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Angelica Sandoval Marin [EH] <br /> From: Angelica Sandoval Marin [EH] <br /> Sent: Wednesday, January 06, 2016 9:54 AM <br /> To: 'Emery, Kyle@Cal Recycle' <br /> Cc: Robert McClellon [EH]; Michael Kith [EH] <br /> Subject: RE: 10830 S Harlan Road- TPID#1831513 <br /> Attachments: 10830 S Harlan Road, French Camp, CA.pdf <br /> Kyle, <br /> I have attached the corrected copy of the inspection report. <br /> Thanks <br /> Angelica <br /> From: Emery, Kyle@CalRecycle [maiIto:Kyle.Emery@caIrecycle.ca.gov] <br /> Sent: Wednesday, November 04, 2015 4:21 PM <br /> To: Angelica Sandoval Marin [EH] <br /> Cc: Robert McClellon [EH]; Michael Kith [EH] <br /> Subject: Inspection Report Review <br /> Hello Angelica, <br /> After reviewing your most recent inspection reports, I have t following questions and comments. <br /> • TPID 1831513—Arrow Truck Sales. In inspection r4port 11-1245323,you asked that the TPID be closed and the <br /> operational status,you marked as active. I cannot closed this TPID at this time without triggering an error in <br /> WTMS. If this was done in error, please send a copy of the corrected inspection report.When received, I will <br /> close and submit to WTMS. <br /> • TPID 1685917—Basalite Concrete Products. Initial name of facility in WTMS was"Base of Light Transportation" <br /> (see attached PDF),and facility name in inspection report 11-1245341 was Basalite Concrete Products, LLC. <br /> Subsequent review of previous inspections indicate business name is Basalite. Name was corrected in WTMS. In <br /> future inspection preparation, review WTMS information, ensure facility names are correct, and check that TPID <br /> certificates have correct facility information when inspecting. <br /> • TPID 1373535- HRM Plumbing. In the comment section,you indicated that"If any waste tires are generated <br /> onsite, a registered hauler must pick them up a provide a manifest".This is incorrect.A facility may use an <br /> unregistered hauler if they haul 9 tires or less, and they can also self-haul 9 or less and keep a log sheet of <br /> number of tires removed from facility. Please refer to PRC 4294. In future inspections, if a facility does not have <br /> any CTL activity in last 3 years,there are zero tires, and do not generate tires at location, please consider closing <br /> TPID. <br /> Wanted to mention that in several of your inspection reports, business types were marked as new or used tire dealers <br /> and facility having several hundred waste tires, however, I did not notice in comment section that a permit exclusion <br /> notification was issued.What is your process for issuing permit exclusion notifications to businesses? <br /> As a guideline, if the facility is qualified for a permit exclusion, and the possibility exists for that facility to exceed 499 <br /> waste tire, it is recommended that the facility be given a permit exclusion notification. <br /> Part(a) of§18431.2 Permit Exclusion states: <br /> 1 ELLE COPY <br />