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CORRESPONDENCE_1993-2003
Environmental Health - Public
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EHD Program Facility Records by Street Name
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4400 - Solid Waste Program
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PR0505566
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CORRESPONDENCE_1993-2003
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Last modified
3/14/2025 12:11:25 PM
Creation date
10/5/2020 2:08:37 PM
Metadata
Fields
Template:
EHD - Public
ProgramCode
4400 - Solid Waste Program
File Section
CORRESPONDENCE
FileName_PostFix
1993-2003
RECORD_ID
PR0505566
PE
4443 - SW COMPOST SITE - MONTHLY INSPECTION
FACILITY_ID
FA0005674
FACILITY_NAME
OM SCOTT & SONS/HYPONEX CORP
STREET_NUMBER
23390
Direction
E
STREET_NAME
FLOOD
STREET_TYPE
RD
City
LINDEN
Zip
95236
APN
09310017
CURRENT_STATUS
Active, billable
SITE_LOCATION
23390 E FLOOD RD
P_LOCATION
99
P_DISTRICT
004
QC Status
Approved
Scanner
SJGOV\cfield
Supplemental fields
Site Address
23390 E FLOOD RD LINDEN 95236
Tags
EHD - Public
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Scotts Hyponex Compost Facility Page 2 of 2 <br /> 5) Section 18201 of the California Code of Regulation (14 CCR) <br /> requires that WDRs or a waiver from the RWQCB be included as part <br /> of a complete permit package . The draft permit conditions the <br /> September 22, 1993 letter from the RWQCB which states that WDRs <br /> are not necessary for this facility and that the operator is not <br /> required to file a Report of Waste Discharge. However, a July 7, <br /> 1994 letter from the RWQCB states that the operator must file a <br /> Report of Waste Discharge and obtain either WDRs or a waiver. <br /> Based on the 1993 letter, your decision to accept the application <br /> was appropriate. Please update this reference in the permit as <br /> necessary. Section 17859 (a) (4) states, in part, that applicants <br /> of green compost facilities must obtain RWQCB permits, or waivers <br /> therefrom, and submit copies to the enforcement agency. <br /> 6) Finding 13 (a) of the draft permit states that the permit is <br /> consistent with the County Solid Waste Management Plan. Since <br /> the proposed composting facility is not identified in the Solid <br /> Waste Management Plan, and since the Integrated Waste Management <br /> Plan has not yet been approved, please instead reference the <br /> findings of the Local Task Force pursuant to 50000 (a) (4). <br /> 7) Page 9 of the Initial Study, dated October 11, 1993 , states <br /> that there is a leaking underground fuel tank on site . Is the <br /> tank located within or near the boundaries of proposed compost <br /> facility? If so, will removal and/or clean-up effect the design <br /> or operation of the compost facility? If the tank has since been <br /> removed, please send us verification of the clean-up. <br /> In conclusion, let me add that you seem to have conducted a very <br /> thorough review of the permit package, therefore I have no <br /> further comments at this time. We look forward to scheduling <br /> this permit to be heard at a Permitting and Enforcement Committee <br /> meeting in the near future . If you have any questions or <br /> comments, please call me at (916) 255-2338 . <br /> Sincerely, <br /> an Whitehill <br /> Compliance Branch, North <br /> Permitting and Enforcement Division <br /> s:\permits\jon\39\0026swfp.cmt <br />
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