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should co tinue to prioritize enforcement on violations that present immediate <br /> risks to the public health or the environment. <br /> 5. The CIWMB January 11, 2006 guidance document states: `If an operator <br /> fails to take steps to prevent hazardous waste from being received or <br /> removed from the commingled waste stream then violations should be noted <br /> and appropriate enforcement action should be taken." Please clarify this <br /> statement <br /> Title 14 a Title 27 require operators of transfer facilities and landfills, <br /> respective) to implement programs to prevent acceptance of prohibited materials. <br /> It is under tood that no load check program will be able to prevent all hazardous <br /> waste fro entering a solid waste facility. The load check program must <br /> therefore i clude procedures for removing hazardous waste that is identified <br /> entering a acility. Failure to take steps to in accordance with an approved load <br /> checking p ogram or permit requirements in recognition of worker health and <br /> safety sho Id be noted and appropriate enforcement action should be taken. <br /> 6. In the C MB January 11, 2006 guidance document, one of the suggested <br /> questions o consider during an inspection asks whether the hazardous waste <br /> collection nd storage areas are identified in site plans or reports. If the <br /> storage ar as are not clearly designated is that a violation or a need for a <br /> permit ch nge? <br /> The current requirement is that hazardous waste handling areas be identified in <br /> the RFI. Upless there is a solid waste facility permit condition specifically <br /> controlling the storage area, there is no need to change the permit to designate the <br /> extent of tiu storage area. If the storage area is not clearly designated in the RFI <br /> or other site plans, the LEA should take into account the need for a transition <br /> period and -equire the owner/operator to update the RFI or site plan in a timely <br /> manner. <br />