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C-SHADRIFS91.6/G WPP.15 <br /> 01/22/92 <br /> incorporate, <br /> meet a 20-percent matching fund requirement (in-kind contributions, <br /> i.e., donated goods and services, are permissible) or obtain a waiver of <br /> this requirement, <br /> meet financial and administrative requirements, and <br /> prepare a plan to use technical assistance based on EPAs technical <br /> work schedule. <br /> For more information about the TAG program, call 1-800-231-3075 (toll free). <br /> Leave a message, and your call will be returned. <br /> GLOSSARY OF TERMS <br /> Administrative Record--This is the body of documents that "forms the basis" for <br /> the selection of a particular response at a site. Documents which are included <br /> are relevant documents that were relied upon in selecting the response action, as <br /> well as relevant documents that were considered but ultimately rejected (e.g., <br /> documents "considered or relied on"). <br /> Applicable or Relevant and Appropriate Requirements (ARARs)--ARARs address <br /> whether or not a remedy will meet all ARARs of federal and state environmental <br /> statutes and/or provide grounds for invoking a waiver. Applicable requirements <br /> are those cleanup standards, standards of control, and other substantive <br /> environmental protection requirements, criteria, or limitations promulgated under <br /> federal or state law that specifically address a hazardous substance, pollutant, <br /> contaminant, remedial action, location, or other circumstance at a CERCLA site, <br /> Relevant and appropriate requirements are those cleanup standards, standards of <br /> control, and other substantive environmental protection requirements, criteria, or <br /> limitations promulgated under federal or state law that, while not "applicable" to <br /> 20 <br /> l <br />