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for OU #l. <br /> Corrective Action: Add the fact of the mail-out to the text. <br /> 142. Section 2.7 <br /> It would not appear to be necessary to state "at this time it is not known how many <br /> fact sheets will be prepared . . ". <br /> Corrective Action: EPA suggests that the text be revised. <br /> 143. Response 3 <br /> The text refers the reader to monitoring well LM-76 but does not provide in the <br /> ROD a figure which shows the location of this well. <br /> Corrective Action: Either provide a figure or delete the reference to specific well <br /> LM-76. <br /> 144. Response 5 <br /> The text responds to the public comment by utilizing terminology which might not <br /> be readily understood. <br /> Corrective Action: The terms "halocarbons:" and purgeable aromatics" should be <br /> defined in the text. <br /> 145. Response 7 <br /> The text "EPA is not currently following up on this issue" is an oversimplification to <br /> what could be a topic of keen interest to the public. <br /> Corrective Action: Revise the sentence to read "EPA has queried the commenter, <br /> DDRW-Tracy, and staff of the San Joaquin County Health Department regarding <br /> this issue. Based on these discussions there does not appear to be evidence to support <br /> the assertion of a cancer cluster. <br /> 146. Response 8 <br /> The response utilizes terminology which might not be understood by the commenter. <br /> Corrective Action: Define "upgradient" in the response. <br /> 147. Response 9 <br /> The text is not directly responsive to the second question in the public comment. <br /> 36/40 <br /> EPA/R9 June 7, 1993 <br />