My WebLink
|
Help
|
About
|
Sign Out
Home
Browse
Search
ARCHIVED REPORTS_2003
Environmental Health - Public
>
EHD Program Facility Records by Street Name
>
A
>
AUSTIN
>
9999
>
4400 - Solid Waste Program
>
PR0440005
>
Archived Reports
>
ARCHIVED REPORTS_2003
Metadata
Thumbnails
Annotations
Entry Properties
Last modified
7/18/2020 3:39:42 AM
Creation date
7/3/2020 10:49:11 AM
Metadata
Fields
Template:
EHD - Public
ProgramCode
4400 - Solid Waste Program
File Section
ARCHIVED REPORTS
FileName_PostFix
2003
RECORD_ID
PR0440005
PE
4433
FACILITY_ID
FA0004516
FACILITY_NAME
FORWARD DISPOSAL SITE
STREET_NUMBER
9999
STREET_NAME
AUSTIN
STREET_TYPE
RD
City
MANTECA
Zip
95336
APN
20106001-3, 5
CURRENT_STATUS
01
SITE_LOCATION
9999 AUSTIN RD
P_LOCATION
99
P_DISTRICT
004
QC Status
Approved
Scanner
SJGOV\rtan
Supplemental fields
FilePath
\MIGRATIONS\SW\SW_4433_PR0440005_9999 AUSTIN_2003.tif
Tags
EHD - Public
There are no annotations on this page.
Document management portal powered by Laserfiche WebLink 9 © 1998-2015
Laserfiche.
All rights reserved.
/
51
PDF
Print
Pages to print
Enter page numbers and/or page ranges separated by commas. For example, 1,3,5-12.
After downloading, print the document using a PDF reader (e.g. Adobe Reader).
View images
View plain text
health and safety and/or the environment <br /> posed by the operation and whether the <br /> operator knowingly disregarded the regulations <br /> when commencing or continuing operations <br /> after implementation of said regulations. <br /> Question 10: Chipping and grinding of any <br /> material, or the receipt of chipped and ground <br /> material, is prohibited at construction and <br /> demolition debris/inert debris recycling centers. <br /> So, if a company chips and grinds source <br /> separated wood pallets it cannot be a <br /> construction and demolition debris and inert <br /> debris recycling center. Right? <br /> Answer 10: Yes. Pursuant to 14 CCR <br /> 17381.11c1, chipping and grinding of any <br /> material is prohibited at a construction and <br /> demolition debris/inert debris recycling center. <br /> Chipping and grinding is not the same as <br /> crushing of inert debris. The chipping and <br /> grinding activity would require the appropriate <br /> tiered permit (enforcement agency notification, <br /> registration permit, or full permit) based on the <br /> amount of material received. <br /> Question 11: If a construction and demolition <br /> and inert debris transfer/processing <br /> activity/facility is located at a landfill or <br /> transfer/processing facility that has a tiered or <br /> full permit is the construction and demolition <br /> and inert debris transfer/processing <br /> activity/facility required to be identified in the <br /> jurisdiction's nondisposal facility element <br /> before the enforcement agency can process the <br /> paperwork for the EA notification/permit? <br /> Answer 11: The finding of consistency with <br /> the nondisposal facility element is required for <br /> permits only, not for enforcement agency <br /> notifications. If the activity/facility was in <br /> existence prior to August 2002 (when the <br /> CIWMB made a policy determination) and was <br /> also described in the report of facility <br /> information and/or permit, then they were <br /> "grandfathered" for purposes of finding <br /> conformance with the nondisposal facility <br /> element relative to a permit action only. If the <br /> activity/facility commenced operations after <br /> August 2002, then they are subject to the <br /> conformance finding requirements before the <br /> enforcement agency can find that the permit <br />
The URL can be used to link to this page
Your browser does not support the video tag.