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September 2, 1983 <br /> Project 116-1.4 <br /> - 2 - <br /> On 22, April, 1983, Forward, Inc. was notified by your agency that Part B <br /> of our Hazardous Waste Permit Application would be completed and <br /> submitted by August 1, 1983. Shortly thereafter, on May 31, 1983, FMC <br /> notified Forward, Inc. that the barium/stontium waste disposed at this <br /> facility had received an RCRA exemption and was no longer considered <br /> hazardous in accordance with 40 CFR 261.4 (b) (7). In addition, during <br /> July 1983, Forward received notification from FMC that the Modesto plant <br /> which produces the barium/strontium waste would be closed during <br /> mid-1984. Trench #4 was therefore designed to accommodate the remaining <br /> wastes to be generated by FMC prior to plant closure as well as the <br /> remaining waste currently in storage at the FMC plant site. We <br /> anticipate Trench #4 will be required to receive approximately 30,000 to <br /> 40,000 cubic yards of FMC process waste and rotary drilling mud residue <br /> (bentonite clay) which will be generated by closure of the solar <br /> evaporation ponds on the Forward site. As a result of the above events, <br /> the site owners have decided to terminate disposal of all Group 1 waste <br /> materials and devote the unused portion of the site to disposal of <br /> Group 2, (non-hazardous) solid waste generated by residential and <br /> commercial sources in San Joaquin County. <br /> In my most recent discussions with Ms. Debbie Robinson of your staff, she <br /> requested that we summarize all Group 1 wastes that have been accepted <br /> for disposal at the site. This would involve only small volumes of waste <br /> material placed in disposal Trench #3 with the FMC barium/strontium <br /> process waste. Table 1 below, summarizes the volumes and origins of <br /> Group 1 wastes which have been authorized for disposal by the California <br /> regulatory authorities. <br /> a" <br /> GBeta c_4ssociates a <br />