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Mr. Padilla <br /> Page 5 <br /> 4. You may wish to include an additional requirement that <br /> special occurrences be reported to the LEA immediately. <br /> Keep in mind the intent of the monitoring section is to provide <br /> the LEA and Board with the information necessary to determine <br /> whether the operator is operating within the permit limits and to <br /> alert the LEA and Board of any gradual changes that may be <br /> occurring at the facility. If the permit limits the number of <br /> trucks per day or tons per day to be received, the monitoring <br /> section should require submittal on a quarterly basis of daily <br /> truck counts or tons of waste received each day the facility <br /> operated. <br /> Additional Considerations: <br /> A copy of the Mitigation Monitoring Plan as required by AB 3180 <br /> should be forwarded to the CIWMB's Local Planning Section. A <br /> cover sheet needs to be attached to the SWFP. When the Leachate <br /> Control System Plan has been submitted, the Fish and Game <br /> Department's questions on the mitigation plan answered, and other <br /> issues which we discussed are clarified, this SWFP will be ready <br /> to be brought before the Board. <br /> It is important the EIR and all other supporting documents be <br /> consistent with each other and with what is referenced in the <br /> permit. Thank you for giving me the opportunity to comment. If <br /> you need any further assistance, I can be contacted at (916) 327- <br /> 9343 . <br /> Sincerely, <br /> )anet Page, <br /> ante Management Specialist <br /> Permitting Bran <br /> Enclosures <br /> cc: Jeannie Blakeslee, Local Planning Division <br />