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would like to down-tier from a full permit to an <br /> enforcement agency notification tier as an inert <br /> debris engineered fill operation. The current <br /> permit allows for 6,000 tons per day. On the <br /> enforcement agency notification form the <br /> operator indicated that they were going to take <br /> 7,500 tons per day. Per 14 CCR 17388.3 there <br /> is no restriction on how much inert material is <br /> allowed in this tier. Can the operator increase <br /> the daily maximum tonnage when down-tiering <br /> from a full permit to an enforcement agency <br /> notification? <br /> Answer 17: 14 CCR 17388.3 does not limit <br /> the maximum daily tonnage for an inert debris <br /> engineered fill operation. The operator must <br /> comply with all peak tonnages in other permits <br /> from other agencies. The operations plan <br /> required by 14 CCR 17390(a) requires the <br /> operator to include information regarding types <br /> and daily quantities of waste or debris to be <br /> received. <br /> Question 18: An inert debris engineered till <br /> operation in our jurisdiction stockpiles about <br /> 450 tons per day of type A inert debris on-site <br /> for crushing (processing). The materials have <br /> been source separated at the point of <br /> generation and include cured asphalt, <br /> uncontaminated concrete, brick, ceramics and <br /> clay and clay products. These may be <br /> associated with mixed rock and soil. The <br /> residual requiring disposal is less than 1101 . A <br /> piece of equipment that crushes the material <br /> comes every 6-9 months to crush the material. <br /> The operator is claiming that this stockpile and <br /> crushing operation is an inert debris recycling <br /> center pursuant to 14 CCR 17381.1(a). Is this <br /> operation an inert debris recycling center <br /> pursuant to 14 CCR 17381.1(a) or an inert <br /> debris type A processing operation pursuant to <br /> 14 CR 17383.7? Is "crushing" considered <br /> "processing" or"chipping and grinding?" <br /> Answer 18: This operation is an inert debris <br /> recycling center pursuant to 14 CCR <br /> 17381.1(a). The operation receives only type A <br /> inert debris that is source separated. Crushing <br /> is allowed at an inert debris recycling center. <br /> Storage times at an inert debris recycling <br /> center are outlined in 14 CCR 17381.1(e). <br /> There are no storage time limits for inert debris <br />