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11/04/2013 <br /> Section Section Title Sco e of Administrative Chan e Rationale <br /> 6.02 Limitations on (1) Increase the Commercial Recyclables contamination The administrative changes related to this section have been <br /> Contamination threshold to 10%. implemented via good faith agreements between the SBWMA � <br /> (The threshold for the Term of the contract was originally and Recology that has resulted in delivering an annual cost <br /> established at 8%.) savings to the Member Agencies of approximately$325,000. <br /> (2) Formalize the Residential Recyclables contamination (1)This change formalizes the contractually prescribed <br /> threshold at the calculated 8.5%. contamination threshold for Residential Recyclables. The <br /> Agreement(s) prescribe that the results of the first four � <br /> (3)Conduct two Quarterly Contamination Monitoring quarters of Year One(i.e., 2011)shall be used to determine � <br /> Samplings in lieu of the four prescribed in the Franchise the threshold for the remaining nine years of the contract <br /> Agreements(i.e.,Attachment E-2).Any disincentive payment Term. ` <br /> will only apply to the quarter the sample is taken. <br /> (2)This modified the current threshold and establishes a lower � <br /> (4)Changing the Quarterly Contamination Monitoring threshold for the contamination of Commercial Recyclables. � <br /> Sampling to only twice per year requires a modification to how ` <br /> the annual diversion level is determined.This change will (3)As mentioned above,the company and SBWMA have <br /> result in the company applying the sampling taken during the agreed on several improvements to the contracts that will limit <br /> 15t and 2�d quarter to both quarters and the sampling taken for the risk or exposure to increases in costs to both Recology <br /> the 3�d and 4�quarters to both quarters. and the Member Agencies. This change limits risk for <br /> Recology by reducing the number of samplings conducted <br /> (5) Include as allowable recyclables items SBR is currently annually from four to two. In addition,this changes results in a <br /> marketing that are not defined as allowable. The standard to cost savings to the SBWMA in consultant expense for the firm <br /> include additional materials shall be those recyclables that that performs the sampling work. <br /> SBR has been actively separating and marketing for the 120 <br /> days prior to the month which the contamination sampling is (4)The parties have agreed that the items that are currently <br /> scheduled for. Such materials are to be identified prior to being delivered by Recology and segregated/marketed as <br /> sampling event and provided in writing to Recology. recyclables by the Shoreway facility operator(i.e., South Bay <br /> Recycling—SBR)should not be counted as contamination. <br /> This change is intended to include items marketed by SBR <br /> which were previously not counted towards Recology's . <br /> diversion statistics. ' <br /> 3 RESO.#15303 <br /> MUFF#801 <br />