Laserfiche WebLink
needed, then the County would accordingly propose amendments to the <br /> CHWMP. <br /> Another important consideration in determining whether commercial <br /> TSDFs should be built in the County is whether the two commercial <br /> facilities currently being proposed will receive approval and meet <br /> regulatory requirements. If the two facilities comply with state and <br /> federal standards and are granted approval , they could, at full <br /> operational capacity, treat the 6,898 tons of waste oil/oily sludge <br /> and the 708 tons of contaminated soil predicted to be generated in the <br /> County. The only significant waste groups remaining would then be <br /> metal -containing liquids, nonmetallic inorganic liquids, and pesti - <br /> cides. Metal -containing liquids comprise 10 percent of the total <br /> wastes projected to be generated in the year 2000, while nonmetallic <br /> inorganic liquids and pesticides each make up 9 percent of the pro- <br /> jected hazardous waste quantities. <br /> The other possible scenario is that the proposed facilities do not <br /> comply with regulatory requirements or are not granted the necessary <br /> permits. In either case, evaluating whether an oil recovery facility <br /> should be established in the County would be necessary. According to <br /> DHS estimates, a typical oil recovery treatment facility handles <br /> 10,000 tons of waste oil and oily sludge. In the County 6,898 tons of <br /> such wastes are projected to be generated by the year 2000. Other <br /> management options such as intercounty agreements for future oil <br /> recovery should be considered for oil wastes. Three commercial oil <br /> recovery facilities permitted by DHS to treat waste oil and oily <br /> sludge are California Oil Recyclers in San Mateo County, Demenno/- <br /> Kerdoon of Los Angeles County, and Refinery Services Incorporated, in <br /> Stanislaus County. <br /> PJ9 9390502D.000 9-2 Rev. 1 11/68/88 <br />