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• 0 <br /> Lead Agency and the OSC. By operation of this section, the Lead <br /> Agency (RWQCB) is also the OSC for all practical purposes. There <br /> is an inherent conflict of interest in the same agency having <br /> dual roles. Pursuant to 40 C.F.R. §300. 120 (d) " [t]he OSC <br /> coordinates, directs, and reviews the work of other agencies, <br /> responsible parties, and contractors to assure compliance with <br /> the NCP, decision document, consent decree, administrative order, <br /> and, lead agency approved plans applicable to the response. " <br /> (emphasis added) . Consequently, unlike the mandates of 40 C.F.R. <br /> Part 300 (NCP) , there will not be a separate, neutral entity <br /> (OSC) with the power and authority to review the RWQCB' s <br /> decisions with regard to the development, coordination, <br /> direction, review, approval, and possible shut down of the "Work" <br /> proposed for the Site. <br /> Section RI Remedial Action <br /> Page 13 Line 13 to Page 21 Line 2 <br /> This section requires the Settling Dry Cleaning <br /> Defendants to serve various documents and materials, including <br /> but not limited to, the Proposed Remedial Action Plan, <br /> Responsiveness Summaries, Final Remedial Action Plan, and Interim <br /> Removal or Remedial Action Plans on the Plaintiff LPL and Public <br /> Agencies. As discussed above, all "Parties" (including Equipment <br /> Manufacturers) should receive copies of all materials mentioned <br /> in Section XI. <br /> LA\16207\031\5000MOCG.002 <br /> -7- <br />