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to explain how the numerical limit was reached, i.e. , what <br /> analysis was undertaken. Best available technology is not the <br /> only factor to be considered in determining the appropriate limits <br /> under Resolution 68-16. [BPT may be the more correct term to <br /> use. ] <br /> Corrective Action: Revise the Comment section to describe the <br /> analysis (balancing test) used. <br /> g. Inland Surface Water Plan <br /> EPA has been informed by the Board that this is not an ARAB. <br /> Corrective action: Delete this section. <br /> h. Resolution No. 88-63 <br /> EPA and the Board agree that this AKAR should remain in the state <br /> table. <br /> i. Hazardous Waste Control Laws <br /> EPA's position remains the same as articulated in its comments <br /> dated June 7, 1993 (p. 34/40) , i.e. , Title 22 regulations <br /> presented elsewhere in the ARARs table are clearly identifiable, <br /> substantive and sufficient. The citation currently presented is <br /> too general and may include administrative provisions. <br /> Corrective Action: Delete this section. <br /> j. Identification and Listing of Hazardous Waste (Hazardous <br /> Substances Act) <br /> This proposed ARAR is newly added in the most recent draft ROD <br /> (July 1993) . The particular sections included in the Title 22 <br /> citation must be clearly identified in order to be considered an <br /> ARAR. The citation currently presented is too general (Sec. 66261 <br /> et seq. ) and may include administrative provisions. <br /> Corrective Action: Delete this section or cite the particular <br /> sections of Title 22 that are substantive standards. Any such <br /> substantive sections should be placed in the federal table. <br /> k. Health and Safety Standards for Management of Hazardous Waste <br /> As noted in EPA comments dated June 7, 1993 (p. 29/40) , this AKAR <br /> should remain but should be placed in the federal table, not the <br /> state table. <br /> Corrective Action: Remove from state table and place in federal <br /> table. <br /> COMMENTS ON THE RESPONSIVENESS SUMMARY <br /> 16. Response 5 <br /> EPA had requested that the text in this response be made less technical. <br /> Corrective Action: Please revise the text to make this response less <br /> technical. <br /> EPA/R9 July 28, 1993 6/7 <br />