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Section 1 <br />Summary Report <br /> <br />1.1 Introduction <br />Rule .1603 (a)(4)(A) of the new North Carolina Solid Waste Management Rules <br />requires owners/operators of existing MSWLF units to submit an application <br />for continuing operation and closing of the unit in accordance with Rule <br />.1617(d). This application, termed the Transition Plan, must contain the <br />following information: <br /> <br />An operation plan prepared in accordance with Rule .1625; <br /> <br />A cIosure and post-closure plan prepared in accordance v,"ith Rule .1629 <br />including financial assurance instruments; <br /> <br />A water quality monitoring plan prepared in accordance with Rule <br />.16Z3(b)(3); <br /> <br />A report that defines the owner or operator's plans for continued <br />operation of the existing facility or a new facility for a minimum five year <br />period, irfcorporating a closure date for the existing facility and a <br />schedule for submitting the required applications for a new lined landfill. <br /> <br />This Transition Plan for the Cabarrus County Landfill has been prepared in <br />accordance with the North Carolina Solid Waste Management Rules (T15A: <br />13B .1600-.1680). The outline of the Plan follows the outline that was <br />suggested by the North Carolina Solid Waste Section in their guidance <br />document entitled, Technical Guidance Document - Transition Plans for <br />Existing MSWLF Units in North Carolina (Technical Guidance Document), <br />published in January, 1994. <br /> <br />The remainder of this section addresses the eight items of Rule .1603(d)(2)(C) <br />as suggested in the Technical Guidance Docuraent. <br /> <br />1.2 Proximity of Human and Environmental Receptors <br />Based upon work completed as part of the Local Area Study (see Section 4), <br />there are approximately 44 residences within 2,000 feet of the Cabarrus County <br />Landfill. All of these residences are served by individual wells. The greatest <br />human impacts from the facility appear to be noise, dust, and traffic. At this <br />time there does not appear to be any ground water contamination at the site, <br />however, as with any unlined landfill in the State, there is always the potential <br /> <br />CDM Camp Dresser & McKee <br /> <br /> <br />