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• <br /> follow EPA guidance with respect to evaluating "no action" and <br /> "institutional controls" alternatives. Additionally, the <br /> alternatives which are solely dependent upon the operation of the <br /> IRM will not address all of the OU-1 plume and, therefore, it is <br /> not clear why these alternatives are considered. EPA has <br /> suggested a means to address these problems (see comments on <br /> Section 3) . <br /> EPA' s is requesting that the ARARs Tables in Section 2 make <br /> more definitive determinations on the applicability of each ARAR. <br /> EPA has also suggested modifications to the ARARs tables to make <br /> the tables more useful to the RPMs and the public. ARARs review <br /> is continuing at EPA and will continue until the signing of the <br /> ROD. Therefore, additional ARARs comments may be forthcoming <br /> from EPA. <br /> Please contact me at (415) 744-2392 should you have any <br /> questions. <br /> Sincerely, <br /> Michael Work <br /> Project Manager (H-9-1) <br /> Federal Facilities Enforcement Branch <br /> Office of Superfund <br /> 2 <br />