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C&D fines qualify as combustible dust b)combustible fibers c) private fire hydrants if used d) <br /> miscellaneous combustible storage e)waste handling and f)wood products. <br /> e) For outdoor storage only noncombustible materials can be stored under high-voltage transmission <br /> lines. <br /> f) if there is combustible dust production, then the NFPA 664 standards will apply. <br /> g) Demonstrate on an expanded site plan where access roads begin and end. Figure A2 <br /> demonstrates a partial idea of such access. <br /> h) Where and what is the fuel source for the required material handling equipment?This will need to <br /> be demonstrated. <br /> i) Submit an emergency plan for monitoring, controlling and extinguishing spot fires for review and <br /> approval. <br /> j) Provide portable fire extinguishers rated 4A;60B;C on all vehicles and equipment. <br /> 7) SAN JOAQUIN VALLEY AIR POLLUTION CONTROL DISTRICT(Staff Contact: Mark Montelongo, (559) <br /> 230-5905) <br /> a) The Districts Guidelines for Assessing and Mitigating Air Quality Impacts (GAMAQI)does not <br /> specifically identify a threshold of significance for PM10 emissions. However, the District <br /> recommends use of a 15 tons per year threshold as set by the New Source Review(NSR) Offset <br /> Requirements. Therefore the District recommends amending the MND and emissions assessments <br /> to reflect a 15 tons per year threshold of significance for PM10. Thresholds of significance for <br /> Reactive Organic Gas(ROG)and Oxides of Nitrogen (NOx)are also set in accordance with the NSR <br /> Offset Requirements. <br /> b) Currently the District is in the preliminary stages of developing a new draft rule(Draft Rule 4566)for <br /> Composting and Related Operations. The MRF/TS Compost Emission Estimates <br /> assessment/methodology may need to be revised based on the outcome of the rule development <br /> process. <br /> c) The project includes an expansion of 29,400 square feet to an existing 47,200 square foot building, <br /> and an additional 10,500 square foot expansion to an existing maintenance/administration building. <br /> The MND doesn't quantify or characterize the expansions construction related emissions. The <br /> District recommends quantifying construction related emissions and assessing the projects potential <br /> impacts on air quality. <br /> d) Construction activities include: the transport of materials to the construction site, on-site land <br /> preparation, vertical construction of the buildings, construction employee commute and equipment <br /> exhaust emissions. Project related short-term (construction) impacts should be considered <br /> significant if,with the implementation of mitigation measures, emissions exceed 10 tons per year of <br /> oxides of nitrogen (NOx), 10 tons per year of reactive organic gases(ROG), Or 15 tons per year <br /> particulate matter of 10 microns or less in size(PM1O). <br /> e) The proposed project may be subject to District Rule 2010 (Permits Required)and Rule 2201 (New <br /> and Modified Stationary Source Review). To obtain information about District permit requirements <br /> and whether an Authority to Construct(ATC)and Permit to operate (PTO)are required, and to <br /> identify other District rules or regulations that apply to this project, the applicant is strongly <br /> San Joaquin County PA-0800005\Tracy Material Recovery <br /> Community Development Page 16 <br />