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i) Provide anticipated vehicle quelling time through the scales and tipping area. <br /> j) The proposed project description mentions that the additional hours of operation will allow the <br /> facility to handle additional vehicles. This is true to a point. Vehicles that arrive at the facility are <br /> not evenly spaced and tend to show up at approximately the same time. <br /> k) Indicate the area designated for vehicle quelling and explain how the area will accommodate the <br /> expected vehicle traffic. <br /> 1) Discuss the anticipated number of vehicles per hour. <br /> m) Tonnage: the project description proposes to increase the per day tonnage by 2.5 times the <br /> current tonnage. The design calculation does not discuss the amount of equipment that would be <br /> on the tipping floor in order to facilitate the processing of the waste. The project description does <br /> not mention how much area would be required for vehicle unloading(type of vehicle, size, volume <br /> of waste contained), or the number of vehicles that would be unloading at one time. The proposed <br /> project does not indicated if there will be a separate unloading area for the self haul customers or <br /> the number of waste screeners/spotters on the tipping floor during the operation. <br /> n) Provide a facility capacity study that analyzes the traffic and waste volume as it relates to the <br /> proposed changes and facility capacity. Include the calculations that will take in to account the <br /> space or area required to safely conduct the proposed operations. <br /> o) The project description on page 22 indicates that the facility does not knowingly receive Household <br /> Hazardous Waste (HHW). The facility currently collects antifreeze, waste oil, batteries, and paint. <br /> Revise to accurately reflect current site conditions. <br /> p) The project description on page 28 indicates that if prohibited wastes are identified, the hauler is <br /> `r required to remove the waste from the facility for proper disposal elsewhere. When a hazardous <br /> waste is identified, it is at that point it must be handled as a hazardous waste. The hauler cannot <br /> remove the waste from the site unless it is a hazardous waste hauler. Provide additional <br /> information clarifying the procedure in detail. <br /> q) The project description on page 18 of Report of Compost Site Information(RCSI) makes reference <br /> to a CEQA analysis done in 1999 and references a Solid Waste Facility Permit(SWFP). According <br /> to the Environmental Health Department(EHD)records there was no SWFP issued for this facility <br /> in 1999. Provide clarification regarding this statement. <br /> r) The project description on page 23 of the RCSI indicates that the facility plans to use a CTI system <br /> composting operation as part of the expansion.This type of operation requires the use of blowers <br /> to aerate the compost. Provide design information and calculations for the CTI system. <br /> s) The Project Description proposes to increase traffic to 1727 vehicles per day. The project <br /> description did not reference or provide a traffic study to support the proposed numbers. <br /> I) The Biomass Gasification Unit proposes to use 40 TPD of processed clean wood waste to <br /> generate 1 mega-watt/hour of energy for on-site use.The EHD needs more information on <br /> construction and operation of the biomass gasification unit and on the operation of clean wood <br /> waste recovery from the mixed C&D processing facility. Proper evaluation for this facility from the <br /> San Joaquin Valley Air Pollution Control District is required. <br /> u) Expand the outdoor green waste processing operations to allow the processing of co-collected <br /> residential green waste with food waste, to produce compost feedstock and/or anaerobic digestion <br /> San Joaquin County PA-0800005\Tracy Material Recovery <br /> Community Development Page 14 <br />