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N <br />Process air emissions will not be significant since water -based, not organic <br />solvent-based,processing will occur at the facility. However, an air emissions <br />facility installation and operating permit may be required for the facility if venting <br />to the outside air is to occur or if a boiler is installed which trips APC-3 re- <br />quirements. Determinat,,on of the need for an air quality permit will be made after <br />completion of the design specifications for the facility. <br />A storage area and loading/unloading area containment system will be constructed <br />to hold spills, leaks and precipitation. The base under the storage containers will <br />be impervious to contain leaks and spills and be adequately sloped and have sufficient <br />capacity to contain the volume of the largest container or lot of the volume of the <br />containers located in a storage area.. It will also contain a sump or collection area <br />to prevent overflow of the containment system. <br />No significant environmental impacts are expected for the proposed facility <br />because the project will comply With MWCC pretreatment requirements and federal <br />Resource Conservation and Recovery Act (RCRA) and state permit requirements for <br />hazardous waste storage and processing. This includes requirements for spill -pre- <br />vention control plans and countermeasures, container adequacy and management practices, <br />and the design and operation of secondary containment systems- Air quality surveil- <br />lance/monitoring systems will also be required by RCRA. Toxic Substances Control <br />Act (TSCA) and RCRA requirements will apply to the transportation of wastes, depending <br />on whether toxic or hazardouo substances are involved. <br />More detailed information on the project and the environmental impacts is con- <br />tained in the EAW, the EAW errata sheet, and in the Findings of Fact, which are <br />all attached to this memorandum. <br />