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C <br />Page Two <br />Stockton Scavenger Transfer Station <br />Facility Operation <br />The current permit allows for handling of 25 tons of waste per <br />day. The document indicates that currently 100 tons per day <br />handled. The EIR should address this discrepancy. Provisions <br />for dust, vector, odor, litter controls should be addressed <br />in the final document. <br />It would be helpful if a complete description of the drainage <br />*. facilities were included, such as surface water routings, <br />transfer station discharges from the refuse pit, and tipping <br />floor washdown. <br />Additionally, methods of screening, separation, and storage <br />1�r of hazardous materials entering the facility should be <br />included. <br />Also, the Solid Waste Facilities Permit specifically states <br />that no food wastes are handled at this facility. The <br />commercial and industrial wastes collected by Stockton <br />-Y� Scavenger Association would contain small amounts of food <br />waste. This change should be reflected in the EIR and in the <br />revised permit. <br />The current solid waste facilities permit states that <br />pperating hours are from 6 a.m. to 4 p.m. New hours would be <br />4 a.m. to 5 p.m. The number of loads would be increased from <br />100 to 216. It would be helpful if the final EIR addressed <br />traffic impacts resulting from a 100 percent increase in <br />hauler traffic. <br />Regulatory Responsibilities <br />Before the proposed project can either be established or <br />operated, the Board must consider the following actions: <br />1. Determination of Conformance (Government Code (GC) <br />section 66784). <br />Prior to the expansion of the project, the Board must <br />make a determination as to whether or not the proposed <br />expansion conforms with the County Solid Waste Management <br />Plan (CoSWMP). <br />