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_T , 1 0 0 Page 2 of 2 <br /> SWIS#39-AA-0026. I have found some items in the permit which should be corrected: <br /> 1) Page 4, LEA condition 12a: states that incoming waste amount is 50 tons per day. This is a typo. The <br /> correct value is 500 tons per day. The correct value is stated in the RFI and the front page of the permit. <br /> 2) Page 4, LEA condition 6: states that"The facility shall meet the requirements of Waiver of Waste Discharge <br /> Requirements (WDR's No. 95-021)." 1 want to remove this condition from the permit since this Waiver of WDRs <br /> has expired due to Senate Bill 390. The Water Board is developing new WDRs for green waste composting but <br /> they are in the draft stage. <br /> 3) Page 2, Section 15: "The following documents describe and/or restrict the operation of the facility." The <br /> "Amendments to RCSI"dates need to be updated since the facility added a RFI amendment in 2007. The WDR <br /> order needs to be deleted since it has expired as noted in 2 above. <br /> I think these are all "nonmaterial changes"and I could process a permit modification application to make these <br /> changes. Will CIWMB support this interpretation of the regs? <br /> Thx, <br /> Garrett Backus, REHS <br /> San Joaquin County Environmental Health Department <br /> 304 E Weber Ave, 3rd floor <br /> Stockton, CA 95202 <br /> telephone: (209) 468-2986 <br /> fax: (209) 468-8392 <br /> email: gbackus@sjcehd.com <br /> 5/2/2007 <br />