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by Cove Contractors in the unlikely event that a fire occurs in <br />the waste. <br />Comment on Section A-17 <br />RDSI neglects to state local fire agency perimeter clearance <br />requirements and fails to document how the facility complies. <br />PHS requests a letter from the local fire authority stating that <br />the site is in compliance with the fire regulations. <br />Response to Comment on Section A-17 <br />On September 17, 1991, Kleinfelder contacted Captain White of the <br />Stockton Fire District and requested a letter indicating the site <br />is in compliance with their requirements and regulations. A copy <br />of the letter, when received, will be forwarded to PHS. <br />Comment on Section C-1 <br />RDSI states property as Assessor Parcel Number 177-020-28. Map <br />A-3 shows site property as Assessor Parcel Number 177-020-28 and <br />177-020-29. Please clarify what parcel the landfill is located <br />on. <br />Response to Comment on Section C-1 <br />The landfill is located on parcel number 177-020-29, which is <br />owned and operated by Cove Contractors, and contains the <br />remaining portions of the pit to be filled. Parcel 177-020-28 is <br />the parcel directly to the north of the pit. The "approximate <br />disposal area" on A-3, shows a small extension along the south <br />eastern portion of 177-020-28, which is based on borings <br />performed by Kleinfelder for the SWAT (Appendix F, see Plate <br />1.14) and review of historical aerial photographs for the <br />disposal site and clay mining operations. A discussion of the <br />existing waste based on historical data is in B-1.2 of the RDSI. <br />Comment on Section D-1 <br />RDSI indicates dirt access roads for the site. Section 17484 <br />Title 14 CCR states roads shall minimize dust and tracking of <br />material onto adjacent paved public roads. How will this be <br />resolved? <br />Response to Comment on Section D-1 <br />Dirt roads are commonly used at disposal sites for access to fill <br />areas. As mentioned in the comment on section A-8, above, a <br />8 <br />