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O <br /> Network Environmental Systems, Inc.,,, <br /> businesses that generate equal to or greater than 1,000 kilograms of RCRA hazardous <br /> waste or more than 1 kilogram of RCRA acutely hazardous waste during any calendar <br /> month, or treat RCRA hazardous waste on the site. While SUSD is a large quantity <br /> generator of Non-RCRA hazardous waste, they do not meet the criteria that require <br /> biennial reporting. During calendar year 2003, the last required reporting year; SUSD <br /> generated only 0.6 tons of RCRA hazardous waste. <br /> The remaining item identified on the Notice to Comply is the need for SUSD to retain a <br /> copy of their SB-14 plan. NES is in the process of working with SUSD to properly <br /> prepare the required waste minimization plan. Based on our written request for an <br /> extension, dated May 12, 2005, and my phone conversation with you on Monday May <br /> 23, 2005, we anticipate having this task completed and submitted to your office for <br /> review no later than June 17, 2005. We appreciate the additional time extension and feel <br /> it will allow us to work more closely with the various department managers and <br /> employees to create a plan that better serves the requirements of the SB-14 regulations. <br /> NES will be continuing to work with SUSD to maintain and revise these programs as <br /> needed and to keep them informed of the regulatory requirements relating to their <br /> hazardous waste management activities. <br /> If you have any questions or require any additional information please feel free to contact <br /> me at (916) 353-2370 ext-27, or on my cell phone at (916) 439-3015. <br /> Respectfully, <br /> i <br /> Dan Cole <br /> Senior Environmental Health & Safety Specialist <br /> Cc: Butch Schmidt, SUSD <br /> Don Rothenbaum,NES <br /> SUSD,SJCEHD,Retum to compliance,5-27-05 2 <br />