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CORRESPONDENCE_2003-2005
Environmental Health - Public
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EHD Program Facility Records by Street Name
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4400 - Solid Waste Program
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PR0440005
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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
Scanner
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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Regulations Implementation Guidance for LEAs <br /> Questions and Answers: <br /> Construction and Demolition <br /> and Inert Debris <br /> Transfer/Processing <br /> Regulations <br /> If you have a question that you would like answered here <br /> please submit it to Robert Holmes. Don't forget to make it dear <br /> that the question is one you would like placed on this page-- <br /> include the URL or web address in your e-mail. <br /> Question 1: Does the clean up of a legacy pile of concrete and <br /> asphalt require a permit? <br /> Answer 1: If the processing and removal of the pile Is part of <br /> a required clean up directed by a regulating agency,no permk <br /> will be required as long as no offsite material is received. <br /> Question 2: It was repeatedly stated during the regulatory <br /> development process that naturally occurring clean soil and <br /> rock are not regulated as solid waste.The initial statement of <br /> reasons for the construction and demolition waste and inert <br /> debris disposal regulations seem to say this as well as the 1996 <br /> final statement of reasons for the nonhazardous petroleum <br /> contaminated soil regulations. Are there any other written <br /> guidance documents from the CIWMB that you are aware of <br /> that reiterate this position? <br /> Answer 2: The CIWMB has provided no such guidance as 4 is <br /> believed that solid waste statutes, regulations,and supporting <br /> documents clearly indicate that there is no intent to regulate <br /> clean soil and rock. <br /> Question 3:An operation takes in 3,000 tons per day of <br /> presorted inert construction debris(i.e.,asphalt,concrete with <br /> contained rebar,concrete block,and brick; no wood,no <br /> putrescibles). Residuals consist of tarps used between layers:of <br /> asphalt(likely less than 10 percent). Operation produces 2Jr- <br /> 2"spec. and non-spec. AB,sand,clean fill dirt,and scrap <br /> metal.The materials are shipped to area construction projects <br /> for road and pad fill and base, and pipe bedding. Storage tines <br /> vary depending on demand for product. Which tier would this <br /> operation fit? <br /> Answer 3: Since the materials appear to be type A inert <br /> debris,the residuals are less than 10 percent and the <br /> putrescibie less than 1 percent,this Is an inert debris recycliling <br /> center,subject only to the time limitations, as described In j <br /> CCR 17381.1. <br /> Question 4: Drywall crushing operation consisting of post <br /> consumer and off-spec. material from a drywall manufacturer. <br /> Operator crushes the material then ships it to local farmers for <br /> use as soil amendment. Is this activity subject to the <br /> construction and demolition regulations? <br /> Answer 4: Yes.This site would be considered a construction <br /> and demolition debris and inert debris recycling center subject <br /> to the time limitations as described in 14 CCR 17381.1. <br />
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