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COMPLIANCE INFO_PRE 2019
Environmental Health - Public
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COMPLIANCE INFO_PRE 2019
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Last modified
1/13/2025 9:47:36 AM
Creation date
11/1/2018 5:16:20 PM
Metadata
Fields
Template:
EHD - Public
ProgramCode
2200 - Hazardous Waste Program
File Section
COMPLIANCE INFO
FileName_PostFix
PRE 2019
RECORD_ID
PR0537466
PE
2256
FACILITY_ID
FA0021553
FACILITY_NAME
Regenesys Glass Processing LLC
STREET_NUMBER
2222
Direction
S
STREET_NAME
SINCLAIR
STREET_TYPE
AVE
City
Stockton
Zip
95215
APN
173-150-12
CURRENT_STATUS
02
SITE_LOCATION
2222 S SINCLAIR AVE UNIT A
P_LOCATION
01
P_DISTRICT
001
QC Status
Approved
Scanner
SJGOV\rtan
Supplemental fields
FilePath
\MIGRATIONS\S\SINCLAIR\2222\PR0537466\COMPLIANCE INFO 2012 - 2016.PDF
QuestysFileName
COMPLIANCE INFO 2012 - 2016
QuestysRecordDate
4/26/2018 6:44:02 PM
QuestysRecordID
3871151
QuestysRecordType
12
QuestysStateID
1
Tags
EHD - Public
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a y 0yanesys <br /> Glass Processing Closure Plan, Continued. <br /> 2.0 Closure Plan Overview <br /> This Closure Plan is designed so that in the event of closure, minimal efforts will be <br /> required to shut down and maintain the facility. Regenesys intends to recycle all materials <br /> received and/or present at the facility during the closure notification period. However, <br /> the Closure Cost Estimate assumes that some materials received at the facility may not be <br /> fully processed and/or properly forwarded to downstream recyclers and sets aside money <br /> for such purposes. <br /> Closure costs are largely based on land disposal for process residues so that closure costs <br /> will not be underestimated. This closure plan also outlines procedures to dispose of <br /> universal waste processing equipment in a permitted hazardous waste landfill, rather <br /> than decontaminate such equipment and commit to confirming wipe samples. Much of <br /> the process equipment remaining at closure will likely be of value to other recyclers. At <br /> the time of closure, if alternate disposition options seem appropriate, Regenesys will <br /> work with the Department of Toxic Substances Control to revise the closure plan <br /> accordingly. <br /> Regenesys intends to close the facility such that there is no residual contamination left <br /> within its portion of the site. Therefore, the closure performance standard for the soil is <br /> the background soil concentrations for those metals processed on-site. However, should <br /> this closure performance standard not be attainable at the time of closure, Regenesys will <br /> work with the Department of Toxic Substances Control to establish a risk-based closure <br /> performance standard. <br /> The concrete pad of the building floor will be cleaned and decontaminated as described in <br /> this plan. The plan calls for mopping/wet wiping the warehouse floors to remove all <br /> traces of potentially contaminated dust. In addition, the walls, elevated walkways, girders <br /> and cranes will be evaluated for potential contamination. The types of materials handled <br /> at this facility potentially contain dust contaminated with metals, but these materials do <br /> not typically permeate concrete or metal. Therefore, surface mopping and wiping is <br /> sufficient to remove dust and the effectiveness of the cleaning can be assessed using <br /> wipe samples. Procedures used to clean and decontaminate the facility will be <br /> documented, along with any sampling and analysis conducted as part of the closure <br /> activities. At the conclusion of closure activities, Regenesys will submit a final closure <br /> report documenting that the facility does not represent a hazard. <br /> 3.0 Closure Timeline <br /> Regenesys plans to operate its Sinclair Facility until December 31, 2060. When the <br /> decision is made to shut down,the facility will adhere to the following schedule,which is <br /> documented as required by 22 CCR §66273.76(a)(1)(A): RECEIVED <br /> OCT 10 2014 <br /> 9/15/2014 2 <br /> ENVIRONMENTAL HEALTH <br /> DEPARTMENT <br />
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