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{ <br />STATE OF CALIFORNIA <br />CALIFORNIA WASTE MANAGEMENT BOARD <br />1020 NINTH STREET, SUITE 300 <br />SACRAMENTO, CALIFORNIA 95814 <br />Mr. Ed Padilla <br />San Joaquin County Public <br />Health Department <br />P. 0. Box 2009 <br />Stockton, CA 95201 <br />1989 <br />ENVIRONMENTAL HEALTH <br />DEUKMUAN. Govemor <br />Subject: Draft Permit for the Stockton Scavenger Association, <br />Facility No. 39 -AA -0019 <br />Dear Ed: <br />I have reviewed the draft permit for the Stockton Scavenger <br />Association transfer station. The draft permit is consistent <br />with the requirements of the Board. Please consider the <br />following comments when preparing the proposed permit. <br />1. The permit should specifically state that the 1.7 acres of <br />undeveloped land may not be used for waste handling <br />activities. An increase in acreage would require a revision <br />of the permit. <br />2. The name of the facility is inconsistently cited on all <br />conditioning documents (i.e. RDSI amendment states Stockton <br />Scavenger Transfer Station, the permit revision application <br />states Stockton Scavenger Association). The Board will use <br />the name that appears on the revised permit. <br />4. The following comments concern the contents of the draft <br />permits <br />A. Findings <br />Include the name of the owner and operator, as well as <br />any contract operator of the facility. <br />Include the design capacity of the facility under <br />Section E. The amendment to the RDSI states the <br />facility is designed for 1000 tons per day capacity. <br />Include a description of the methods used to salvage <br />marketable materials from waste. <br />