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• SECOR �- - __. <br /> Mrs. Kristi Shelton <br /> April 17, 2008 <br /> Page 5 <br /> RESPONSE TO CRWQCB-CVR CORRESPONDENCE DATED MARCH 24, 2008 — <br /> COMMENT#2 <br /> In correspondence from the CRWQCB-CVR dated March 24, 2008, Comment#2 stated: "Table <br /> 2 in the Report includes a number of footnotes. The footnotes are not defined in the table. <br /> ConocoPhillips needs to define the footnotes used in the table and submit a revised soil data <br /> summary table with the report summarizing the new soil data. <br /> A revised soil data summary table with the new data obtained from the confirmation borings will <br /> be incorporated into the Report. This table will define all footnotes as requested. <br /> SCHEDULE FOR IMPLEMENTATION AND RECOMMENDATIONS <br /> Following approval of this work plan, SECOR is prepared to initiate soil boring installation within <br /> approximately four weeks, pending regulatory approval. <br /> LIMITATIONS AND CERTIFICATION <br /> This work plan was prepared in accordance with the scope of work outlined in SECOR's <br /> contract and with generally accepted professional environmental consulting practices existing at <br /> the time this work plan was prepared and applicable to the location of the site. It was prepared <br /> for the exclusive use of ConocoPhillips, for the expressed purpose stated above. Any re-use of <br /> this work plan for a different purpose or by others not identified above shall be at the user's sole <br /> risk without liability to SECOR. To the extent that this work plan is based on information <br /> provided to SECOR by third parties, SECOR may have made efforts to verify this third party <br /> information, but SECOR cannot guarantee the completeness or accuracy of this information. <br /> The opinions expressed and data collected are based on the conditions of the site existing at <br /> the time of the field investigation. No other warranties, expressed or implied are made by <br /> SECOR. <br /> SECOR International Incorporated <br />