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premiums which the Site Project Manager is required to pay. <br /> The excessive limitations of liability result in higher <br /> premiums that will be incurred as either direct costs by the Site <br /> Project Manager or will be incorporated into the Site Project <br /> Manager's overhead. The Equipment Manufacturers are concerned <br /> about these costs because Plaintiff LPL will apparently attempt <br /> to recover them from Equipment Manufacturers in the future. If <br /> the Settling Parties insist that such limitations are absolutely <br /> necessary, they should seek to limit the costs of the insurance <br /> by requiring the Site Project Manager to self-insure to these <br /> limits and therefore not incur the higher than necessary <br /> premiums. <br /> Furthermore, as Equipment Manufacturers are not named <br /> as additional insureds on any insurance policies required under <br /> the Consent Decree: (i) any and all premiums costs associated <br /> with acquiring this insurance should not be included as Site <br /> Project Manager' s costs and (ii) these insurance premium costs <br /> should not be sought in subsequent litigation against Equipment <br /> Manufacturers should the Plaintiff LPL pursue those claims <br /> assigned by the Settling Dry Cleaning Defendants. <br /> Section IR Lead Public Agency <br /> Page 11 Line 24 to Page 12, Line 5 <br /> This section designates the Regional Water Quality <br /> Control Board ("RWQCB") as the Lead Agency with respect to <br /> overseeing and reviewing all aspects of the "Work" required to be <br /> LA\16207\031\5000MDC0.002 <br /> -5- <br />