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BFC Property— UIC Drug lab page 3 <br /> 26237/26239 E. Miller Ave, Escalon <br /> Prior to transporting the contents of the holding tank, it should be sampled for <br /> total fecal and coliform content. Treatment facilities are limited to waste they can <br /> accept. It has been the experience of SJCEHD that municipal treatment plants <br /> cannot accept household septic waste that has been impacted by drug waste. <br /> Also, treatment facilities certified to receive and treat drug lab/volatile organic and <br /> other hazardous waste cannot accept wastes with biological/active coliform <br /> waste included. If your consultant/contractor is not familiar with the treatment <br /> facility protocols, you may contact Mr. Infurna to obtain some options for treating <br /> the biological/fecal waste prior to it being transported to a treatment facility <br /> certified to treat the hazardous waste. <br /> It is important that you ascertain and meet the characterization requirements of <br /> the facility prior to transporting the waste to that facility. Only a licensed/certified <br /> contractor can transport the waste and the Hazardous Waste Manifest must be in <br /> the report of findings submitted to SJCEHD. <br /> SJCEHD will review the work plan and process the Master File Record form and <br /> check when it is received. You will be notified in a comment letter if it meets the <br /> requirements of the investigation. <br /> If you have any questions you may contact Michael Infurna at (209) 468-3454. <br /> Donna Heran, REHS, Director <br /> EnvironmeI ealth D rtment <br /> Michael I furna, Se for REHS Margare Lagorio, RS <br /> UIC-Site Mitigation Unit IV Supervisor <br /> c: SJCEHD — Unit V, Alan Bierdelmann, Stockton. <br /> c: USEPA REG 9 — E. Janes, WTR-9, 75 Hawthorne St, SF 94105 <br />