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I <br /> G SUMMARY OF ALLEGED VIOLATIONS <br /> L Musco violation of Fish and Game Code Section 56501(d) on discharge of <br /> wastewater to drainage swale deleterious to fish, plant life or bird life. <br /> 2. Musco unlawfully placed berms in an on-site drainage Swale to keep its <br /> agricultural return flows on site. <br /> 3. Musco has constructed various portions of its Tracy facility without first <br /> obtaining necessary county permits. <br /> 4. . Musco has operated a domestic water supply system for its employees without <br /> obtaining necessary permits from the Department of Health Services. <br /> 5. Musco hasoperated its Tracy facility ithout an adequate domestic septic system. <br /> �/�� A07 44*1 sixe- <br /> 6. Musco has failed to obtain a business license in a timely manner. <br /> 7. Musco has dumped its solid waste on the site without regard to human health and <br /> the environment. <br /> 8. Musco unlawfully and substantially diverted or obstructed the natural flow or <br /> substantially changed the bed, channel or bank of the drainage swale without first notifying the <br /> Department of Fish and Game. <br /> 9. Musco violated Health and Safety Code Section 25503.5 by failing to prepare a <br /> business plan for emergency response for its Tracy facility, violated Health and Safety Code <br /> Section 25505 by failing to file such emergency business response plan for 2002, and failed to <br /> train its employees on the proper handling of hazardous materials. <br /> 10. Musco has engaged in acts of unlawful and/or unfair competition prohibited by <br /> California Business and Professions Code Sections 17200-17208. <br /> Port1nd3-1427443.1 0014990-00005 <br />