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CORRESPONDENCE_2003-2005
Environmental Health - Public
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CORRESPONDENCE_2003-2005
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Last modified
4/17/2023 4:15:06 PM
Creation date
7/3/2020 10:49:30 AM
Metadata
Fields
Template:
EHD - Public
ProgramCode
4400 - Solid Waste Program
File Section
CORRESPONDENCE
FileName_PostFix
2003-2005
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
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SJGOV\cfield
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FilePath
\MIGRATIONS\SW\SW_4433_PR0440005_9999 AUSTIN_2003-2005.tif
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EHD - Public
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Joaquin County Environmental Bath Department State Focused Inspection Report <br /> SanJoaq ty p <br /> Forward Landfill <br /> SWIS#39-AA-0015 <br /> (b)Beneficial reuse shall be restricted to quantities of solid wastes no more than necessary to meet the minimum <br /> requirements of(a). Should the CIWMB determine that an owner or operator violated this standard,the owner or <br /> operator shall revise the applicable reports to reflect the overuse as disposal,and pay the required Board of Equalization <br /> disposal tipping fees for the amount of overuse. <br /> (c) Storage and handling of solid waste and derived materials for beneficial reuse shall be conducted in a manner to <br /> protect public health and safety and the environment,and control vectors, fires,odors,and nuisances. <br /> (d)The owner or operator shall maintain a record of beneficial reuse in accordance with Title 14,California Code of <br /> Regulations,section 18800 et seq.The records shall be available for inspection by authorized representatives of the <br /> enforcement agency,the local health agency,and the CIWMB during normal business hours and retained in the <br /> operating record near the site or in an alternative location approved by the enforcement agency. <br /> During the review of the tonnage reports for Forward Landfill it was noted that on 28 separate occasions the facility had <br /> a refuse to cover ratio of approximately 3:1 or less over a 66 day period. This is in conflict with Forward Landfill's Joint <br /> Technical Document which states that the refuse to cover ratio is 6:1. <br /> Forward Representatives need to provide the local enforcement agency and CIWMB staff information that clarifies why <br /> it is necessary to use so much cover material to cover the active face. <br /> This regulation(Section 20686—Beneficial Reuse)requires alternative daily cover reuse to comply with the <br /> requirements of Section 20690. Section 20690(a)(7)states that waste derived materials used as alternative daily cover <br /> shall be restricted to quantities no more than necessary to meet the performance requirements of this section. Should the <br /> CIWMB determine after consulting with the EA that an owner or operator violated this standard,the owner or operator <br /> shall revise the applicable reports to reflect the overuse as disposal,and pay the required Board of Equalization disposal <br /> tipping fees for the amount of overuse. <br /> Also during the review of the tonnage reports for Forward Landfill it was noted that 9,726.03 tons of waste was <br /> identified as beneficial reuse over four days from March 7,2005 through March 10,2005 and an additional 10,649.26 <br /> tons of waste was identified as beneficial reuse over four days from February 22,2005 through February 25,2005. <br /> Forward Representatives need to provide the local enforcement agency and CIWMB staff information that clarifies in <br /> what capacity this beneficial reuse material was used for. <br /> As stated in Section 20686(b)above,should the CIWMB determine that an owner or operator violated this standard,the <br /> owner or operator shall revise the applicable reports to reflect the overuse as disposal,and pay the required Board of <br /> Equalization disposal tipping fees for the amount of overuse. <br /> 2. Section 20690(a)(5)—Alternative Daily Cover. This section states, in part,that the owner or operator shall maintain a <br /> record of waste derived alternative daily cover in accordance with Title 14,California Code of Regulations,Section <br /> 18800 et. seq.The records shall be available for inspection by authorized representatives of the EA,the local health <br /> agency,and the CIWMB during normal business hours and retained in the operating record near the site or in an <br /> alternative location approved by the enforcement agency. <br /> Per a review of several months worth of Daily Cover Certification records used by Forward Landfill it was noted that <br /> each record indicated that green waste alternative daily cover or a combination of green waste alternative daily cover and <br /> tarpaulins were used. However,on the day of the inspection the working face was covered with treated auto shredder <br /> waste and Forward Landfill representatives indicated that treated auto shredder waste had been used frequently over the <br /> past several months. When asked why the Daily Cover Certification records did not indicate any use of treated auto <br /> shredder waste local enforcement agency staff and CIWMB staff were told that site personnel probably just fill out the <br /> form the same way every day. This is an area of concern. <br /> COMMENTS: <br /> The only tonnage records immediately available for review at the focused inspection were from February 1,2005 <br /> through April 18,2005. Forward Representatives stated that the would send inspections reports covering a period of one <br /> year back from the focused inspection date of April 20,2005 via the Federal Express delivery service. At the time this <br /> inspection report was mailed,May 3,2005,CIWMB staff had not received the requested tonnage records. <br /> Page 6 of 6 Inspector <br />
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