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1-10 <br /> 1.10 Demonstration of Financial Assurance <br /> Closure/Post-Closure/Corrective Action Maintenance Fund <br /> In accordance with 27 CCR, Chapter 6 and 40 CFR, Subpart G, an operator must <br /> demonstrate financial assurance for the proper closure, post-closure maintenance, and <br /> corrective action for reasonably foreseeable releases at a landfill. The financial assurance <br /> mechanism documentation in-place for the FL is included in the 2013 JTD as Appendix C. <br /> Upon approval of this Amendment (Amendment No. 4), the closure cost estimate presented <br /> in Table 3 will serve as the basis for closure funding utilizing an approval financial assurance <br /> mechanism. It should be noted that a Non-Water Release Corrective Action Plan (NWRCAP) <br /> for FL (GLA, 2011) was submitted to the regulatory agencies and approved by CalRecycle in <br /> 2012. Based on the 2011 NWRCAP, the FL will maintain costs associated with the reasonably <br /> foreseeable release to groundwater for the basis of the corrective action financial assurance in <br /> accordance with 27 CCR, Section 22221. A copy of the NWRCAP is included as Attachment 4. <br /> 1.11 California Environmental Quality Act Documentation (CEQA) <br /> As discussed above, stand alone Partial FCPCMP have been and will be prepared in advance <br /> of each closure area (stage). The operator will comply with CEQA and evaluate potential <br /> impacts associated with each staged closure project. Appropriate CEQA documentation will <br /> be prepared in support of obtaining agency approval of the Partial FCPCMPs. <br /> Forward Landfill SWT Engineering <br /> PCPCMP Amendment No.4-May 2013 <br /> z:\projects\allied waste\forward\five year permit rvw 2013\jtd-5 yr pr 2013\appendices\app a-pcpcmp 2013\pcpcmp amend 2013.doc <br />