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Talking Trash: Recyclables and Organic Waste <br />information included in "Frequently Asked Questions" on RNG on the CalRecycle <br />website (CalRecycle, 2022): <br />Renewable gas derived solely from sewage is ineligible for meeting the <br />procurement target because a Publicly Owned Treatment Work (POTW) is not a <br />solid waste facility and therefore not in the scope of the legislative intent of SB <br />1383. Sewage is also not typically destined for a landfill, so its use does not help <br />achieve the landfill diversion goals. <br />However, Title 14 explicitly authorizes POTWs to accept food waste without a solid <br />waste facility permit, making it functionally similar to incentivizing biomethane from <br />a solid waste facility. Therefore, it is justifiable to allow the portion of renewable <br />gas resulting from the digestion of food waste at POTWs to count toward the <br />procurement targets, provided the POTW accepts food waste from specified <br />facilities or operations [see 14 CCR Section 18993.1(h)(1)] and meets all other <br />applicable regulatory requirements. For more information, please see the Final <br />Statement of Purpose and Necessity (pages 178-180). <br />The issue of procurement difficulties encountered by California jurisdictions is <br />mentioned in the Little Hoover Commission 2023 report on the implementation of SB <br />1383. The Commission recommended that "the state should expand the list of <br />compliance pathways and products eligible to count toward a jurisdiction's procurement <br />requirements." (Little Hoover Commission, 2023) <br />0 Coordination and Vision for the Future <br />In a county with thirty-four cities and several other jurisdictions, coordination, <br />collaboration, and sharing resources and best practices can be a challenge. The OCGJ <br />learned that county -wide groups meet on a regular basis, including a waste <br />management coordinators' group, a haulers' group, and a market development group. <br />Additionally, the OCGJ learned that OCW&R has assumed a leadership role in <br />positioning Orange County for a greener, more sustainable future. <br />OCW&R has a clear vision for a regional, county -wide approach to the implementation <br />of SB 1383, which includes not only organics and edible food strategies, but also market <br />creation and development, procurement and compliance, and regional standardization <br />and collaboration. <br />The details of their vision are outlined in the 2024 presentation to the legislative group, <br />which is available on the OCW&R website (OC Waste & Recycling, 2024). <br />The following slide has been taken from this presentation. <br />2023-2024 Orange County Grand Jury Page 16 <br />City Council 11 — 18 8/20/2024 <br />