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Cities of Dublin and Pleasanton | Disaster Debris Management Plan | 2022 <br />41 <br /> <br /> Twenty-four-hour average particulate matter concentrations (PM2.5 or PM10) should be <br />equal to or less than 35 µg/m3; 8-hr. averages should be equal to or less than 50 µg/m3; <br />and, 3 hr. averages should be equal to or less than 88 µg/m. <br /> Additional information on community air quality monitoring is available at: <br />https://www.epa.gov/sites/production/files/2015- <br />09/documents/community_air_screening_how_to_manual.pdf <br /> <br />Storm Water Controls <br />Discharge of ash and other burn-related debris into storm drains or natural receiving waters <br />represents a water quality risk. Sites, where debris and ash have been removed, are often graded <br />and have soils prepared similar to those of construction projects. This increases the exposure of <br />soils to wind, rain, and concentrated flows, which may cause erosion and adversely impact <br />stormwater quality. The result can be high levels of suspended solids and other pollutants in runoff, <br />which impacts surface waters. <br /> <br />Controls that stabilize disturbed soil and reduce sediment transport caused by erosion should be in <br />place to prevent stormwater from entering a drain system, surface waters, or aquafers. Best <br />management practices for stormwater controls may include the use of fiber rolls, silt fences, erosion <br />control blankets, hydroseeding, soil binders, and other devices to reduce sediments. <br /> <br />Where possible existing vegetation should be preserved. Once debris removal has been completed, <br />normal operation and maintenance of stormwater control measures are returned to the property <br />owner or the local government. <br /> <br />Reduction of Disaster Debris by Burning <br />The California Health & Safety Code (HSC) 41800 prohibits individual persons from using fire to <br />dispose of waste. This applies to individual property owners and tenants. HSC 41800 has rarely <br />been waived by a Governor’s Proclamation of Emergency. However, the code does establish <br />specific authority for any public officer, including the Governor, to set or permit fires for the following <br />purposes: <br /> <br /> The prevention of a fire hazard which cannot be abated by any other means <br /> The instruction of public employees in the methods of fighting fire <br /> The instruction of employees in methods of fighting fire, when such fire is set, pursuant to <br />permit, on property used for industrial purposes <br /> The setting of backfires necessary to save life or valuable property pursuant to Section <br />4426 of the Public Resources Code <br /> The abatement of fire hazards pursuant to Section 13055 <br /> Disease or pest prevention, where there is an immediate need for and no reasonable <br />alternative to burning <br /> The remediation of an oil spill pursuant to Section 8670.7 of the Government Code <br /> <br />Burning debris should be coordinated with the BAAQMD. Guidance for burning disaster debris can <br />be found on the CalOES Debris Management. <br /> <br />