approval by the Board. Board staff will proceed <br /> to review the submittal to: 1) determine that closure and postclosure <br /> maintenance, as described in the plans, is consistent with the applicable <br /> requirements of Title 14, California Code of Regulations; 2) determine, the <br /> adequacy of the cost estimates; and 3) verify whether the proposed financial <br /> mechanism is acceptable to provide for the costs of closure and postclosure <br /> maintenance. <br /> If you have any questions concerning the plans or cost estimates, please <br /> contact me at (916) 322-2653. For questions regarding the financial <br /> mechanism, please call the Board's Finance Unit at (916) 322-2903. <br /> Sincerely, <br /> a <br /> Ki A. Schwab <br /> Closure Branch <br /> Schwab\preplan\39AA0022.0 <br />