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a) Currently the applicant conducts the majority of its activities indoors at the material recovery <br /> building consisting of approximately 45,000 square feet, including the tipping, processing <br /> and transfer of municipal solid waste and non-recyclable residues for land-filling.The <br /> tipping,sorting and processing of recyciables;vehicles and equipment maintenance takes <br /> place in a separate building.The applicant proposes to continue the current operation.The <br /> applicant is currently permitted through San Joaquin Valley Air Pollution Control District <br /> (SJVAPCD) Permit#N-3187-4-0. <br /> b) The project is currently permitted under SJVAPCD Permit#N-3187-4-0.The applicant will <br /> continue to work with the Air District on air quality issues.SJVAPCD has been sent a referral <br /> for further review. <br /> The applicant has prepared a number of studies to address emissions of various air <br /> c-e) pollutants, Including greenhQuse gas emissions.The net increase in daily and annual <br /> emissions of various air pollutants were compared with the thresholds of significance as <br /> adopted by the San Joaquin Valley Air Pollution Control District.The SJVAPCD has adopted <br /> thresholds of significance for two air pollutants.These air pollutants and the thresholds of <br /> significance are: Oxides of Nitrogen 10 tonslyear,and Reactive Organic Gases 10 tonslyear. <br /> The SJVAPCD has set a threshold for PM10 of 15 tons per year under their New Source <br /> Review Offset Requirements.The primary air quality study,which is entitled: Analysis of Air <br /> Quality Impacts from Mobile Sources,dated October 6, 2010 and which is available for <br /> review,concludes that emissions of various pollutants were evaluated from mobile sources <br /> associated with the proposed expansion at Tracy Material Recycling and Transfer Station. <br /> Comparlsogs of annual emissions with thresholds of significance indicate emissions from <br /> mobile sources would not lead to significant air quality Impact. <br /> The Green.4 use Gas.Impact Assessment Baseline report submitted by the applicant on <br /> OQtotier 8,?D10 and which is.avaliabie for review indicates that the Greenhouse Gas <br /> ? , <br /> Emissions;(GHG)are significentiy avoided by increasing recycling and composting. <br /> The project will Include composting as part of the overall operation. On July 8,2010 the <br /> applicant submitted an Odor Impact Minimization Pian (OIMP)to address possible odor <br /> impacts to surrounding neiglibors..The OIMP indicated that the closest receptors will be <br /> operations.?taff and management during operating hours to monitor the compost materials <br /> handling operation.The site is located in rural San Joaquin County away from most sensitive <br /> _ receptors.Xhe California Integrated Waste Management Board(now CalRecycle) has <br /> identified 1,000 feet as the distance required for Identification of receptois..The project site is <br /> su.rrounded,.iby: 1) Lone Star industries gravel mining operations on the adjacent parcel to <br /> the waist; 2jiTeichert Aggregates operation of a sand gravel mining facilityci the north; 3) <br /> two resideqes (mobile homes)located approximately 600 feet north of the$ate on the east <br /> side of MacArthur Drive. There is also 1 residence approximately 1.4 miles south of the site <br /> oil the west,side of MacArthur Drive.The closest residential subdivision is approximately 1 <br /> mile north.4 the site along MacArthur Drive.An analysis of prevailing wind.conditions for <br /> the site indicates wind is predominantly from the west,which could impact two residences <br /> northeast of the facility. However,the compost facility is located 30-40 feet below grade <br /> because it.1p.sited within a depression from a closed gravel quarry.This would tend to <br /> mitigate theyxransfer.of odors to sur <br /> rounding properties.The following mitigation measures <br /> dgveloped,{1y.the GIMP and which wwill be included in the conditions of approval for the <br /> project are as follows: 1) Operator td maintain an updated OIMP; 2)Compost feedstock shall <br /> by:processoO within.7 days of receipt,and commercial food waste shall be processed within <br /> hours ofeceipta 3} Commercial food waste composted on-site shall use the covered <br /> aerated static,pile system,that encompasses the compost feedstock and forces air through a <br /> bio-filter W't'n*mlmize odor generation;4)Compost operations shall occur on a paved surface <br /> to minimize.ponding and anaerobic conditions that could generate odors;and Compost <br /> windrow shill not be,turnedwhen winds exceed 25 miles per hour to minimize odor <br /> generation.these mtigatioinmeasures are expected to reduce the odor impacts to less than <br /> significant. <br /> Construction.activities associated with the proposed project could generate,Ohort-term <br /> ernissions:that exceed the SJ'.VAPCD threshold criteria and contribute to the:'•nonattainment <br /> designation of the San Joaquin Bailey Air Basin-for ozone and particulate ..,; <br />