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® In early 2006, improving trends in water quality at MW-4 were noted, apparently beginning in late <br /> 2004. The County believes that this is the result of removing ponding from the drainage ditch <br /> along the east side of the landfill completed in late 2003. <br /> In February 2006, the California Department of Resources, Recycling, and Recovery (CDRRR— <br /> previously CIWMB)required additional investigation of the closure cap and refuse on the eastern <br /> edge of the landfill footprint. <br /> In March 2006,the County formally submitted the results of the investigation and a proposed plan <br /> to upgrade and extend the closure cap adjacent to the access road to the Local Enforcement <br /> Agency (LEA) and CDRRR. The closure cap would be extended using geo-composite clay liner <br /> (GCL) <br /> In August 2006, CVRWQCB staff issued a violation for"insufficient groundwater monitoring" of <br /> the shallow aquifer on the western side of the landfill; however, a shallow aquifer does not exist <br /> on the western side of the landfill. <br /> In October of 2006,the County proposed a Phase 2 investigation of the extent of closure cap, <br /> incorporating comments from the LEA and CDRRR staff received since February 2006. <br /> In December 2006, CVRWQCB staff issued a violation for VOCs in groundwater at monitoring <br /> well MW-5 (present since 1991), and directed the County to perform evaluation monitoring. <br /> In mid-January 2007,the County submitted a revised Phase 2 plan to further define the edge of <br /> closure cap and refuse along the eastern footprint edge, incorporating further comments from <br /> CDRRR and CVRWQCB staff. <br /> In late January 2007,the County submitted a proposal to increase corrective action along the <br /> eastern edge of the landfill footprint in response to the violation received in December 2006. <br /> On March 9, 2007, CVRWQCB staff issued a second violation for the VOCs present in <br /> groundwater since 1991 at monitoring well MW-5. <br /> In March 2007,the County submitted an Evaluation Monitoring Program(EMP)work plan in <br /> response to the directive by RWQCB staff to further assess the nature and extent of potential off- <br /> site migration of landfill gas in the vadose zone, and VOCs and chloride in the shallow aquifer. <br /> The EMP included the installation of two permanent groundwater monitoring wells, and <br /> groundwater and vadose zone soil gas sampling at nine temporary borings in the shallow aquifer <br /> outside County property. <br /> On August 17, 2007,the County fully delineated the extent of refuse within County property, <br /> allowing design of the closure cap over the refuse not now provided with a closure cap. This <br /> investigation also indicated the possibility of refuse in the adjacent Caltrans property. <br /> On August 16, 2007, at the request of Caltrans,the County performed a cursory investigation of <br /> the Caltrans property adjacent to the landfill. Refuse was found that was apparently consistent <br /> ® with normal household refuse placed during normal landfill operations. The refuse in Caltrans <br /> property was apparently placed prior to purchase by Caltrans while the City of Tracy operated the <br /> Corral Hollow Sanitary Landfill 5 Department of Public Works/Solid Waste <br /> 1s`Quarter 2013 Groundwater Monitoring County of San Joaquin—April 15,2013 <br />