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-2- <br /> Item No. <br /> EPA Toxicity Test was used to determine the heavy metals <br /> 4b Thes. tests <br /> aNB <br /> content of the rege ted usngt the Waste eExtracti Extraction Testas <br /> metals must be . p 1 i4 Edition. <br /> outlined in Section 66700.C.A.C. Janua. y 11 � 98 <br /> The lagoon sludges and settling tank sludges have failed the <br /> fish bioassay test, therefore they are hazardous. <br /> The closure and post closure plan . as submitted is <br /> Item No. 5 _ <br /> unacceptable as follows: <br /> a. The Plan doesnot alandfills e as <br /> sr <br /> roems <br /> associated �indicated ndwaterpinblthe <br /> with ' <br /> groundwater monitoring reports. r' <br /> 1 <br /> b. No time is set for the closure of Pit No. 7 <br /> orage area, <br /> c. There are no closure plans <br /> fareas a lagoonsdrum or settling <br /> high explosive sludge burning <br /> tanks. �a <br /> d. The plan does not specify that a particular closure will-. <br /> be certified as closed according to he approved a <br /> closure plan and signed by the operator end an engineer <br /> registered <br /> in California as required in Section V of the <br /> use of .events for � <br /> e. The plan does not indicate a scared <br /> closure as required in Section V of the I.S.D. <br /> f. A specific closure and -post closure plan for the lagoons <br /> must be submitted. <br /> post closure costs are not required. <br /> Item No. 6 Closure and <br /> Item No. 7 Updated Waste Analysis Plan was promised but has not been <br /> received. Please submit your updated plan. <br /> �f <br /> been <br /> • Item No. 8 Registration as a California Hazardous Waste 'Mauler has <br /> Completed. No response is req A <br /> purposes do not appear to be <br /> Item No. 9 Logs utilized for inspection pur Po the course <br /> the same as the inspection inspeclogs monitored <br /> �ontor Pleases submit copies i <br /> of our April 21 , 22, period of January through ! <br /> of logs to this office for the p i <br /> April 1983• <br /> Item No. 10 See Item u,b. above. <br /> R <br />