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Last modified
2/16/2024 9:44:03 AM
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2/16/2024 9:42:02 AM
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Planning Files
Planning Files - Planning File #
1566
Planning Files - Type
Zoning Text Amendment
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Jim Andre <br />MRC <br />Nov. 7, 1984 <br />Page Two <br />The inorganic compounds pose little or no threat from fire. It is the <br />organic compounds that would increase the fire hazard of the building <br />and most severe pollution hazard. In meeting with MRC personnel, they <br />had planned to provide automatic sprinkler protection in the building. <br />With the organic (flammable) compounds inside the building, a foam <br />sprinkler system should be required to reduce the potential for a severe <br />fire to a minimum. MRC personnel appeared to have reacted favorably on <br />our initial meeting. <br />The water supply to the site is minimal and additional volume should be <br />delivered to the scene via either a larger main or cross connection of the <br />present existing 8" main. Water flow tests indicate approximately 2400 GPM <br />available at normal flow. The calculations for water demand at the site <br />are 2500 GPM. This leaves very little cushion for future pressure loss. <br />Outside hose streams will require approximately 500 GPM resulting in more <br />water demand than available. It would appear that cross connection would be <br />the most advantageous and cost effective. <br />A matter of considerable concern is the possiblity of illegal dumping by <br />persons or firms with hazardous waste and no place to dispose of it. It is <br />recommended that the area around the site be well lighted at all times, well <br />fenced as close to property/right of way lines as is feasible, even if less <br />than currently permitted by city code. Another consideration maybe around <br />the clock guard on site with good surveillance cameras to deter and prevent <br />as much illegal dumping as possible. If the illegal dumping does not mat- <br />erialize, the level of security could be reduced. The council may wish to <br />consider having MRC enter an agreement or stipulation that they will be <br />responsible for the proper disposal of any illegal dumping taking place at <br />the site. This may seem to be a heavy requirement, but unless some type of <br />arrangement is made before permits are issued, the city may end up having <br />to take responsibility for the illegal dumping. This could result in a <br />severe economic expense and over tax the resources of the fire department <br />9nd other emergency services. <br />If possible, a visit to a similar site doing this type of reclamation would <br />be extremely helpful to this office and the engineering department. This <br />would provide : first hand view of the operation and an opportunity to meet: <br />with the local government involved to determine what, if any, problems have: <br />been encountered, allowing us to avoid similar situations. <br />As an overall project, I do not see this as a severe hazard to our citizens <br />or businesses. In light of the fact that this is the first program of its <br />type in the state, it is sure to be well watched by state and federal agencies <br />and is sure to be well operated. The plant presents much less real and <br />imagined hazard than an organic reclamation plant, incinerator or distilation <br />plant would. It appears to be the least hazardous of many potential facilities. <br />
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