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• <br /> Messrs. Vais and Tuck <br /> Page 3 <br /> proper decontamination zone for compliance with the <br /> safety provisions of 29 CFR 1910. 120. <br /> 8) (Page C-10, Section 7.2) The statement that: "No special <br /> work-rest schedule is required. " is inaccurate. Heat <br /> stress in the Central Valley of California can pose a <br /> real hazard from early spring to late fall. A minimum <br /> work-rest schedule must be established as a precaution. <br /> 9) (Page C-10, Section 7. 3) There is no indication that the <br /> field personnel training program meets the necessary <br /> number of classroom and on-the-job training hours as <br /> required pursuant to 29 CFR 1910. 120. <br /> 10) (Page C-11, Section 9 . 0) There is no mention about <br /> provision of suitable sanitation facilities for the staff <br /> and all wash water from decontamination of the excavation <br /> and sampling equipment must be contained by plastic <br /> sheeting and pumped into holding tanks before analysis <br /> and proper disposal of the wash water. <br /> 11) (Page C-11, Section 10. 0) An emergency hand-signal code <br /> must be developed for rapid communication around the <br /> noisy excavation equipment. <br /> Please return a letter addressing the necessary amendments for <br /> the Work Plan to the Department within one working week from <br /> receipt of this letter. If you have any questions, please <br /> call me at (916) 924-2516. <br /> Sincerely, <br /> Lorna G. Kirby <br /> Waste Management Engineer <br /> cc: Mr. James O'Connor <br /> LIKA Corporation <br /> 1443 Navy Drive <br /> Stockton, CA 95206 <br /> Mr. Ron Valinoti <br /> San Joaquin Local Health District <br /> 1601 E. Hazelton Ave. , P.O. Box 2009 <br /> Stockton, CA 95201 <br />