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-- FINDINGS -- <br />On the day of inspection, the Facility was found not to be in compliance with the Act and the Regulations. <br />Specific regulatory and/or statutory violations are cited below. The Facility will be issued a revised <br />Compliance Advisory with the transmittal of this inspection report. <br />Violation 1 The Facility is being operated as a solid waste disposal site and facility not having a <br />certificate of designation (CD). This is in violation of CRS 30- 20- 102(1) and 30- 20- 102(2), <br />and Section 1.3.3 of the Regulations. <br />Violation 2 Mr. Ary has failed to establish financial assurance for the closure and post - closure care of the <br />solid waste disposal site and facility, as required by the Act and the Regulations. This is in <br />violation of CRS 30 -20 -104 and Section 1.8 of the Regulations. <br />Violation 3 Mr. Ary has failed to conduct groundwater and explosive gas monitoring, as required by the <br />Act and the Regulations. This is in violation of Section 2.2 and 2.3 of the Regulations. <br />Violation 4 Mr. Ary has failed to provide stormwater controls at the solid waste disposal site and facility. <br />This is in violation of Section 2.1.6 of the Regulations. <br />Recommendation 1 Regarding the waste tires being stored in the central region of the property within the <br />Division of Reclamation Mining and Safety (DRMS) permit boundary; it is important <br />to note that these waste tires cannot be used for backfill, rather it is assumed they will <br />be hauled offsite for appropriate recycling, reuse or disposal. The large number of <br />tires being stockpiled in their current configuration introduces the potential for <br />nuisance conditions by providing shelter and protection for vectors such as <br />mosquitoes, rodents and snakes. It is the Division's recommendation that the facility <br />proactively work to minimize the size of the waste tire stockpile during the next few <br />years. <br />Recommendation 2 Relative to the practice of rinsing and washing the rotating drums of concrete trucks <br />and then discharging the wash water into one of three unlined sedimentation basins on <br />the southwest perimeter of the property; this practice appears to be an unpermitted <br />discharge activity. The Department is researching standard industry practice and an <br />effort is underway to identify the best permitting option for this activity. The <br />Department will provide additional input regarding your options for this activity in the <br />future. <br />