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the proposed ESD schedule includes an additional two month delay following finalization of this <br /> document, presumably for public notification. Public notification does not require a review <br /> period. Please explain this additional two months. <br /> the draft SWMU 8 RAR which was scheduled for June 30, 2003 is proposed for February 17, <br /> 2004. Given that the date of June 30, 2003 is an enforceable deadline we assume that the <br /> document is substantially written. Please explain why we could not review this document earlier <br /> than February of 2004(with an understanding that the ESD will need to be finalized before this <br /> RAR can be finalized). <br /> line item 13 appears to mistakenly include SWMU 4 wet season control in the RAR for SWMU <br /> 27. As you know SWMU 27 is the action EPA requested to proceed to a final RAR this fiscal <br /> year. The SWMU 4 RAR cannot be finalized in advance of the ROD Amendment documenting <br /> the changes to the remedy for SWMU 4. <br /> Per the terms of the FFA, DLA has seven days in which to respond to our comments. Again, we <br /> recommend a conference call as soon as possible. <br /> Please contact me at 415-972-3024 if you have any questions. <br /> Sincerely, <br /> Michael Work <br /> Federal Facility &Site Cleanup Branch <br /> Superfund Division (SFD-8) <br /> cc: (See Distribution List) <br /> 2 <br />