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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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debris processing facility. Pursuant to 14 CCR <br /> 17383.7 such a facility requires a full solid <br /> waste facilities permit. <br /> Question 14: In what tier would a soil disposal <br /> operation be slotted? The operation will take <br /> soils for disposal. They will blend different soils <br /> to make a plant, landscaping or building mix. <br /> The rest of the soil received is placed in small <br /> piles in rows on a closed landfill surface. These <br /> piles are often mixed with type A inert debris. <br /> At some point the piles are graded onto the <br /> landfill surface. I don't know if they are graded <br /> in to the landfill surface with the over sight of <br /> an engineer or to a certain specification. Would <br /> this slot as an engineered fill disposal site?The <br /> owner of the site would like to develop the <br /> landfill into a retail or industrial complex. <br /> Answer 14: Yes, pursuant to 14 CCR 17388(11 <br /> the use of one of the type A materials <br /> enumerated in that subsection as an aspect of <br /> the soil disposal operation could be considered <br /> an inert debris engineered fill operation If It <br /> meets specifications in 14 CCR 17388 and <br /> 17388.3. <br /> Note: The enforcement agency should review <br /> issues relative to the post-closure land use at <br /> the closed landfill. Alternatively, if it does not <br /> qualify as an inert debris engineered fill <br /> operation, the activity might be considered an <br /> inert debris type A disposal facility (14 CCR <br /> 17388(m) and 17388.4). <br /> Question 15: Does 14 CCR 17383.7(d) mean <br /> all three: land use entitlement, storage plan <br /> and financial assurances requirements, have to <br /> be met in order to extend the storage time <br /> limit? <br /> Answer 15: No. Only one is required. The final <br /> statement of reasons developed as part of the <br /> rulemaking and submitted to the Office of <br /> Administrative Law further clarifies this by <br /> stating the following: "This section is necessary <br /> to accommodate alternatives to proposed <br /> regulations that offer similar or equivalent <br /> assurances to compliance standards or <br /> extensions of storage limits in order to protect <br /> public health, safety, and the environment. <br /> Longer storage periods may facilitate <br />
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