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lhe extan! malerial, unless a <br />Silviculture pole marke! etc.). <br /> <br />salvage timber market is round, and used <br /> <br />(e.B. Sundance <br /> <br />This unusually large volume is comparable Io more than one year's disposition ai the Anoka <br />County Diseased Wood Disposal Site. For this reason, il they wish 1o pursue burning options, I <br />would recommend that they make application 1o the PCA as a solid waste disposal site (PCA Rule: <br />7005.0820). <br /> <br />In summary then, I recommend denial of an open burning permit (PCA Rules: 7005.0770 A, <br />B). My understanding of my job responsibility is to ac1 as an agent of the PCA in applying the <br />Air Pollution Control provisions of the Air Qualily Division. Application of these PCA rules is <br />inlended to protecl inhabitants trom undue heallh and safety risk. Perhaps the strict fire sately <br />measures could be construed, bul the health risk and air quality impacl would be <br />disproporlionately negatively and unnecessarily degraded. <br /> <br />The scale of this proposed event moves it into an estimable but uncertain impacl whose risk the <br />residents would unduly be exposed. <br /> <br />Sincerely, <br /> <br />Bruce F. Bacon <br />Environmental Specialist <br /> <br />BFB/jmt <br /> <br />I <br /> <br />I <br />[i <br /> <br />I <br />[[ <br /> <br />I! <br />Il <br /> <br />I <br />] <br />] <br />[ <br />I <br />I <br />I <br />I <br />I <br />I <br /> <br /> <br />