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COMPLIANCE INFO_1968-2006
Environmental Health - Public
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4400 - Solid Waste Program
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PR0515730
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COMPLIANCE INFO_1968-2006
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Last modified
11/19/2024 1:50:43 PM
Creation date
7/3/2020 10:38:07 AM
Metadata
Fields
Template:
EHD - Public
ProgramCode
4400 - Solid Waste Program
File Section
COMPLIANCE INFO
FileName_PostFix
1968-2006
RECORD_ID
PR0515730
PE
4430 - SOLID WASTE CIA SITE
FACILITY_ID
FA0012310
FACILITY_NAME
WORLD ENTERPRISES
STREET_NUMBER
3504
Direction
S
STREET_NAME
TURNPIKE
STREET_TYPE
RD
City
STOCKTON
Zip
95206
APN
17517018
CURRENT_STATUS
Active, billable
SITE_LOCATION
S TURNPIKE RD
P_LOCATION
99
P_DISTRICT
001
QC Status
Approved
Scanner
SJGOV\cfield
Supplemental fields
FilePath
\MIGRATIONS\SW\SW_4430_PR0515730_0 S TURNPIKE_1968-2006.tif
Site Address
3504 S TURNPIKE RD STOCKTON 95206
Tags
EHD - Public
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On 14 Feb 1986 the LEA notified the operator to apply for a <br /> revised permit to reflect the improvements and to address closure <br /> as required under Title 14. <br /> - On August 8, 1986 the RWQCB issued Notice of Tentative Order <br /> which established Subchapter 15 Closure and Post-Closure Waste <br /> Discharge Requirements for the facility. <br /> -On 14 Aug 1986 the LEA received an application for permit with <br /> an amended Report of Disposal Site Information and is currently <br /> in the process of reviewing the reports submitted for adequacy <br /> prior to the development of a Solid Waste Facilities closure <br /> permit. <br /> The Regional Water Quality Control Board has required in its <br /> Tentative Order that all future owners of these subdivided <br /> parcels be bound by a Declaration of Protective Covenants and <br /> Restrictions which requires all of these parties to abide by the <br /> Closure and Post-Closure Waste Discharge Requirements adopted by <br /> the Board. Solid Waste Facilities Permits normally mention the <br /> Waste Discharge Requirement as part of the permit. <br /> A Subchapter 15 Waste Discharge Requirement does not, however, <br /> address the protection of structures or utilities from landfill <br /> gas, nor does it control those factors which impact the potential <br /> for gas problems, such as irrigated landscaping or void-producing <br /> differential settlement of unconsolidated fill. <br /> The LEA has been directed to address all identified closure <br /> concerns by ensuring that appropriate Solid Waste Facilities <br /> Permit conditions, prohibitions, and requirements are binding <br /> upon all current and subsequent owners of these properties <br /> through inclusion in the Declaration of Restrictions. <br /> 2. Sparks-Raines Development, Gfeller Development Co. - Orange <br /> Co. <br /> Development is intended for property on, and adjacent to, three <br /> old adjacent fill areas, the Anderson Pit, Sparks-Raines and <br /> Sent-Pac landfills. <br /> - original plans were to excavate the old fill but the developer <br /> has now decided to construct on old fill, utilizing pilings, and <br /> on land adjacent to old fill . <br /> - It was recommended that landfill gas monitoring probes be <br /> installed along all boundaries of these facilities. If gas <br /> migration is substantiated by monitoring a control system would <br />
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