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considering several sources 0ADC such as synthetic blankets, sludge,oompost for evaluation. ADC <br /> pilot projects for sludge and systhetic blankets are identified. The operator submitted to the LEA an <br /> RDSI amendment dated February 7, 2000 in order to allow processed green material and shredded tires as <br /> ADC. An updated RDSI dated May 2002 states that the operator is permitted to use contaminated soil for <br /> cover and synthetic blankets as ADC and currently uses processed green material as ADC. Other than <br /> stating that greenwaste is not stockpiled for longer than 72 hours there are no other specifications for <br /> ADC use. <br /> The assessment of the SWFP/RDSI/CEQA conditions and SMS at the facility is as follows: <br /> Currently,the site uses greenwaste as ADC and contaminated soil and clean soil as cover. The operator <br /> has not used tarps for approximately two years. The operator stated that they report all inert material as <br /> disposal therefore no beneficial use is documented for this material. The LEA however mentioned that <br /> they have observed concrete/asphalt material being used for the wet weather deck area. Information <br /> submitted for the DRS identifies C&D as an ADC material for the site. For the period of July 1,2001 to <br /> December 31,2001 there were 17,695 tons reported to have been used. The RDSI does not specifically <br /> identify C&D as an ADC type. The operator currently has not resolved this issue. If the tonnage <br /> included in this category is C&D ADC then an RDSI amendment should be submitted identifying its use. <br /> If it is inert material being beneficially used as wet weather deck material or if it is contaminated soil <br /> being used as cover material then it shouldn't be reported as ADC. <br /> Spreading and compacting seemed adequate due to the flatness of the previous days working area. It was <br /> observed however that only approximately 50%of the entire previous days working face had been <br /> covered. The remaining 50%was completely exposed. In areas where greenwaste ADC had been <br /> applied there was excessive daylighting believed to be primarily due to the thin application of the <br /> greenwaste ADC. Because of the obvious lack of cover thickness no holes were dug. The February 1999 <br /> RDSI mentioned that based on the 1993 site development plans on site excavations are expected to <br /> generate approximately 2,889,000 cubic yards of soil to be used for landfill operations but that only <br /> 2,759,000 will be required. From this information it could possibly be assumed that no cover soil <br /> shortfall exists. An additional SMS should be evaluated at this facility because of the large working area. <br /> The average daily tonnage accepted at the trash working face is only 2,880 TPD therefore this area may <br /> not need to have a working face as large as was seen on the day of the site visit. The SMS 27 CCR 20630 <br /> —Confined Unloading states that unloading of solid wastes shall be confined to as small an area as <br /> possible. It is unknown whether the working face has been typical as large as was seen on the day of the <br /> site visit. If so, available cover material identified by the 1993 site development plan may have been <br /> prematurely consumed. It is also not known whether cover application has been typically neglected as <br /> was evident on the site visit. If so,then the facility may have large quantities of soil stockpiled for cover. <br /> The operator should provide a current assessment of remaining available cover material from excavations. <br /> f <br /> Previous days ADC cover Working face area size <br /> 2 <br />