My WebLink
|
Help
|
About
|
Sign Out
Home
2022-07-07 Windward Exh E (Item 4 Yamada & Sons PL-SPP-2022-000012)
PublicDocuments
>
Planning Department
>
Leeward/Windward Planning Commission
>
Minutes & Exhibits Transcripts
>
2003-2022 Exhibits Transcripts
>
2022
>
2022-07-07 Windward Exh E (Item 4 Yamada & Sons PL-SPP-2022-000012)
Metadata
Thumbnails
Annotations
Entry Properties
Last modified
8/9/2022 9:00:24 AM
Creation date
8/9/2022 9:00:18 AM
Metadata
There are no annotations on this page.
Document management portal powered by Laserfiche WebLink 9 © 1998-2015
Laserfiche.
All rights reserved.
/
12
PDF
Print
Pages to print
Enter page numbers and/or page ranges separated by commas. For example, 1,3,5-12.
After downloading, print the document using a PDF reader (e.g. Adobe Reader).
Show annotations
View images
View plain text
being limited between 6:00 a.m. and 6:00 p.m. daily. It reads active quarrying activities <br /> described as the extraction and handling of rock, or soil material including its transport shall be <br /> restricted to that period from Monday through Friday between the hours of 7:00 a.m. and 3:30 <br /> p.m. All non-active low noise generating quarry related activities such as site planning, <br /> surveying, staking, mobilization of equipment between the permit area and the applicants <br /> processing facilities etcetera shall be limited to the hours of 6:00 a.m. to 6:00 p.m. daily. So, <br /> again this is a proposed change that was acceptable to both the Department of Hawaiian Home <br /> Lands and the Farmer's Association. <br /> Another condition is Condition No. 5, and this has to do ultimately the original condition had to <br /> do with the use of rock haulers versus highway legal vehicles to haul material between the quarry <br /> site and the applicant's processing site. There was an addition at the end that was added as part <br /> of this negotiation that wanted to clarify that Ho`olaulima will be the only means of transport of <br /> quarry material and that there wouldn't be any transport on Railroad Avenue. So, again this is <br /> prior to commencement of quarrying activities the applicant shall notify the Department of <br /> Environmental Management(DEM) of the starting date of quarrying operations. The applicant <br /> shall only use highway legal vehicles to haul material from the quarry site to the applicant's <br /> processing site upon the acceptance of the dedication of Ho`olaulima Road by the County of <br /> Hawaii or as may be directed by the Department of Environmental Management as represented <br /> by the applicant Ho`olaulima Road shall be the sole means of transport of quarried material <br /> between the permit site and the applicant's processing facilities. The applicant shall not use <br /> Railroad Avenue from Puainako Street to Mamaki Road to transport quarried material. <br /> So, generally we're supportive of the conditioned language relative to limiting the route to <br /> Ho`olaulima Road. There's still some question about rock hauling vehicles versus highway legal <br /> vehicles so at their opportunity we will let the applicant address kind of a justification for that <br /> continued use of rock haulers. Now, this is a new proposed condition, and this is new Condition <br /> No. 8 as may be required by and subject to the approval of the State Department of Health Clean <br /> Air Branch. The applicant in collaboration with the KPFA and the DHHL shall develop an Air <br /> Quality Monitoring Plan specific to monitoring of air quality conditions within the permit area <br /> prior to the commencements of active quarry activities. This is to try and address some potential <br /> negative impact to the air but it also provides some flexibility to give the State Department of <br /> Health Clean Air Branch the final authority to determine whether or not such a monitoring plan <br /> would be necessary. <br /> New Condition No. 9 the applicants shall implement Best Management Practices to minimize <br /> dust generated by active quarry activities within the permit area including but not limited to the <br /> regular watering of areas being mined and stockpile areas on an as needed basis depending on <br /> weather conditions. These Best Management Practices were disclosed within the Special Permit <br /> application dated November 23rd, 2022 any supplemental material and the representations made <br /> before the Windward Planning Commission. So, ultimately this is just a condition to clarify that <br /> yes, Best Management Practices will be used to indicate what those are and then to also say that <br /> the other kind of extensive list of Best Management Practices that were submitted as part of the <br /> application and represented by the applicant will be adhered to. <br /> 4 <br /> EXHIBIT E <br />
The URL can be used to link to this page
Your browser does not support the video tag.