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21. That the nearest point of city water supply is at Sunfish Blvd. <br /> and Co. 116. No private pumping wells are in the immediate <br /> vicinity of the proposed tire processing facility. WMMI has <br /> indicated that they have a water tank truck on site (3,200 gal. <br /> capacity) and that surface water storage on site would be limited <br /> to that available from on-site wetlands. <br /> <br />22. That other industries in the City are generally located within <br /> buildings and therefore have state building code mandated fire <br /> protection requirements, that the proposed use will not be <br /> sheltered by a building and, therefore, special fire protection <br /> may be needed. <br /> <br />23. That the City of Ramsey currently does not have an operational <br /> fire department and, therefore, contracts with the City of Anoka <br /> for fire protection in that area of the city where the proposed <br /> use is located. <br /> <br />24. That the metal wheels extracted prior to the time office <br /> processing will be placed in roll-off boxes stored on site for <br /> later transportation to scrap metal dealers. <br /> <br />25. That waste tires will be received from both individuals and <br /> commercial haulers. <br /> <br />26. That the following documents from WMMI's "Waste Tire Facility <br /> Permit Application" to the PCA are attached hereto cumulatLvely as <br /> Exhibit "C" and incorporated herein as if fully set forth at this <br /> point, to wit: <br /> <br />Section II. Facility Operation consisting of four (4) pages. <br />Section IV. Closure plan consisting of three (3) pages. <br />Section VII. Additional information for waste tire processing <br />facilities consisting of one (1) page. <br />Section X. Emergency Preparedness Manual. <br /> <br />27. That a certain amount of dust will be created as a result of the <br /> shredding operation. <br /> <br />28. That a certain amount of dust will be Created by' vehicular traffic <br /> into and out of the site. <br /> <br />29. That outside tire storage has the potential for being a source for <br /> mosquito breeding. <br /> <br />30. That WMMI has stated the maximum number of tires on the site at <br /> any one time will be 70,000 which is the maximum number permitted <br /> under WMMI's proposed PCA permit. <br /> <br />31. That the actual tire processor is a mobile tire shredder located <br /> entirely on a flat bed trailer, which trailer will be moved from <br /> the site periodically in order to process tires in other <br /> communities. <br /> <br />3 <br /> <br /> <br />