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COMPLIANCE INFO_2000-2012
Environmental Health - Public
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4400 - Solid Waste Program
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PR0523714
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COMPLIANCE INFO_2000-2012
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Last modified
11/19/2021 12:29:35 PM
Creation date
7/3/2020 11:11:52 AM
Metadata
Fields
Template:
EHD - Public
ProgramCode
4400 - Solid Waste Program
File Section
COMPLIANCE INFO
FileName_PostFix
2000-2012
RECORD_ID
PR0523714
PE
4443
FACILITY_ID
FA0018712
FACILITY_NAME
GRO-WELL BRANDS
STREET_NUMBER
4343
Direction
S
STREET_NAME
MCKINLEY
STREET_TYPE
AVE
City
STOCKTON
Zip
95206
APN
19302009
CURRENT_STATUS
02
SITE_LOCATION
4343 S MCKINLEY AVE
P_LOCATION
99
P_DISTRICT
001
QC Status
Approved
Scanner
SJGOV\sfrench
Supplemental fields
FilePath
\MIGRATIONS\SW\SW_4443_PR0523714_4343 S MCKINLEY_FILE 1.tif
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EHD - Public
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SOC Nursery Products NOEC <br /> January 30,2002 <br /> Page 2 of 5 <br /> process, the proposed project should be described in sufficient detail and the potential <br /> environmental impacts must be identified clearly in the environmental assessment/Initial Study <br /> Section of the ED. Mitigating measures to reduce potentially significant environmental Impacts <br /> should be incorporated into the project, when feasible, in order to avoid potentially significant <br /> effects upon project implementation. When a potential significant environmental effect is <br /> identified and an argument is made as to why no mitigation is necessary, the discussion/analysis <br /> should be in sufficient detail that the reviewer/decision-maker can understand the lead agency's <br /> reasoning for their determination. In order to expedite document preparation and minimize <br /> redundancy-supporting documentation and/or studies would be helpful and should be <br /> incorporated by reference in the ED. <br /> ERS STAFF'S COMMENTS <br /> To assist ERS staff's analysis and evaluation of this project, and to determine the adequacy of <br /> the proposed environmental documents for IWMB concurrence purposes, we request that the <br /> following comments and questions be addressed in the document under preparation by the lead <br /> agency prior to circulation of the document. If these have already been addressed in an existing <br /> document(e.g. Report of Composting Site Information), please indicate the document, page <br /> number(s) and section(s), and provide copies to the State Clearinghouse and IWMB along with <br /> the prepared ED. <br /> Cumulative Impacts <br /> It is important that the ED identify potentially significant cumulative impacts resulting from the <br /> proposed project and any combined projects within the project vicinity as well as those <br /> incremental impacts resulting from the proposed project's implementation. <br /> Land Use Compatibility <br /> The ED should identify the proposed project site's surrounding land use. The ED should be <br /> specific regarding the distance to the nearest sensitive receptor(s). The surrounding land use <br /> must be designated as compatible with the proposed/current land use at the project site. The <br /> local government, in whose jurisdiction the facilities will be located, must make a finding that <br /> the facility is consistent with the General Plan [Public Resources Code(PRC), Section 50000] <br /> and is identified in the most recent County Integrated/Solid Waste Management Plan [PRC, <br /> Section 50001]. <br /> Proposed Site Capacity and Daily Throughput Tonnage <br /> It is very important that the ED contain all information, which will be proposed for SWFP <br /> consideration by the Board. This information would include, but not be limited to: Maximum { <br /> Design Facility Capacity for the composting,processing,and storage areas; Peak Daily <br /> Throughput Volume (in tons per day)for both the organic waste fraction and the bulking agent <br /> fraction; Maximum Vehicle Throughput Volume for vehicles delivering organic/bulking <br />
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