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CASE NUMBER: 1566-84 <br />APPLICANT: City of Roseville <br />Page 2 <br />would be designating it I-3, Special Industrial District. I.n keeping <br />with the Roseville previous format, the I-2A, Industrial District, might <br />be less conspicuous. <br />4. A special use in the new district could be as previously described for <br />the I-2 District. <br />USES BY SPECIAL PERMIT: <br />(1) The collection, processing, treatment, and distribution of <br />inorganic metal wastes, consisting of metal compounds, solutions, <br />sludges, and liquids; and the collection, bulking, separation, <br />addition_ of absorbents and distribution of organic industrial <br />wastes. Neither the inorganic nor the organic industrial wastes <br />may include explosives as defined in the Title 18 USC, Section 841 <br />(c)(d), and 27 CFR 55.23. <br />5. Under the definition of use in the paragraph above it would be appropriate <br />to list he elements to be snalyzed as a basis for delineating conditions <br />which may be designated by the Council as is their right when issuing a <br />special use permit (sometimes referred to as a conditional use permit in <br />other community ordinances). The following paragraph is suggested: <br />Appropriate control measures shall be made as determined by the <br />Council to mitigate the effects of operations conducted on the site to <br />include, but not be limited to, the following functions: <br />-Security of premises and building <br />-Access and egress to site <br />-Rooting of vehicular traffic on public streets <br />-Security methods for delivery and pickup <br />-Air emissions control <br />-Waste water treatment and discharge <br />-Storm drainage and spillage control facilities <br />-Public water use, <br />-Soil contamination <br />-hours of operation <br />-Noise impact <br />-Liability and control of unauthorized delivery <br />-Impact on contiguous properties <br />6. In addition, the Planning Commission and Council may wish to consider <br />requiring authorization and approval of facilities, site, and conditions <br />by the Pollution Control Agency (PCA). Under Minnesota law this would <br />include the submission and processing of an Environmental Assessment <br />Worksheet as a prelude to possible submission of an Environmental Impact <br />Statement. Prior to Wednesday night's meeting, we will review this <br />possibility with the City Attorney's office to ascertain the practicality <br />of this requirement prior to the processing of a special use permit. <br />7. Attached is a report prepared by Bruce Ryden, City Fire Marshall, <br />regarding his review of the Metropolitan Recovery Corporation's central <br />treatment facility. Also attached is a copy of our previous report which <br />you may wish to use for background informatiuâ–șL relating to the current <br />proposal. <br />