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10 <br />Page 2 of 5 <br />We would still want to conduct the meeting on June 2- where you are invited - to provide CalRecycle <br />staff with a tour of the Facility and the proposed SWFP Revision features that are under CEQA review and <br />future permitting. <br />Noise: <br />The "Noise Study" for impacts evaluation and mitigation measure for CEQA analysis reside with the Lead <br />Agency to review and provide mitigation measures. Compliance with specific provisions regarding noise <br />control in a local land use approval, such as a conditional use permit or CEQA mitigation measures, shall <br />be considered compliance with this standard. <br />Under Title 14, the question would be -do you have enough information to enforce the state minimum <br />standards listed below for noise control? Apparently you think you do not. However, Compliance with <br />specific provisions regarding noise control in a local land use approval, such as a conditional use permit or <br />CEQA mitigation measures, shall be considered compliance with this standard. <br />Section 17408.3. Noise Control. <br />Noise shall be controlled to prevent health hazards and to prevent nuisance to nearby residents. <br />Measures to control noise include but are not limited to: posting of warning signs that <br />recommend or require hearing protection; separation by barriers that limit access to authorized <br />personnel only; or, enclosures to reduce noise transmission. Compliance with specific provisions <br />regarding noise control in a local land use approval, such as a conditional use permit or CEQA <br />mitigation measures, shall be considered compliance with this standard. <br />On -Site Circulation: <br />As we both know Title 14, on-site circulation includes a series of state minimum standards including <br />protection of users, roads, signs, and general design as sited below. We did submit the attached "Facility <br />Capacity Study" from October 2010. Is that not throughout enough? The protection of users has been <br />demonstrated on-site for years. The roads are paved and well maintained. Signage is key and will <br />continue to be used. <br />What additional details of on-site circulation do you need? We can provided a detailed Site Map with <br />traffic lanes and queuing of cars to accommodate traffic. Is this really a CEQA issue, what would have <br />impacts that cannot be mitigated with traffic lanes, well maintained roads, and signage that protects the <br />user? Is not Title 14 state minimum standards the mitigation measures. <br />Or do you believe that the Facility is undersized and cannot accommodate the tonnages, and that the <br />Facility Capacity Report is not adequate? <br />5/20/2011 <br />Section 17408.8. Protection of Users. <br />An operation or facility shall be designed, constructed, operated, and maintained so that contact <br />between the public and solid wastes is minimized. This may be accomplished through the use of <br />railings, curbs, grates, fences, and/or spotters. <br />Section 17409.1. Roads. <br />All on-site roads and driveways shall be designed and maintained to minimize the generation of <br />dust and tracking of soil onto adjacent public roads. Such roads shall be kept in safe condition and <br />maintained to allow vehicles utilizing the operation or facility to have reasonable all-weather access <br />to the site. <br />Section 17409.4. Signs. <br />