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ARCHIVED REPORTS_2014_1
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ARCHIVED REPORTS_2014_1
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Last modified
7/18/2020 5:27:23 PM
Creation date
7/3/2020 11:20:05 AM
Metadata
Fields
Template:
EHD - Public
ProgramCode
4400 - Solid Waste Program
File Section
ARCHIVED REPORTS
FileName_PostFix
2014_1
RECORD_ID
PR0517379
PE
4466
FACILITY_ID
FA0007101
FACILITY_NAME
FORWARD INC LANDFILL
STREET_NUMBER
9999
Direction
S
STREET_NAME
AUSTIN
STREET_TYPE
RD
City
MANTECA
Zip
95336
APN
20106003
CURRENT_STATUS
02
SITE_LOCATION
9999 S AUSTIN RD
P_LOCATION
99
P_DISTRICT
004
QC Status
Approved
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SJGOV\rtan
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FilePath
\MIGRATIONS\SW\SW_4466_PR0517379_9999 S AUSTIN_2014_1.tif
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EHD - Public
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Consolidated Forward Inc. Landfill Page 15 <br /> The appropriate responsible agencies, the CPKMB and RWQCB,shall conduct a rel-iew of <br /> the liner and leachate collection system for the vertical expansion over the existing landfill(s) <br /> proposed in the JTD. <br /> 49 (F.6) <br /> Proposed as Part of the Project: <br /> Because of the potential for contamination from WMU B and/or A of the shallow <br /> groundwater table dow-ngradient and adjacent to the11 be samexisting led at the ameic off-site frequeney as the . <br /> ls <br /> within 500 feet of the eastern property boundary P <br /> monitoring wells onsite and for the same <br /> constituents and thevaluation of the t Title <br /> st results,inal <br /> with the <br /> determination of the sampling program <br /> appropriate mitigation,is the responsibility of the RWQCB and must be carried out under <br /> their permit authorization. <br /> Identified in This EIR: <br /> Water quality at the offsite well--, such as the two private-wells along Austin Road and the <br /> CYA wells,shall be monitored at least biannually(twice a year)to determine the extent that <br /> the plume impacts them. Continued operation of the groundwater extraction system at the <br /> site will help limit the contarnh ant plume from expanding in a downgradient direction but <br /> will not address the offsite component far beyond the boundary of Austin Road Landfill <br /> unless the contamination is attenuated and diluted over time or more extraction wells are <br /> brought on line per the AEE (200 lb)Alternative 3 proposal. However,in their revised AEE <br /> (2002a)report the proposed alternative 11 is put forth as the only remedy to implement at this <br /> time. The RWQCB accepted alternative 11 in their letter to Forward dated March 11,2002. <br /> If the groundwater VOC concentrations do not attenuate at a rate that is acceptable to the <br /> RWQCB then the Board will require that Alternative 3 -or some variant on Alternative 3-be <br /> implemented. The recent(AEI: 2002a) addendum to the corrective action proposed <br /> procedures to analyze the hydrochemcial trends and trigger concentrations at which <br /> additional extraction wells would be considered. (Atkinson,2002). <br /> 50 (F.7) <br /> Identified in This EIR: <br /> Two infiltration methods are currently used at the landfill. Most of the groundwater currently <br /> pumped by the former agricuhural well is used onsite;thus,some of it will infiltrate through <br /> the unlined parts of the site and migrate back to the groundwater aquifer from where it was <br /> extracted. Secondly,the treated groundwater from the groundwater extraction system is <br /> discharged into Littlejolms Cxecc currently,which both recharges aquifers below and moves <br /> offsite. <br /> Treated groundwater from the groundwater extraction system is proposed to be infiltrated <br /> back to the aquifer through an infiltration basin(AEE,2001B,2002a)located near,well <br /> MW-11. The infiltration basin would improve recharge to the local aquifer and is also <br /> designed to create a hydraulic barrier to inhibit further northward migration of the <br /> groundwater plume. The RWQCB letter to Forward dated March 11,2002 agreed to allow <br /> for their recharge remedy (_alternative 11)to go forward without Alternative 3 (extended <br /> pumping)while quarterly monitoring at the groundwater wells occurs. If the groundwater <br /> VOC concentrations do not attenuate at a rate that is acceptable to the RWQCB then the <br /> Board will require that Alternative 3, or some variant on Alternative 3,be implemented. The <br /> 0 recent(AEE,2002x) addendum to the corrective action proposed procedures to analyze the <br /> hydrochemical trends and trigger concentrations at which additional extraction wells would <br /> be considered. (Atkinson, 2002). <br />
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