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Dart Morales , Principal Scientist and Environmental Hygienist, Grove Scientific & <br /> Engineering Co . , 6140 Edgewater Drive Orlando , Certified Visible Emissions Evaluator, <br /> explained that he was FDEP-certified to visually detect the opacity of fumes, smokes , and mists . <br /> He presented a slide of a concrete crusher (Exhibit 10) which he had inspected for emissions and <br /> conveyed that during the 3 %2 hours of the test period, there were 0 emissions from the unit while <br /> it crushed 110 tons per hour of debris . Responding to questioning from Attorney Segal , Mr. <br /> Morales opined that the facility, if constructed properly and operated according to FDEP <br /> standards , poses no health risks to anyone inside or outside the property . <br /> Adam Preuss , 12385 Roseland Rd . , Sebastian, Adam Preuss Appraisal Services , <br /> responded to questioning from Attorney Segal , opining that the facility would have no adverse <br /> impacts on surrounding property values . <br /> Mr. Morales , Mr. Golden, and Attorney Segal responded to Commissioner Flescher ' s <br /> questions regarding a strand of fiber protruding from one of the Applicant ' s rock samples <br /> (Exhibit 11 ) , and about wood containing Copper Chromium Arsenate (CCA) coming into the <br /> facility. <br /> Commissioner Davis sought and received confirmation from Mr. Bittle that AG zoning is <br /> the only area permitting both the recycling center use , and the demolition debris processing . <br /> Attorney Segal and Mr. Morales provided further details for Commissioner Davis on <br /> Exhibit 10 , relating that the concrete crusher was being utilized at an asphalt processing plant in <br /> Ormond Beach, Florida. <br /> Earlier in the meeting, Commissioner O ' Bryan noted he had visited Recycle Rock, a <br /> cement recycling facility in Pt . St. Lucie , and concluded there was no market for its product, <br /> limestone rock . He was concerned that the Board had not seen a solid business model <br /> identifying markets for the crushed rock, and that the Applicant, if unable to move its collection <br /> of materials offsite, might pay the FDEP bond and abandon the site . In a rebuttal by Attorney <br /> March 22 , 2011 22 <br />