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WASTE DISCHARGE REQUIREMENTS 9 <br /> FOR CITY OF STOCKTON <br /> FRENCH CAMP LANDFILL <br /> CLASS III LANDFILL <br /> SAN JOAQUIN COUNTY <br /> provisions and requirements with which the Discharger must comply. A violation <br /> of any of the Standard Provisions and Reporting Requirements is a violation of <br /> these waste discharge requirements. <br /> 2. The Discharger shall comply with all applicable provisions of 23 CCR Chapter 15 <br /> and 40 CFR Part 258 that are not specifically referred to in this Order. <br /> 3. The Discharger shall comply with Monitoring and Reporting Program No. 94- <br /> A, which is attached to and made part of this Order. This compliance <br /> lues, but is not limited to, maintenance of waste containment facilities and <br /> precipitation and drainage controls and monitoring ground water. leachate from the <br /> landfill units, the vadose zone and surface waters. throushout the active life of the <br /> waste management units and the post-closure maintenance period. A violation of <br /> Monitoring and Reporting Program No. 94- is a violation of these waste <br /> discharge requirements. <br /> 4. The Discharger shall maintain legible records of the volume and type of each <br /> waste discharged at each WMU and the manner and location of the discharge. <br /> Such records shall be maintained at the facility until the beginning of the post- <br /> closure maintenance period. These records shall be available for review by <br /> representatives of the Board and of the State Water Resources Control Board at <br /> any time during normal business hours. At the beginning of the post-closure <br /> maintenance period, copies of these records shall be sent to the Regional Board. <br /> 5. The Discharger shall provide proof to the Board within sixty days after <br /> completing final closure that the deed to the landfill facility property, or some <br /> other instrument that is normally examined during title search, has been modified <br /> to include, in perpetuity, a notation to any potential purchaser of the property <br /> statins that: <br /> a. the parcel has been used as a municipal solid waste landfill <br /> (MSWLF); <br /> b. land use options for the parcel are restricted in accordance with the post- <br /> ciosure land uses set forth in the post-closure plan and in WDRs for the <br /> landfill: and <br />