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DTSC's role includes coordination with other agencies to <br /> insure their concerns are addressed so that the decision is <br /> agreeable to "all"regulatory agencies. <br /> DTSC's mission is to be protect of overall health and the <br /> environment. <br /> RWQCB's mission is to protect groundwater and surface water <br /> for beneficial uses, which includes more than public heath. <br /> Expectation is for RWQCB to work with DTSC to meet both <br /> agencies' goals. <br /> Paula asked for an example of agency interaction and expectations. Bob and Fran <br /> mentioned the risk assessment comment on the Phase IV reportfrom the RWQCB on <br /> groundwater being treated as a receptor. <br /> Philip Isorena: Said that PG&E's position (as described in PG&E's letter to <br /> DTSC, dated August 6, 1996) on the above comment was <br /> "well taken". <br /> Bob Doss: Agreed with Fran Anderson's definition of agency <br /> missions and roles. <br /> Expressed continued desire for RWQCB involvement. <br /> Tricia Sullivan: Is there a need to pass on comments that do not need to be <br /> addressed by PG&E?. <br /> Fernando Amador: Agrees to provide a clearer format for PG&E to understand <br /> agency comments and expectations. <br /> Summary <br /> Agencies: Provide clearer expectations for addressing comments. <br /> PG&E: CaUlcommunicate if there are questions on agency comments. <br /> Will provide assessment of how goals were met and link data <br /> to recommendations within reports. <br /> 4.0 Agree on Remaining Data Needs <br /> Question: <br /> For soil and groundwater,what are the remaining data needs that need to be <br /> addressed? <br /> 4 <br />