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COMPLIANCE INFO
Environmental Health - Public
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EHD Program Facility Records by Street Name
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TRACY
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5749
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2231-2238 – Tiered Permitting Program
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PR0536534
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COMPLIANCE INFO
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Last modified
6/30/2020 10:41:52 AM
Creation date
6/23/2020 6:37:02 PM
Metadata
Fields
Template:
EHD - Public
ProgramCode
2231-2238 – Tiered Permitting Program
File Section
COMPLIANCE INFO
RECORD_ID
PR0536534
PE
2238
FACILITY_ID
FA0020975
FACILITY_NAME
TRACY MUNICIPAL AIRPORT (SJC HHW COLLECTION)
STREET_NUMBER
5749
Direction
S
STREET_NAME
TRACY
STREET_TYPE
BLVD
City
TRACY
Zip
953778116
APN
25311016
CURRENT_STATUS
04
SITE_LOCATION
5749 S TRACY BLVD
QC Status
Approved
Scanner
SJGOV\rtan
Supplemental fields
FilePath
\MIGRATIONS\TP\TP_2238_PR0536534_5749 S TRACY_.tif
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EHD - Public
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Muniappa Naidu [EH] 0 0 <br />Page 1 of 2 <br />From: Kimbra Andrews [kandrews@sjgov.org] <br />Sent: Wednesday, October 03, 2012 10:32 AM <br />To: Muniappa Naidu [EH] <br />Subject: FW: HHWie meeting yesterday <br />Attachments: kimbra q&a.docx <br />See attached. <br />Kimbra Andrews • Management Analyst <br />Solid Waste Div. • San Joaquin County Public Works <br />Phone: (209) 468-3066 • Fax: (209) 468-3078 <br />Email: kandrews@sjgov.org <br />From: Sanchez, Kevin@DTSC [mai Ito: Kevin. Sanchez@dtsc.ca.gov] <br />Sent: Tuesday, October 02, 2012 11:08 AM <br />To: Kimbra Andrews <br />Subject: RE: HHWie meeting yesterday <br />Hi Kimbra, <br />Attached are the answers to your questions. I hope this information is helpful. <br />Kevin <br />From: Kimbra Andrews (mai Ito: kandrew0tsigov.org1 <br />Sent: Monday, October 01, 2012 4:06 PM <br />To: Sanchez, Kevin@DTSC <br />Subject: RE: HHWie meeting yesterday <br />Hi Kevin, no problem. Your presentation was actually really helpful! You answered a lot of our CUPA <br />inspector's questions about the oil program. <br />There is another issue that we've been debating for some time— I hope you can shed some light on <br />this: <br />I've always been under the impression that our permanent HHWF is considered a "TSDF" for HHW <br />collection and therefore can sign as the designated facility on manifests for HHW delivered from the <br />County's (1) temporary HHW collection events and (2) load check HHW pulled from the waste stream at <br />our County solid waste facilities. <br />I guess I have multiple questions: <br />1) Does HHW transported to our permanent HHW facility from temporary HHW events and <br />municipal load check programs need to be shipped on a uniform hazardous waste manifest (and <br />if not, could we just use a BOL)? <br />2) Can our permanent HHW facility serve as a TSDF and "kill" the manifests (sign on line 20) as the <br />receiving facility? <br />3) If the answer to #2 is "yes," do these manifests then have to be mailed to the State, just like we <br />do with the manifests shipped from the permanent HHW facility? <br />4) If reusable items are diverted from a temporary HHW event and we want to take them back to <br />our permanent HHW facility's reuse room, may we ship the items on a BOL since we received <br />the material and made the determination that it was not a waste (even through the residential <br />customer discarded it at the event)? <br />5) Is there any law/section you can cite to verify, if HHWFs can in fact serve as TSDFs for the <br />10/18/2012 <br />
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