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Comment Nos. I and 2 above. These documents should be added as additional tl—' <br /> references to Section 6 of this SOW. <br /> 2. Paee AB-3, Section 3.3 <br /> EPA guidance document Guidance for Data Usability in Risk Assessment (Part A), as <br /> referenced in Section 6.87 of this SOW would also be very helpful for data <br /> evaluation for BRA purposes and should be added as an additional reference. <br /> 3. Paee AB-6, Section 4.12 <br /> When is the schedule to be set? Please include the actual schedule as an attachment <br /> suitable for replacement should the schedule be revised at a future date. <br /> 4. Paee AB-9, Section 4.15 <br /> EPA requires two copies of all submittals, and would like to request a copy of all <br /> computer data files (referenced in Section 4.10) on diskette in dBASEIIl format. <br /> 5. Paees AB-15 to AB-21. Section 6.0 <br /> It is noted that the EPA guidance document referenced in Section 6.68 has been <br /> superseded by that document referenced in Section 6.87. <br /> Following are some additional EPA documents that have been referenced and should <br /> aid in the overall efforts: <br /> U.S. EPA. Federal Facilities Agreement under CERCLA Section 120, <br /> Administrative Docket No. 91-15. 1991. <br /> U.S. EPA. Region 9 Drinking Hater Standards and Health Advisor), Table. July <br /> 1992, and future updates. <br /> U.S. EPA. Comments on the Draft Final Comprehensive RI/FS Work Plan at <br /> DDRW-Tracy. June 1, 1992. <br /> U.S. EPA. Letter to Marshall Cloud re: Evaluation of Detection Limits for <br /> DDRW-Tracy's Comprehensive RI/FS Work Plan. August 27, 1992. <br /> Code Of Federal Regulation, 40 CFR, Parts 300 through 399, Latest Ed. <br /> 3 <br />