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ARCHIVED REPORTS_2003
Environmental Health - Public
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ARCHIVED REPORTS_2003
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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
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EHD - Public
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application is complete. Resolution 2002-413 <br /> revised outlines the CIWMB policy decision. <br /> Question 12: Source separated, separated for <br /> reuse construction &demolition material is <br /> received at a site along with some raw woad <br /> (branches, stumps). No tip fee is charged and <br /> material is load checked. The loads are sorted <br /> to pull out materials appropriate for use In the <br /> manufacture of pallets (2x4s, 2x6s, plywood <br /> sheets). Materials not suitable for the pallet <br /> manufacture are chipped into sawdust that is <br /> immediately transferred to a facility <br /> manufacturing plywood, particleboard and <br /> decking products. Very little residual is created. <br /> Although the operator has discussed accepting <br /> green waste and inert debris for processing, <br /> that is a potential future activity. Is this facility <br /> exempt? <br /> Answer 12: No. It is not exempt. The <br /> 17402.5(c)(5) manufacturing definition does <br /> not apply here. This site is a manufacturer <br /> when it makes pallets, but not when it chips <br /> construction and demolition debris and trees <br /> into sawdust, which it then sells to a <br /> manufacturer pursuant to 14 CCR 17862.1. The <br /> activity of manufacturing pallets is no different <br /> than the chipping and grinding to produce <br /> wood mulch or to sell chipped wood to a <br /> company that manufacturers plywood. <br /> Note: Check to see if this site falls into the <br /> small quantity exclusion, i.e., 14 CCR <br /> 17382(a)(4)(B) for chipping and grinding sites <br /> that handle less than 500 cubic yards on-site at <br /> any one time. <br /> Question 13: What tier would a type A Inert <br /> debris processing facility be placed in if it is <br /> more the 1,500 tons a day of type A inert <br /> debris? Keep in mind that the material handled <br /> is only type A inert debris, but there may be a <br /> very small residual of type B inert debris. <br /> Would that place them in a full permit tier? <br /> Answer 13: Pursuant to 14 CCR 17381(a) a <br /> 1,500 tons per day construction and <br /> demolition/inert debris processing facility of <br /> any combination of construction and demolition <br /> debris and type A inert debris is defined as a <br /> large volume construction and demolition/inert <br />
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