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i . • <br /> mobility of this contamination. A study plan for this <br /> definitional stage is addressed here. <br /> Although Marley concurs with the comments of the Board and DOHS <br /> regarding soils contamination it believes that several agency <br /> suggestions may be premature, may entail excessive sampling and <br /> analysis costs with minimal information gain , or may result in <br /> misleading data which will be detrimental to both Marley and the <br /> t <br /> regulatory agencies. In light of the above, Marley requests that <br /> # intensive staff level meeting's be held between Marley <br /> representatives and regulatory agency personnel regarding the <br /> design and implementation of a definitional sampling program for <br /> soils contamination. Marley will carry out all reasonable agency <br /> requests to define the scope of the soil contamination problem. <br /> I <br /> Marley is already committed to boring, sampling and analysis <br /> programs to define soil conditions in the retort , drip pad , <br /> 1 storage tank and storm water pond areas. Much of this sampling <br /> J has already been done. Marley seeks advice on the adequacy of <br /> the work conducted to date and approval of sampling programs <br /> currently in the planning stage. <br /> Marley believes that both the Board and DOHS failed to address <br /> the importance of geochemical mobility of the contaminants of <br /> I <br /> i concern. Marley therefore proposes to conduct intensive <br /> l laboratory studies to evaluate the migration potential of the <br /> 16 <br />