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Response to Written Comments Page 5 of 11 09 October 2023 <br /> Forward Landfill, Inc. <br /> 8.) Comments #10-13 (TRC), did not adequately answer these questions, just passing <br /> the buck. <br /> RESPONSE: <br /> A Corrective Action Program and CAO R5-2017-0703 is the Central Valley Water <br /> Board's response to the address the Discharger's land disposal operation and <br /> management. The Water Board and the Discharger are working to continue cleanup in <br /> the surrounding area. <br /> COMMENT NO. 9: <br /> 9.) Comment #24. States that a residence was demolished. There are many other <br /> impacted residences, not specified but impacted, including all the homes on Austin Rd. <br /> north to Arch Rd. and all the residences on Newcastle headed north to Arch Rd.? <br /> RESPONSE: <br /> This comment is referring to Finding 36 in the Tentative WDRs. It is standard practice to <br /> list the residences that live within the 1/2 mile radius of the facility boundary. There are <br /> currently six residences that live within the 1/2 mile radius of the facility boundary. <br /> These include residences that live on Newcastle Road and Austin Road. <br /> COMMENT NO. 10: <br /> 10.) Comment #30. Why would the tentative WDRs not increase the frequency of <br /> reporting and sampling methods? This is a huge issue, and you should require more <br /> sampling and reporting, not less, regardless of the area being sampled. You are risking <br /> the lives of people here. <br /> RESPONSE: <br /> The reporting and sampling frequency has been established in the CAO R5-2017-0703. <br /> The CAO Condition 1 b states that the wells listed in the Domestic Well Sampling Plan <br /> shall be sampled and reported on a semi-annual basis. There are wells that are <br /> sampled more frequently. Eleven residential domestic wells are sampled quarterly and <br /> one is sampled monthly. The requirements in the CAO are reflected in the Tentative <br /> WDR and MRP. <br /> COMMENT NO. 11: <br /> 11.) Comment #40 is ACW >1% truly considered inert and nonhazardous and you are <br /> now going to allow that in the Class 3 landfill. This can't be true. <br /> RESPONSE: <br /> Solid Waste Facility Permit 39-AA-0015 allows the acceptance of asbestos as long as it <br /> is more than 1 percent friable. Asbestos Containing Materials (ACM) is monitored under <br />