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Mr. Houghton <br /> January 30, 2023 <br /> Page 3 of 3 <br /> 3. Section 7 Gas Generation, the submittal should provide an analysis of whether <br /> LFG generation has been reduced due to past diversion of organic waste. The <br /> submittal should look at landfill gas production prior to the regulatory goal date <br /> for reduction in organic waste of January 1, 2020 from 2014 levels, to show if <br /> there were reductions in landfill gas. The submittal should also look at the <br /> reduction of LFG production after the organic waste diversion goal of 50 % by <br /> January 1, 2020 and projected due to organic disposal reduction at the site of <br /> 75% by 2025. <br /> Please note that as a result of changes due to the above comments, this may <br /> necessitate changes to other sections of the submitted SIR as well. <br /> Pursuant to Title 27 Section 21695(f), the operator is required to respond to the above <br /> comments and submit required revisions within 30 days of receipt of this letter. <br /> Should you have any questions or comments concerning the above matter, please <br /> contact Rachel Beck at 916.341.6229 or by email at rachel.beck@calrecycle.ca.gov. <br /> Sincerely, <br /> Digitally signed by <br /> la,lel Beck <br /> Rachel Beck Date: 2023.01.30 <br /> 10:35:27 -08'00' <br /> Rachel Beck, P.G. <br /> Closure and Technical Support Section <br /> Engineering Support Branch <br /> Cc: Natalia Subbotnikova, County of San Joaquin Environmental Health Department <br /> (nsubbotnikova@sjgov.org) <br /> Todd Del Frate, Central Valley Regional Water Quality Control Board, <br /> Sacramento, (tdelfrate@waterboards.ca.gov) <br />