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STATE Of CALIFORNIA GEORGE DEUKMEJIAN, Govern <br /> CALIFORNIA WASTE MANAGEMENT BOARD <br /> 1020 NINTH STREET, SUITE 300y c, <br /> SACRAMENTO, CA 95814 <br /> JUN <br /> Mr. E. F. Gillespie <br /> Chairman <br /> Orange County Solid Waste <br /> Enforcement Agency <br /> 445 Civic Center Drive, West <br /> Santa Ana, CA 92701 <br /> Dear Chairman Gillespie: <br /> At the request of Mr. Jack Goetzinger of your staff, we are offering <br /> the following comments on the materials submitted to you on May 5 and <br /> June 6, 1986 by Gfeller Development Company regarding landfill gas <br /> monitoring on Lot 1 adjacent to the Sparks-Rains Closed Landfill. <br /> It is my understanding that the nature of the Gfeller development <br /> project has changed significantly from that described in the 1982 <br /> Environmental Impact Report (EIR) which we reviewed. Since the i <br /> project now involves development on and adjacent to a landfill <br /> disposal site rather than excavation of a disposal site, your <br /> responsibilities as the Local Enforcement Agency (LEA) have also I <br /> changed. Of particular concern is your responsibility to assure that <br /> gases from the site do not create a hazard to adjacent properties or <br /> to on-site structures. (See California Administrative Code (CAC) <br /> Sections 17705 and 17734) <br /> Based on the information available to this agency regarding the limits <br /> of the waste deposit, I would suggest that you consider the boundaries <br /> of the wastes contained in the Anderson Pit landfill, the Sparks-Rains <br /> landfill and the Sent-Pac landfill as the boundary of the disposal <br /> site for the purpose of enforcing those regulations. This is <br /> consistent with the definition of a disposal site contained in <br /> Government Code Section 66714.1. <br /> The information contained in the May 5 and June 6 Gfeller submittals <br /> relates to the enforcement of CAC Section 17705 which regulates gas <br /> migration from disposal sites. The comments in this letter are <br /> limited to that aspect of your LEA responsibilities. Further, all <br /> comments contained herein apply to the disposal site as a whole, <br /> including both the Gfeller and the Bracamonte properties. Future <br /> information to be developed in the environmental documentation for <br /> construction of structures on the Gfeller portion of the disposal site <br /> will be more relevant to CAC Section 17734. <br /> SURNAME: <br /> r t <br />