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Mr. Tun Neil <br /> October 26, 1998 <br /> Page 2 <br /> Although not provided in the letter dated March 20, 1998 I have one additional comment <br /> regarding Sigma Circuits, Inc.'s multi source reduction goal. The source reduction goal should be <br /> a sinde numerical percentage which reflects an estimate of source reduction the generator could <br /> optimally strive to achieve over a four-year period. <br /> Enclosed are checklists I used to review Sigma Circuits, Inc.'s 1995 Plan and Report. <br /> Please review these checklists for other comments and feel free to use these checklists when <br /> preparing the new Plan and Report by September 1, 1999. The checklists are provided in the <br /> appendices of the Hazardous Waste Source Reduction Guidance Manual. A new Guidance <br /> Manual is anticipated to be published by March, 1999. <br /> Again, you do not need to address the above comments in Sigma Circuits, Inc.'s 1995 <br /> Plan. Please keep these comments for preparation of Sigma Circuits, Inc.'s 1999 Plan and <br /> Report. <br /> Lastly, there have been recent changes to SB 14 source reduction documentation <br /> requirements. Assembly Bill 1089 eliminated the requirement for the Plan and Report Summaries. <br /> It also eliminated the use of"Form GM" as the Progress Report for SB 14. In lieu of the <br /> "Form GM", facilities are now required to prepare a"Summary Progress Report" and are <br /> required to submit it to Department Toxic Substances Control (DTSC). Please review the <br /> enclosed summary of SB 14 changes. <br /> If you have any questions regarding my comments or questions when preparing Sigma <br /> Circuits, Inc.'s 1999 Plan and Report, I can be contacted at (916) 3224233. <br /> Sincerely, <br /> Qom_ <br /> Pat Bennett <br /> Office of Pollution Prevention <br /> and Technology Development <br /> Enclosures <br />