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k <br /> !s <br /> GWADC Clarification <br /> Page 4of4 <br /> infraction will result in the CIWMB issuing a "Notice of Intent" letter to the facility <br /> (CIWMB new policy). <br /> If there are circumstances where ponding or other problems cannot be remedied <br /> before the next monthly inspection, or COS/operators cannot locate the problems at <br /> the site, or do not understand or agree with the monthly inspection report,(or any <br /> other reports and observations), it is recommended COS inform EHD by phone, <br /> meeting, or in writing, as soon as possible. This will not exonerate a facility of a <br /> confirmed violation. <br /> If expertise to deal with landfill problems is not available at COS or among operators <br /> or at EHD, it is recommended COS enlist the services of a specialist with landfill <br /> experience (ie. Engineering and/or Consulting firms). <br /> EHD respects that COS has questioned the evaluation process of this Project and <br /> welcomes suggestions for improved communication. Within reason EHD can <br /> accomodate meetings with COS. Time allowing, inspectors can make extra trips to <br /> the landfills and COS office between inspections to aid communication and help <br /> avoid problems that complicate this Project. It is the hope of EHD that COS will <br /> demonstrate a successful Project and gain approval for GWADC use at both landfills. <br /> Submit required plan addendums for tarp use and GWADC shortage by May 7, 1996. <br /> Submit revised grading plan by June 1, 1996. If you have questions call Carol Oz, <br /> REHS, at 468-3440. <br /> Ernest Fujimoto, MD, MPH <br /> Acting Health Officer <br /> Mike Huggins, Supervisor <br /> Environmental Health Division <br /> cc: Jim Giottonini, COS <br /> Stephen Chen, COS <br /> Robert Murdoch, COS <br /> Phil Giambastiani, Gambi Enterprises <br /> Scott Walker, CIWMB <br /> Arnold Inouye, RWQCB <br />