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t . <br /> a <br /> STATE OF CALIFORNIA Pete Wilson Governor <br /> CALIFORNIA INTEGRATED WASTE MANAGEMENT BOARMIR0111%iENTAL HEATH <br /> 8800 Cal Center Drive F�•P?-;M;j SERVICE <br /> Sacramento,California 95826 <br /> 94 NOV 21 PM 1: 11 <br /> NOV 1994 <br /> Carol Oz <br /> San Joaquin County Public Health Services <br /> Environmental Health Division <br /> P.O. Box 2009 <br /> Stockton„California 95201 <br /> SUBJECT: Draft Solid Waste Facilities Permit for the Scott' s <br /> Hyponex Regional Compost Facility, Facility rile No. <br /> 39-AA-0026 <br /> Dear Ms. Oz : <br /> Thank you for the opportunity to review the draft revised Solid <br /> Waste Facilities Permit (SWFP) for the Scott' s Hyponex Regional <br /> Compost Facility. We received the document on October 19, 1994 <br /> and offer the following comments for your consideration: <br /> 1) The permits states 22 acres, the RCSI states 20 acres; please <br /> clarify. <br /> 2) The RCSI states that all yard trimmings arriving at the <br /> facility will be processed within 72 hours . I recommend that, in <br /> order to minimize the potential for significant accumulations of <br /> green waste which could lead to uncontrolled decomposition, this <br /> removal frequency, or one more strict, be added as a condition of <br /> the permit . <br /> 3) Condition 10 (a) on page 4 of the draft permit states that <br /> the maximum capacity of the facility is 75, 000 tons per year, not <br /> to exceed 500 tons per day. Page 1-5 of the RCSI states that the <br /> average daily thoughput (240 tons per day) represents the <br /> anticipated quantity of stabilized compost that will be produced <br /> at the facility . Do the maximum tonnages conditioned by the <br /> draft permit also represent the amount of stabilized compost <br /> produced. If so, tonnage restrictions of the permit should be <br /> clarified to also specifically restrict the amount of material <br /> permitted to enter the compost facility. The amount of material <br /> entering the site and the amount of stabilized compost produced <br /> are likely to differ greatly. <br /> 4) Does the owner/operator information in Sections 3 and 4 of the <br /> permit ( "Scotts San Joaquin County Regional Composting Facility") <br /> represent the official names of the legal owners and operators of <br /> the proposed facility. Other documents conditioned by the permit <br /> refer to the operator as "O.M. Scott and Sons Company" or <br /> "Hyponex Corporation" . <br /> Printed on Recycled Paper-- <br />